Atty. Lean F. Estose

Atty. Lean F. Estose Contact information, map and directions, contact form, opening hours, services, ratings, photos, videos and announcements from Atty. Lean F. Estose, Lawyer & Law Firm, Cebu City.

26/05/2026
16/05/2026
Ensuring that businesses and organizations are properly registered and compliant from the very beginning is an important...
11/05/2026

Ensuring that businesses and organizations are properly registered and compliant from the very beginning is an important step toward stability and growth.

Legal assistance is available for SEC registration, preparation of corporate documents, BIR registration and compliance, as well as coordination with LGU requirements and business permits.

Atty. Lean F. Estose
๐Ÿ“ง [email protected]
๐Ÿ“ฑ +63 917 138 2426

๐—ฃ๐—น๐—ฎ๐—ป๐—ป๐—ถ๐—ป๐—ด ๐˜๐—ผ ๐˜€๐˜๐—ฎ๐—ฟ๐˜ ๐˜†๐—ผ๐˜‚๐—ฟ ๐—ผ๐˜„๐—ป ๐—ฏ๐˜‚๐˜€๐—ถ๐—ป๐—ฒ๐˜€๐˜€ ๐—ผ๐—ฟ ๐—ฐ๐—ผ๐—ฟ๐—ฝ๐—ผ๐—ฟ๐—ฎ๐˜๐—ถ๐—ผ๐—ป?

Join the SEC CAN! Webinar on Company Registration and learn the essentials of registration with the SEC.

From the requirements and procedures to helpful tips for a smooth application process, weโ€™ve got you covered. This webinar will be aired through the official page of the SEC Philippines.

๐Ÿ–ฅ๏ธ Mode: Facebook Live (www.fb.com/PhilippineSEC)
๐Ÿ”— Registration Link: https://bit.ly/SEC-Company-Registration-Webinar
๐Ÿ—“๏ธ Date: 21 May 2026 (Thursday)
๐Ÿ•‘ Time: 2:00 PM - 3:00 PM

Start smart. Register right. Build your business with confidence with the SEC! ๐Ÿ‡ต๐Ÿ‡ญ

12/04/2026

PRESS RELEASE | DOJ: HSAC cannot deputize LGUs as sheriffs for HOA elections

The Department of Justice (DOJ), through Legal Opinion No. 08, Series of 2026, opined that the Human Settlements Adjudication Commission (HSAC) has no authority to deputize Local Government Units (LGUs) as special sheriffs to conduct homeownersโ€™ association (HOA) elections.

Issued on 30 March 2026, the Opinion responded to a query on whether HSAC could designate LGUs to execute HOA elections via orders or writs.

The DOJ noted that, โ€œconsistent with the provisions of RA No. 11201 and its IRR, the Department of Human Settlements and Urban Development (DHSUD), through its Regional Offices, holds authority to call for, conduct, supervise, and observe special elections pursuant to its mandate to exercise regulatory jurisdiction over HOAs in subdivision projects and government housing projects.โ€

Deputizing LGUs would overstep HSACโ€™s mandate, infringe on local autonomy, and misalign with administrative law, as LGUs are not national government instrumentalities absent explicit statutory authority.

โ€œLGUs are political subdivisions created under the Constitution and the Local Government Code, endowed with local autonomy, and vested with powers that are territorial and political in character. It is outside the national government structure,โ€ the DOJ emphasized.

The ruling reinforces clear agency boundaries: HSAC handles adjudication and enforcement; DHSUD oversees HOA elections, promoting lawful, coordinated processes for effective governance.


