This case involves a dispute between the Lam Spouses (Petitioners) and Kodak Philippines (Respondent) over a contract for the sale and delivery of three photo processing units (Minilab Equipment). While Respondent delivered one unit, it failed to deliver the remaining two units. Petitioners argued this was a breach, while Respondent argued the contract allowed for partial performance. The Supreme Court ruled the contract was indivisible, as the parties intended a single transaction for all three units, with payment in installments. As Respondent failed to fully perform its obligation to deliver all three units, it was in breach of the indivisible contract.
This case involves a dispute between the Lam Spouses (Petitioners) and Kodak Philippines (Respondent) over a contract for the sale and delivery of three photo processing units (Minilab Equipment). While Respondent delivered one unit, it failed to deliver the remaining two units. Petitioners argued this was a breach, while Respondent argued the contract allowed for partial performance. The Supreme Court ruled the contract was indivisible, as the parties intended a single transaction for all three units, with payment in installments. As Respondent failed to fully perform its obligation to deliver all three units, it was in breach of the indivisible contract.
This case involves a dispute between the Lam Spouses (Petitioners) and Kodak Philippines (Respondent) over a contract for the sale and delivery of three photo processing units (Minilab Equipment). While Respondent delivered one unit, it failed to deliver the remaining two units. Petitioners argued this was a breach, while Respondent argued the contract allowed for partial performance. The Supreme Court ruled the contract was indivisible, as the parties intended a single transaction for all three units, with payment in installments. As Respondent failed to fully perform its obligation to deliver all three units, it was in breach of the indivisible contract.
This case involves a dispute between the Lam Spouses (Petitioners) and Kodak Philippines (Respondent) over a contract for the sale and delivery of three photo processing units (Minilab Equipment). While Respondent delivered one unit, it failed to deliver the remaining two units. Petitioners argued this was a breach, while Respondent argued the contract allowed for partial performance. The Supreme Court ruled the contract was indivisible, as the parties intended a single transaction for all three units, with payment in installments. As Respondent failed to fully perform its obligation to deliver all three units, it was in breach of the indivisible contract.
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GR No.
167615, January 11, 2016
Spouses Alexander and Julie Liam (Petitioners) v KODAK PHILS. LTD (Respondent) Second Division Ponente: Leonen, J.
Nature of Action: Action for damages for breach of contract.
FACTS: The Lam Spouses and Kodak Philippines, Ltd. entered into an agreement (Letter Agreement) for the sale of three (3) units of the Kodak Minilab System 22XL (Minilab Equipment). Kodak Philippines, Ltd. delivered one (1) unit of the Minilab Equipment in Tagum, Davao Province. The Lam Spouses issued postdated checks amounting to P35,000.00 each for 12 months as payment for the first delivered unit. The Lam Spouses requested that Kodak Philippines, Ltd. not negotiate the check dated March 31, 1992 allegedly due to insufficiency of funds. The same request was made for the check due on April 30, 1992. However, both checks were negotiated by Kodak Philippines, Ltd. and were honored by the depository bank. The 10 other checks were subsequently dishonored after the Lam Spouses ordered the depository bank to stop payment. Kodak Philippines, Ltd. canceled the sale and demanded that the Lam Spouses return the unit it delivered together with its accessories. The Lam Spouses ignored the demand but also rescinded the contract through the letter dated November 18, 1992 on account of Kodak Philippines, Ltd.'s failure to deliver the two (2) remaining Minilab Equipment units. A Complaint for replevin and/or recovery of sum of money was filed by Kodak in the RTC which ruled in their favor. The Lam Spouses then filed before the Court of Appeals a Petition to Set Aside the Orders issued by the trial court and the Orders were subsequently set aside by the Court of Appeals and the case was remanded to the RTC. The Trial Court found that Kodak Philippines, Ltd. defaulted in the performance of its obligation under its Letter Agreement with the Lam Spouses for its failure to deliver two (2) out of the three (3) units of the Minilab Equipment. Nevertheless, the trial court also ruled that when the Lam Spouses accepted delivery of the first unit, they became liable for the fair value of the goods received. The Lam Spouses were under obligation to pay for the amount of one unit, and the failure to deliver the remaining units did not give them the right to suspend payment for the unit already delivered. However, the trial court held that since Kodak Philippines, Ltd. had elected to cancel the sale and retrieve the delivered unit, it could no longer seek payment for any deterioration that the unit may have suffered while under the custody of the Lam Spouses. Petitioners argue that the Letter Agreement it executed with respondent for three (3) Minilab Equipment units was not severable, divisible, and susceptible of partial performance. Respondent's recovery of the delivered unit was unjustified. With the obligation being indivisible, petitioners argue that respondent's failure to comply with its obligation to deliver the two (2) remaining Minilab Equipment units amounted to a breach. Petitioners claim that the breach entitled them to the remedy of rescission and damages under Article 1191 of the New Civil Code. Respondent argues that the parties' Letter Agreement contained divisible obligations susceptible of partial performance as defined by Article 1225 of the New Civil Code. In respondent's view, it was the intention of the parties to be bound separately for each individually priced Minilab Equipment unit to be delivered to different outlets. With the contract being severable in character, respondent argues that it performed its obligation when it delivered one unit of the Minilab Equipment. Since each unit could perform on its own, there was no need to await the delivery of the other units to complete its job. ISSUE: Whether the contract between petitioners and respondent pertained to obligations that are severable, divisible, and susceptible of partial performance. RULING: The Letter Agreement contained an indivisible obligation. Both parties rely on the Letter Agreement as basis of their respective obligations. Written by respondent's Jeffrey T. Go and Antonio V. Mines and addressed to petitioner Alexander Lam, the Letter Agreement contemplated a "package deal" involving three (3) units of the Kodak Minilab System 22XL. The intention of the parties is for there to be a single transaction covering all three (3) units of the Minilab Equipment. Respondent's obligation was to deliver all products purchased under a "package," and, in turn, petitioners' obligation was to pay for the total purchase price, payable in installments. The intention of the parties to bind themselves to an indivisible obligation can be further discerned through their direct acts in relation to the package deal. There was only one agreement covering all three (3) units of the Minilab Equipment and their accessories. The Letter Agreement specified only one purpose for the buyer, which was to obtain these units for three different outlets. If the intention of the parties were to have a divisible contract, then separate agreements could have been made for each Minilab Equipment unit instead of covering all three in one package deal. Furthermore, the 19% multiple order discount as contained in the Letter Agreement was applied to all three acquired units. The "no down- payment" term contained in the Letter Agreement was also applicable to all the Minilab Equipment units. Lastly, the fourth clause of the Letter Agreement clearly referred to the object of the contract as "Minilab Equipment Package." In Nazareno v. Court of Appeals, the indivisibility of an obligation is tested against whether it can be the subject of partial performance: An obligation is indivisible when it cannot be validly performed in parts, whatever may be the nature of the thing which is the object thereof. The indivisibility refers to the prestation and not to the object thereof.
Starbright Sales Enterprises, Inc., Petitioner, Philippine Realty Corporation, Msgr. Domingo A. Cirilos, Tropicana Properties and Development Corporation and Standard Realty CORPORATION, Respondents