In People v. Godoy, this
Court made a distinction between criminal and civil contempt. The Court
declared:
A criminal contempt is conduct
that is directed against the dignity and authority of the court or a judge
acting judicially; it is an act obstructing the administration of justice which
tends to bring the court into disrepute or disrespect. On the other hand, civil
contempt consists in failing to do something ordered to be done by a court in a
civil action for the benefit of the opposing party therein and is, therefore, an
offense against the party in whose behalf the violated order is made.
A criminal contempt, being
directed against the dignity and authority of the court, is an offense against
organized society and, in addition, is also held to be an offense against
public justice which raises an issue between the public and the accused, and
the proceedings to punish it are punitive. On the other hand, the proceedings
to punish a civil contempt are remedial and for the purpose of the preservation
of the right of private persons. It has been held that civil contempt is
neither a felony nor a misdemeanor, but a power of the court.
It has further been stated that
intent is a necessary element in criminal contempt, and that no one can be
punished for a criminal contempt unless the evidence makes it clear that he
intended to commit it. On the contrary, there is authority indicating that
since the purpose of civil contempt proceedings is remedial, the defendant’s
intent in committing the contempt is immaterial. Hence, good faith or the
absence of intent to violate the court’s order is not a defense in civil
contempt.
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