09/04/2026

The (SC) clarified the application of lascivious conduct under ๐˜™๐˜ฆ๐˜ฑ๐˜ถ๐˜ฃ๐˜ญ๐˜ช๐˜ค ๐˜ˆ๐˜ค๐˜ต (๐˜™๐˜ˆ) ๐˜•๐˜ฐ. 7610, or ๐˜ต๐˜ฉ๐˜ฆ ๐˜š๐˜ฑ๐˜ฆ๐˜ค๐˜ช๐˜ข๐˜ญ ๐˜—๐˜ณ๐˜ฐ๐˜ต๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ ๐˜ฐ๐˜ง ๐˜Š๐˜ฉ๐˜ช๐˜ญ๐˜ฅ๐˜ณ๐˜ฆ๐˜ฏ ๐˜ˆ๐˜จ๐˜ข๐˜ช๐˜ฏ๐˜ด๐˜ต ๐˜ˆ๐˜ฃ๐˜ถ๐˜ด๐˜ฆ, ๐˜Œ๐˜น๐˜ฑ๐˜ญ๐˜ฐ๐˜ช๐˜ต๐˜ข๐˜ต๐˜ช๐˜ฐ๐˜ฏ ๐˜ข๐˜ฏ๐˜ฅ ๐˜‹๐˜ช๐˜ด๐˜ค๐˜ณ๐˜ช๐˜ฎ๐˜ช๐˜ฏ๐˜ข๐˜ต๐˜ช๐˜ฐ๐˜ฏ ๐˜ˆ๐˜ค๐˜ต, in relation to acts of lasciviousness under the ๐˜™๐˜ฆ๐˜ท๐˜ช๐˜ด๐˜ฆ๐˜ฅ ๐˜—๐˜ฆ๐˜ฏ๐˜ข๐˜ญ ๐˜Š๐˜ฐ๐˜ฅ๐˜ฆ (๐˜™๐˜—๐˜Š).

In a Decision written by Associate Justice Henri Jean Paul B. Inting, the SC ๐˜Œ๐˜ฏ ๐˜‰๐˜ข๐˜ฏ๐˜ค upheld Jeffrey L. Gramaticaโ€™s conviction for lascivious conduct under ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610, but modified another accusedโ€™s (###2660399) conviction for acts of lasciviousness under ๐˜ˆ๐˜ณ๐˜ต๐˜ช๐˜ค๐˜ญ๐˜ฆ 366 ๐˜ฐ๐˜ง ๐˜ต๐˜ฉ๐˜ฆ ๐˜™๐˜—๐˜Š.

In these consolidated cases involving minors, AAA, BBB, and CCC, the Supreme Court laid down guidelines to ensure the proper prosecution of cases under these two distinct laws.

AAA and BBB, both addicted to shabu, engaged in sexual acts with Gramatica and another man in exchange for the drug. Gramatica was later arrested and prosecuted for violation of ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610, which penalizes lascivious conduct committed against a child exploited in prostitution or other sexual abuse.

In the other case, CCC was victimized by her grandfather, ###266039, who touched her private parts while she was sleeping. ###266039 was also charged under ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610.

In his defense, Gramatica claimed that he courted BBB and had a sexual relationship with her but did not know she was a minor because she looked mature. For his part, ###266039 denied the charges and claimed he merely woke CCC up to ask her for help applying his eye medicine.

The Regional Trial Court found both Gramatica and ###266039 guilty of lascivious conduct under ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610 towards BBB and CCC, respectively. The Court of Appeals affirmed their convictions.

A minor is considered to have been subjected to other sexual abuse when they are a victim of lascivious conduct under the coercion or influence of an adult. In this case, BBB was 14 and CCC was 17 at the time of the incident. Gramatica was 23, and ###266039 was 62.

Both courts found that Gramatica took advantage of BBBโ€™s youth and vulnerable situation, using his influence over her to make her submit to his sexual demands. Meanwhile, ###266039, due to his age and relationship as CCCโ€™s grandfather, was able to exert control over her and exploit her trust.

The SC affirmed Gramaticaโ€™s conviction under RA 7610, but modified ###266039โ€™s conviction from acts of lasciviousness under ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610 to acts of lasciviousness under the RPC explaining that RA 7610 does not apply where the minor is entirely unaware, coerced or unconscious as the victim in that instance is not considered to have โ€œindulgedโ€ in the sexual intercourse.

