The Supreme Court ruled that a natural-born Filipino who reacquires citizenship but uses a foreign passport after renouncing foreign citizenship is disqualified from holding local elective office due to dual allegiance. This reaffirms the strict requirements for those seeking public office to demonstrate undivided loyalty to the Philippines, ensuring that individuals in positions of power are fully committed to the nation’s interests.
Passport Paradox: Can a Renounced Citizen Reclaim Public Office?
The case of Arnado v. Commission on Elections revolves around Rommel C. Arnado, a natural-born Filipino who became a U.S. citizen, later reacquiring his Philippine citizenship under Republic Act No. 9225. Arnado’s subsequent use of his U.S. passport led to questions about his allegiance and qualification to run for mayor. The central legal question is whether Arnado, despite his reacquired Philippine citizenship, demonstrated undivided allegiance to the Philippines, a prerequisite for holding elective office. This case highlights the tension between facilitating the return of Filipinos to their homeland and ensuring that those in power are unequivocally loyal to the Philippines.
The Supreme Court’s decision hinged on the interpretation of Section 40(d) of the Local Government Code, which disqualifies those with dual citizenship from running for local elective positions. The court clarified that the phrase “dual citizenship” refers to dual allegiance, meaning that a candidate must demonstrate total and undivided loyalty to the Philippines. The court referred to the ruling in Mercado v. Manzano, where the distinction between dual citizenship and dual allegiance was emphasized, the former being involuntary due to concurrent application of laws from different states, while the latter being voluntary.
In Arnado’s case, the court considered his previous actions, particularly the use of his U.S. passport after taking an oath to renounce his foreign citizenship. The act of using a foreign passport, in the eyes of the court, negated his affidavit of renunciation. Building on this principle, the court emphasized that those seeking elective office must not only meet constitutional and statutory qualifications but also make a personal and sworn renunciation of any foreign citizenship at the time of filing their certificate of candidacy, according to Section 5(2) of RA 9225.
The court cited the *Maquiling v. Commission on Elections* decision, where a similar situation led to Arnado’s disqualification. This previous case set a precedent, holding that the subsequent use of a foreign passport effectively disavowed or recalled the prior affidavit of renunciation. The court underscored that qualifications for public elective office must be strictly complied with. The principle of stare decisis et non quieta movere, which means to adhere to precedents and not to unsettle things which are established, was invoked to ensure consistency and stability in legal rulings.
“When the court has once laid down a principle of law as applicable to a certain state of facts, it will adhere to that principle and apply it to all future cases where facts are substantially the same,” the Court emphasized, citing Tung Chin Hui v. Rodriguez. This established the legal foundation for the current ruling.
Arnado’s attempt to rectify the situation by executing a new affidavit affirming his renunciation shortly before the election was deemed insufficient because it was not executed before filing his certificate of candidacy. The court also dismissed Arnado’s claim of forum-shopping by Capitan, stating that Arnado failed to show that the petitions involved the same parties, issues, and reliefs. The court highlighted that he who alleges has the burden of proving it, a fundamental principle in legal proceedings.
Regarding procedural issues, the court found no grave abuse of discretion by the Comelec, stating that proceedings for disqualification are summary and do not require a trial-type setting. In the case of Diangka v. Comelec, the Supreme Court stated that:
Again, our ingrained jurisprudence is that technical rules of evidence should not be rigorously applied in administrative proceedings specially where the law calls for the proceeding to be summary in character. Pursuant to Section 4, Rule 25 of the 1993 COMELEC Rules of Procedure, petitions for disqualifications are subject to summary hearings.
The court also rejected the alleged newly discovered November 30, 2009 affidavit of renunciation with oath of allegiance stating that it was highly suspect. The court stated that since the original or certified true copy was not presented and that the crucial evidence sufficient to alter the outcome of the case was never presented before the Comelec much less in the Maquiling case and it only surfaced for the first time in this petition. Citing Jacot v. Dal, the court disallowed the belated presentation of similar evidence on due process considerations.
