Sunday, September 16, 2012

doctrine of innocent purchaser.”

One of the issues to be discussed is whether the Luisita Industrial Park Corp. and Rizal Commercial Banking Corp., as transferees of a portion of the 6,500-hectare estate, may invoke the “doctrine of innocent purchaser.”

Now, what is exactly the doctrine of innocent purchaser?

The subject is summarily discussed in the case of Tan v. Dela Vega, G.R. No. 168809, 10 July 2006.

Accordingly, the doctrine of innocent purchaser rules that a void title may be the source of a valid title in the hands of an innocent purchaser for value. An innocent purchaser for value is one who buys the property of another, without notice that some other person has a right to, or interest in, such property and pays a full and fair price for the same at the time of such purchase, or before he has notice of the claims or interest of some other person in the property.

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