A plain and straightforward interpretation of ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610 provides a clear definition of children subjected to other sexual abuse as those who indulge in sexual intercourse or lascivious conduct due to the coercion or influence of an adult.

The SC clarified the scope of lascivious conduct under ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610 and distinguished it from related crimes under the RPC. To ensure uniform and consistent prosecution of cases, the Supreme Court laid down guidelines, considering also RA 11648, which raised the age of sexual consent to 16 years old.

๐™๐™ž๐™ง๐™จ๐™ฉ, ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610 applies to children who are 12 years of age (now 16 years old following the amendment under RA 11648) to below 18 who are subjected to sexual abuse.

๐™Ž๐™š๐™˜๐™ค๐™ฃ๐™™, it covers situations where consent is present but defective. The minor may seem to โ€œindulgeโ€ or agree, but does so not out of free will, but because of coercion or influence by an adult. Thus, engaging in sexual acts with a child exploited in prostitution or subjected to sexual abuse is a criminal act, regardless of apparent consent.

๐™๐™๐™ž๐™ง๐™™, it does not apply when the act involves force, intimidation, fraud, deprivation of reason, unconsciousness, or grave abuse of authority. In such cases, the crime falls under acts of lasciviousness under the RPC.

๐™๐™ค๐™ช๐™ง๐™ฉ๐™, if the victim is under 12 or under 16, and the case does not fit Section 5(b), the crime is rape or acts of lasciviousness under the RPC.

These principles, which distinguish force and intimidation on one hand, and coercion and influence on the other, and limit RA 7610 to minors who are exploited in prostitution or sexual abuse, also apply to other sexual crimes, including rape.

In this case, BBB was a child exploited in prostitution or other sexual abuse because she had sexual intercourse with Gramatica in exchange for some consideration, namely shabu, which makes him criminally liable under Section 5(b).

Meanwhile, ๐˜š๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ 5(๐˜ฃ) ๐˜ฐ๐˜ง ๐˜™๐˜ˆ 7610 does not apply to ###266039.

The Supreme Court clarified that not all acts of lasciviousness against minors aged 12 to under 18 are covered by RA 7610. The law applies only when minors are subjected to sexual abuse, such as when they โ€œindulgeโ€ or give defective consent to the conduct.

Here, CCC did not indulge in lascivious conduct, as she was asleep and unconscious during the incident. ###266039 did not use coercion or influence, but relied on his moral ascendancy as her grandfather, which counts as intimidation. These circumstances make ###266039 liable for acts of lasciviousness under ๐˜ˆ๐˜ณ๐˜ต๐˜ช๐˜ค๐˜ญ๐˜ฆ 336 ๐˜ฐ๐˜ง ๐˜ต๐˜ฉ๐˜ฆ ๐˜™๐˜—๐˜Š, rather than RA 7610.

For lascivious conduct under Section 5(b) involving BBB, Gramatica was sentenced to a maximum of 17 years, four months, and one day in prison and ordered to pay BBB PHP 150,000 in civil indemnity and damages, as well as a PHP 15,000 fine.

For acts of lasciviousness under ๐˜ˆ๐˜ณ๐˜ต๐˜ช๐˜ค๐˜ญ๐˜ฆ 336 ๐˜ฐ๐˜ง ๐˜ต๐˜ฉ๐˜ฆ ๐˜™๐˜—๐˜Š, ###266039 was sentenced to a maximum of six years in prison and ordered to pay CCC PHP450,000 in civil indemnity and damages with interest.

The SC acknowledged that under current laws, ###266039, โ€œwho committed abhorrent and bestial acts against his minor granddaughter,โ€ faces a penalty lower than that under RA 7610, and called on the legislature to amend existing laws to better protect children.