The Supreme Court emphasized that popular vote does not cure the ineligibility of a candidate. While Arnado won by a landslide majority, this cannot override the constitutional and statutory requirements for qualifications and disqualifications. The ruling was consistent with Velasco v. Comelec, establishing that election victory cannot be used as a magic formula to bypass election eligibility requirements.
In the case of Lopez v. Comelec, a similar case where the petitioner failed to comply with Section 5(2) of RA 9225, the Supreme Court said:
While it is true that petitioner won the elections, took his oath and began to discharge the functions of Barangay Chairman, his victory cannot cure the defect of his candidacy. Garnering the most number of votes does not validate the election of a disqualified candidate because the application of the constitutional and statutory provisions on disqualification is not a matter of popularity.
The decision underscores the stringent requirements for those seeking public office, emphasizing the need for undivided allegiance to the Philippines. The Court’s adherence to precedent and strict interpretation of election laws serve as a reminder of the importance of complying with all legal prerequisites before seeking public office.
Ultimately, this case serves as a reminder that eligibility for public office is not merely a formality but a critical safeguard to ensure the integrity of the democratic process. Those seeking to serve the public must demonstrate a clear and unwavering commitment to the nation they wish to lead.
FAQs
What was the key issue in this case? | The key issue was whether Rommel Arnado, a natural-born Filipino who reacquired his citizenship after becoming a U.S. citizen, was qualified to run for mayor given his subsequent use of a U.S. passport and the legal requirements for renouncing foreign citizenship. |
What is dual allegiance, and why is it important? | Dual allegiance refers to owing loyalty to two or more states simultaneously. The Philippine Constitution deems dual allegiance inimical to national interest, disqualifying individuals with dual allegiance from holding public office to ensure undivided loyalty to the country. |
What is Republic Act No. 9225? | Republic Act No. 9225, also known as the Citizenship Retention and Re-acquisition Act of 2003, allows natural-born Filipinos who have lost their citizenship by naturalization in another country to reacquire their Philippine citizenship. It outlines the requirements for doing so, including taking an oath of allegiance to the Philippines. |
Why was Arnado disqualified despite reacquiring his Philippine citizenship? | Arnado was disqualified because, after reacquiring his Philippine citizenship and renouncing his U.S. citizenship, he used his U.S. passport, which the court deemed a recantation of his renunciation, thus demonstrating dual allegiance. |
What is the significance of the affidavit of renunciation? | The affidavit of renunciation is a sworn statement where an individual expressly renounces any and all foreign citizenship. It is a key requirement under RA 9225 for those seeking elective public office to demonstrate their commitment to the Philippines. |
Can election victory override eligibility requirements? | No, the Supreme Court has consistently ruled that election victory cannot cure the defect of a candidate’s ineligibility. Constitutional and statutory provisions on disqualification are not a matter of popularity; they are legal requirements that must be met. |
What was the court’s basis for citing prior decisions? | The court invoked the principle of stare decisis et non quieta movere, which means adhering to precedents and not unsettling established principles. This ensures consistency and stability in legal rulings, guiding the application of law in similar cases. |
What does this case mean for Filipinos who have reacquired citizenship? | This case reinforces the need for those who reacquire Philippine citizenship to strictly comply with all legal requirements, especially those relating to renunciation of foreign citizenship, if they wish to run for public office. Their actions must unequivocally demonstrate undivided allegiance to the Philippines. |
In conclusion, the Supreme Court’s decision serves as a reminder of the stringent requirements for public office, emphasizing the need for clear and demonstrable allegiance to the Philippines. The case highlights the complexities of citizenship laws and the importance of understanding and adhering to all legal obligations, especially when seeking to serve in a position of public trust.
For inquiries regarding the application of this ruling to specific circumstances, please contact ASG Law through contact or via email at frontdesk@asglawpartners.com.
Disclaimer: This analysis is provided for informational purposes only and does not constitute legal advice. For specific legal guidance tailored to your situation, please consult with a qualified attorney.
Source: Rommel C. Arnado vs. COMELEC and Florante Capitan, G.R. No. 210164, August 18, 2015
Leave a Reply