G.R. No. 72119. May 29, 1987 (Case Brief / Digest)

### Title:
Valentin L. Legaspi vs. Civil Service Commission

### Facts:
Valentin L. Legaspi filed a special civil action for Mandamus against the Civil Service Commission (CSC) after it denied his request for information regarding the civil service eligibilities of Julian Sibonghanoy and Mariano Agas, who were employed as sanitarians in the Health Department of Cebu City. Legaspi argued that the Constitution guaranteed his right to such information and that he lacked any other plain, speedy, and adequate remedy to obtain it. The case reached the Supreme Court after procedural objections were raised by the Solicitor General, questioning Legaspi’s legal standing and the CSC’s ministerial duty to provide the requested information.

### Issues:
1. Whether Valentin L. Legaspi has the legal standing to file the case.
2. If there is a constitutional right to information on matters of public concern.
3. Whether the CSC has a ministerial duty to disclose the information requested by Legaspi.

### Court’s Decision:
1. **On Legal Standing**: The Supreme Court held that when the question involves a public right, and the objective is to procure the enforcement of a public duty, the people are regarded as the real party in interest. Consequently, Legaspi, being a citizen and thus part of “the public”, had the legal standing to file the case.
2. **Constitutional Right to Information**: The Court affirmed that the right of the people to information on matters of public concern is a fundamental right guaranteed by the Constitution. It emphasized that such right was operative without the need for any ancillary act of the Legislature.
3. **Duty of the CSC**: The Court ruled that government agencies are without discretion in refusing the disclosure of, or access to, information of public concern. It held that the CSC had a duty to disclose information regarding the civil service eligibilities of Julian Sibonghanoy and Mariano Agas, as their eligibilities pertain to a matter of public concern without any law exempting such information from public disclosure.

### Doctrine:
The decision establishes the doctrine that the right of the people to access information on matters of public concern is guaranteed under the Constitution, and government agencies must provide such information unless there are lawful exceptions. Furthermore, even in the assertion of public rights, a citizen has legal standing to file a Mandamus proceeding when it seeks to procure the enforcement of a public duty.

### Class Notes:
– **Public Right and Duty**: The principle that citizens have a right to access information on matters of public concern, and the corresponding duty of the state to provide that information, unless specifically exempted by law.
– **Legal Standing in Public Right Cases**: A citizen’s right to file a lawsuit is recognized when it pertains to the assertion of a public right and seeks the enforcement of a public duty, establishing the citizenry as the real party in interest in such cases.
– **Mandamus as a Remedy**: Mandamus is a judicial remedy that can be invoked to compel a government agency to perform a ministerial duty, notably in cases involving the public’s right to information.

Most Relevant Legal Statute or Provision: Article III, Section 7 of the 1987 Philippine Constitution, which explicitly guarantees the right of the people to information on matters of public concern and the government’s duty to provide access to such information, subject to conditions prescribed by law.

### Historical Background:
The case represents a critical juncture in the Philippine legal system’s acknowledgment and enforcement of the constitutional right to information, echoing prior decisions while setting a precedent for the accessibility of information held by government entities. The Supreme Court’s decision in Legaspi vs. CSC built upon principles established in earlier cases like Tanada vs. Tuvera, further entrenching the people’s right to information as an instrumental part of democratic governance and public transparency in the Philippines.


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