The SC calls the legislature to review and amend current laws protecting children, thus:

โ€œ๐˜๐˜ฏ ๐˜ญ๐˜ช๐˜ฏ๐˜ฆ ๐˜ธ๐˜ช๐˜ต๐˜ฉ ๐˜ต๐˜ฉ๐˜ฆ ๐˜ข๐˜ฃ๐˜ฐ๐˜ท๐˜ฆ, ๐˜ข๐˜ฏ๐˜ฅ ๐˜ช๐˜ฏ ๐˜ง๐˜ถ๐˜ญ๐˜ง๐˜ช๐˜ญ๐˜ญ๐˜ฎ๐˜ฆ๐˜ฏ๐˜ต ๐˜ฐ๐˜ง ๐˜ต๐˜ฉ๐˜ฆ ๐˜Š๐˜ฐ๐˜ถ๐˜ณ๐˜ตโ€™๐˜ด ๐˜ฅ๐˜ถ๐˜ต๐˜บ ๐˜ต๐˜ฐ ๐˜ถ๐˜ฑ๐˜ฉ๐˜ฐ๐˜ญ๐˜ฅ ๐˜ต๐˜ฉ๐˜ฆ ๐˜Š๐˜ฐ๐˜ฏ๐˜ด๐˜ต๐˜ช๐˜ต๐˜ถ๐˜ต๐˜ช๐˜ฐ๐˜ฏ, ๐˜ธ๐˜ฉ๐˜ช๐˜ค๐˜ฉ ๐˜ฎ๐˜ข๐˜ฏ๐˜ฅ๐˜ข๐˜ต๐˜ฆ๐˜ด ๐˜ต๐˜ฉ๐˜ฆ ๐˜ด๐˜ฑ๐˜ฆ๐˜ค๐˜ช๐˜ข๐˜ญ ๐˜ฑ๐˜ณ๐˜ฐ๐˜ต๐˜ฆ๐˜ค๐˜ต๐˜ช๐˜ฐ๐˜ฏ ๐˜ฐ๐˜ง ๐˜ค๐˜ฉ๐˜ช๐˜ญ๐˜ฅ๐˜ณ๐˜ฆ๐˜ฏ ๐˜ง๐˜ณ๐˜ฐ๐˜ฎ ๐˜ข๐˜ญ๐˜ญ ๐˜ง๐˜ฐ๐˜ณ๐˜ฎ๐˜ด ๐˜ฐ๐˜ง ๐˜ฏ๐˜ฆ๐˜จ๐˜ญ๐˜ฆ๐˜ค๐˜ต, ๐˜ข๐˜ฃ๐˜ถ๐˜ด๐˜ฆ, ๐˜ค๐˜ณ๐˜ถ๐˜ฆ๐˜ญ๐˜ต๐˜บ, ๐˜ฆ๐˜น๐˜ฑ๐˜ญ๐˜ฐ๐˜ช๐˜ต๐˜ข๐˜ต๐˜ช๐˜ฐ๐˜ฏ ๐˜ข๐˜ฏ๐˜ฅ ๐˜ฐ๐˜ต๐˜ฉ๐˜ฆ๐˜ณ ๐˜ค๐˜ฐ๐˜ฏ๐˜ฅ๐˜ช๐˜ต๐˜ช๐˜ฐ๐˜ฏ๐˜ด ๐˜ฑ๐˜ณ๐˜ฆ๐˜ซ๐˜ถ๐˜ฅ๐˜ช๐˜ค๐˜ช๐˜ข๐˜ญ ๐˜ต๐˜ฐ ๐˜ต๐˜ฉ๐˜ฆ๐˜ช๐˜ณ ๐˜ฅ๐˜ฆ๐˜ท๐˜ฆ๐˜ญ๐˜ฐ๐˜ฑ๐˜ฎ๐˜ฆ๐˜ฏ๐˜ต, ๐˜ญ๐˜ฆ๐˜ต ๐˜ต๐˜ฉ๐˜ช๐˜ด ๐˜ด๐˜ฆ๐˜ณ๐˜ท๐˜ฆ ๐˜ข๐˜ด ๐˜ข ๐˜ค๐˜ข๐˜ญ๐˜ญ ๐˜ต๐˜ฐ ๐˜ต๐˜ฉ๐˜ฆ ๐˜ญ๐˜ฆ๐˜จ๐˜ช๐˜ด๐˜ญ๐˜ข๐˜ต๐˜ถ๐˜ณ๐˜ฆ ๐˜ต๐˜ฐ ๐˜ง๐˜ถ๐˜ญ๐˜ง๐˜ช๐˜ญ๐˜ญ ๐˜ช๐˜ต๐˜ด ๐˜ฃ๐˜ฐ๐˜ถ๐˜ฏ๐˜ฅ๐˜ฆ๐˜ฏ ๐˜ฅ๐˜ถ๐˜ต๐˜บ ๐˜ฐ๐˜ง ๐˜ณ๐˜ฆ๐˜ท๐˜ช๐˜ฆ๐˜ธ๐˜ช๐˜ฏ๐˜จ ๐˜ข๐˜ฏ๐˜ฅ ๐˜ข๐˜ฎ๐˜ฆ๐˜ฏ๐˜ฅ๐˜ช๐˜ฏ๐˜จ ๐˜ฐ๐˜ถ๐˜ณ ๐˜ฑ๐˜ณ๐˜ฆ๐˜ด๐˜ฆ๐˜ฏ๐˜ต ๐˜ญ๐˜ข๐˜ธ๐˜ด ๐˜ข๐˜ฏ๐˜ฅ ๐˜ฆ๐˜ฏ๐˜ด๐˜ถ๐˜ณ๐˜ช๐˜ฏ๐˜จ ๐˜ต๐˜ฉ๐˜ฆ ๐˜ด๐˜ข๐˜ง๐˜ฆ๐˜ต๐˜บ, ๐˜ธ๐˜ฆ๐˜ญ๐˜ญ-๐˜ฃ๐˜ฆ๐˜ช๐˜ฏ๐˜จ, ๐˜ข๐˜ฏ๐˜ฅ ๐˜ฅ๐˜ช๐˜จ๐˜ฏ๐˜ช๐˜ต๐˜บ ๐˜ฐ๐˜ง ๐˜ฐ๐˜ถ๐˜ณ ๐˜๐˜ช๐˜ญ๐˜ช๐˜ฑ๐˜ช๐˜ฏ๐˜ฐ ๐˜ค๐˜ฉ๐˜ช๐˜ญ๐˜ฅ๐˜ณ๐˜ฆ๐˜ฏ.โ€

Read the full text of the press release at https://sc.judiciary.gov.ph/?p=162863

Read the full text of the Decision https://sc.judiciary.gov.ph/?p=162842

Read the Separate Concurring Opinion of Senior Associate Justice Marvic M.V.F. Leonen at https://sc.judiciary.gov.ph/260233-266039-separate-concurring-opinion-senior-associate-justice-marvic-m-v-f-leonen/

Read the Concurring Opinion of Associate Justice Alfredo Benjamin S. Caguioa at https://sc.judiciary.gov.ph/260233-266039-concurring-opinion-associate-justice-alfredo-benjamin-s-caguioa/

Read the Separate Concurring Opinion of Associate Justice Rodil V. Zalameda at https://sc.judiciary.gov.ph/260233-266039-separate-concurring-opinion-associate-justice-rodil-v-zalameda/

Copying of this content is subject to the SC PIOโ€™s Credit Attribution Policy: https://sc.judiciary.gov.ph/credit-attribution

07/04/2026

IBP Cebu Chapter - Integrated Bar of the Philippines Honoring of New Lawyers and Newly Appointed Judges

๐Ÿ—“๏ธ March 14, 2026
๐Ÿ“ Mezzo Hotel, Cebu City

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