Facts: The defendant herein raped Oliva Pacomio, a seven-year-old girl. Tan Teng was gambling near the house of the victim and it was alleged that he entered her home and threw the victim on the floor and place his private parts over hers. Several days later, Pacomio was suffering from a disease called gonorrhea. Pacomio told her sister about what had happened and reported it to the police.
Tan Teng was called to appear in a police line-up and the victim identified him. He was then stripped of his clothing and was examined by a policeman. He was found to have the same symptoms of gonorrhea. The policeman took a portion of the substance emitting from the body of the defendant and turned it over to the Bureau of Science. The results showed that the defendant was suffering from gonorrhea.
The lower court held that the results show that the disease that the victim had acquired came from the defendant herein. Such disease was transferred by the unlawful act of carnal knowledge by the latter. The defendant alleged that the said evidence should be inadmissible because it was taken in violation of his right against self-incrimination.
Issue: Whether or Not the physical examination conducted was a violation of the defendant’s rights against self-incrimination.
Held: The court held that the taking of a substance from his body was not a violation of the said right. He was neither compelled to make any admissions or to answer any questions. The substance was taken from his body without his objection and was examined by competent medical authority.
The prohibition of self-incrimination in the Bill of Rights is a prohibition of the use of physical or moral compulsion to extort communications from him, and not an exclusion of his body as evidence, when it may be material. It would be the same as if the offender apprehended was a thief and the object stolen by him may be used as evidence against him.
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