Guidelines for Understanding, Adjudicating,
and Resolving Disputes in Elections
Case 2: The Philippines Experience
Background
It is said that no one loses in an election in the Philippines; either one wins
or one is cheated. Hence, complaints relating to the conduct of elections
are anticipated, and are generally accepted as part and parcel of the Philippine electoral process.
For more than a century,10 the Philippines endured a cumbersome and
crude election process that was widely perceived to be vulnerable to
fraud and cheating. The manual voting, counting, and vote consolidation procedures used in the Philippines have bred a suspicious citizenry
critical of election results. For candidates and parties with enough funds
to support drawn-out and expensive litigation, suspicious incidents of
fraud can become full-blown legal battles through an action called “election protest.”11
As an election complaint adjudication mechanism, election protest provides a post-election remedy in the Philippines to those who question the
results of elections. It seeks to determine the true will of the people12 by
re-examining the ballots, election returns, and the other documents and
materials used in the election. It may affirm or reverse the results of the
election, and thus, it can either confirm or cast doubt on the credibility of
the whole electoral process.
The Philippines ventured into its first ever nationwide automated election
on 10 May 2010 purportedly to rectify the flaws and vulnerabilities of the
manual voting and counting election process. Automation of elections was
The Philippines held its first ever elections in Baliuag, Bulacan under the supervision of
American military governor general Arthur MacArthur on May 6, 1899.
11
An election protest is a contest between the defeated and the winning candidates on
the ground of frauds and irregularities in the casting and counting of the ballots, or in the
preparation of the returns. It raises the questions of who actually obtained the plurality of
the legal votes and therefore is entitled to hold the office. See Samad v. COMELEC, 224
S.C.R.A. 631 (July 16, 1993) (Phil.).
12
The purpose of an election protest is to ascertain whether the candidate proclaimed
elected by the board of canvassers is really the lawful choice of the electorate. See De
Castro v. Ginete, 27 S.C.R.A. 623 (March 28, 1969) (Phil.).
10
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