The Supreme Court has affirmed that banks cannot unilaterally increase interest rates on loans without violating the principle of mutuality of contracts. This means any interest rate change must be agreed upon by both the bank and the borrower. The court emphasized that borrowers’ lack of familiarity with banking procedures should not be exploited, ensuring fairness and transparency in financial transactions. Any clauses allowing unilateral rate adjustments are invalid, protecting borrowers from arbitrary increases and maintaining the integrity of contractual agreements.
Lending and Loaning: How Much Can Banks Hike Interest Rates?
In this case, Spouses Enrique Manalo and Rosalinda Jacinto sought an All-Purpose Credit Facility from Philippine National Bank (PNB) to fund their home construction. Over time, the credit facility was renewed and expanded, with additional properties secured as collateral. Eventually, PNB claimed the Spouses Manalo defaulted on their payments, leading to foreclosure of the mortgaged properties. The Spouses Manalo then filed a lawsuit to nullify the foreclosure, arguing that PNB unilaterally increased interest rates without proper notice or agreement, rendering the foreclosure invalid.
The central legal question was whether PNB had the right to unilaterally increase the interest rates on the Spouses Manalo’s loan. This issue hinged on the principle of mutuality of contracts, which requires that both parties agree to the terms and conditions of a contract. The Spouses Manalo contended that the credit agreements were contracts of adhesion, where they had no choice but to accept the terms dictated by PNB. They argued that PNB’s unilateral imposition of increased interest rates violated Article 1308 of the Civil Code, which states that a contract must bind both contracting parties and its validity or compliance cannot be left to the will of one of them.
The Regional Trial Court (RTC) initially ruled in favor of PNB, stating that the Spouses Manalo were estopped from questioning the interest rates because they had made payments at those rates for three years without protest. However, the Court of Appeals (CA) partially reversed this decision, affirming the validity of the foreclosure proceedings but modifying the Spouses Manalo’s liability for interest. The CA found that PNB’s failure to specify the applicable interest rate and its unilateral increase of the rate without prior notice violated the principle of mutuality of contracts. The CA then fixed the interest rate at 12% per annum from the time of default.
PNB appealed to the Supreme Court, arguing that the CA erred in nullifying the interest rates because the issue was raised for the first time on appeal, and there was no mutuality of consent in the imposition of interest rates. The Supreme Court, however, upheld the CA’s decision, emphasizing that the validity of the interest rates and the lack of mutuality were issues impliedly raised during the trial. The Court cited Section 5, Rule 10 of the Rules of Court, which states that when issues not raised by the pleadings are tried with the express or implied consent of the parties, they shall be treated as if they had been raised in the pleadings.
The Supreme Court underscored the importance of mutuality of contracts, referencing Article 1308 of the Civil Code. The Court noted that the credit agreement stipulated that the loan would be subjected to interest at a rate “determined by the Bank to be its prime rate plus applicable spread, prevailing at the current month.” The Court found that this stipulation gave PNB the sole prerogative to determine and increase the interest rates imposed on the Spouses Manalo, which contravened the principle of mutuality. As the court explained:
The unilateral determination and imposition of the increased rates is violative of the principle of mutuality of contracts under Article 1308 of the Civil Code, which provides that ‘[t]he contract must bind both contracting parties; its validity or compliance cannot be left to the will of one of them.’
Building on this principle, the Supreme Court highlighted that any obscurity in a contract of adhesion should be construed against the party who prepared the contract, presumed to be the stronger party. PNB should bear the consequences of its failure to specifically indicate the rates of interest in the credit agreement, according to the court. The Court also rejected PNB’s argument that the Spouses Manalo’s continuous payment of interest without protest indicated their assent to the interest rates. Citing Philippine National Bank v. Court of Appeals, the Supreme Court stated that a borrower is not estopped from assailing the unilateral increase in interest made by the lender since silence cannot be construed as acceptance.
Furthermore, the Court noted that the credit agreements explicitly required prior notice before PNB could increase the interest rates. By failing to notify the Spouses Manalo before imposing the increased rates, PNB violated the stipulations of its own contract. Consequently, the Supreme Court declared the varying interest rates imposed by PNB null and void, fixing the interest rate at 12% per annum from the time of default, consistent with the ruling in Eastern Shipping Lines, Inc. v. Court of Appeals. The Court affirmed the CA’s directive for PNB to recompute the Spouses Manalo’s indebtedness and refund any excess from the foreclosure sale, with legal interest applied from the date of the CA’s decision.
The Supreme Court, in line with Nacar v. Gallery Frames and S.C. Megaworld Construction v. Parada, modified the interest rates to be applied on the refunded amount. It specified that any amount to be refunded should bear interest of 12% per annum from March 28, 2006, until June 30, 2013, and 6% per annum from July 1, 2013, until the finality of the decision. The amount to be refunded and its accrued interest would then earn interest at 6% per annum until full refund. This adjustment reflects the changes introduced by Monetary Board Circular No. 799, which prospectively reduced interest rates in judgments.
FAQs
What was the key issue in this case? | The key issue was whether PNB could unilaterally increase the interest rates on the Spouses Manalo’s loan without violating the principle of mutuality of contracts. |
What is the principle of mutuality of contracts? | The principle of mutuality of contracts, as stated in Article 1308 of the Civil Code, requires that a contract must bind both parties, and its validity or compliance cannot be left to the will of one party. |
What is a contract of adhesion? | A contract of adhesion is a contract where one party (usually a large corporation) sets all the terms, and the other party (usually an individual consumer) has little or no ability to negotiate more favorable terms and is placed in a “take it or leave it” situation. |
What did the Court of Appeals decide? | The Court of Appeals affirmed the validity of the foreclosure but modified the interest liability, ruling that PNB’s unilateral increase of interest rates violated the principle of mutuality. It fixed the interest rate at 12% per annum from the time of default. |
What did the Supreme Court decide? | The Supreme Court affirmed the Court of Appeals’ decision, emphasizing that PNB could not unilaterally increase interest rates. It also modified the interest rates to comply with Monetary Board Circular No. 799. |
What interest rates apply to the refund? | The refund bears interest of 12% per annum from March 28, 2006, until June 30, 2013, and 6% per annum from July 1, 2013, until the finality of the decision. The amount and accrued interest then earn 6% per annum until full refund. |
Why is prior notice of interest rate increases important? | Prior notice is important because it allows borrowers to be informed of changes to their loan terms and provides an opportunity to discuss or object to the changes. In this case, it was a stipulation in the loan. |
What is the significance of Monetary Board Circular No. 799? | Monetary Board Circular No. 799 reduced the interest rates allowed in judgments from 12% per annum to 6% per annum, affecting cases finalized after July 1, 2013. |
In conclusion, this case underscores the importance of mutual agreement and fairness in contractual relationships, particularly in financial transactions. Banks must ensure that interest rate adjustments are not unilaterally imposed but are agreed upon by both parties, fostering transparency and protecting borrowers from arbitrary actions.
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: PHILIPPINE NATIONAL BANK VS. SPOUSES ENRIQUE MANALO & ROSALINDA JACINTO, G.R. No. 174433, February 24, 2014