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Republic of the Philippines) S.S.

City of Talisay
)
x-----------------------x
COMPLAINT-AFFIDAVIT
I, MA. VILLA J. GONZAGA, (the Complainant"), of legal age,
Filipino and resident of Tambis St. Villamonte, Bacolod City, Philippines,
after having been sworn to in accordance with law, do hereby depose and
say that:
1.
I am instituting this criminal complaint against MS. DETCHIE
ENTERINA BAGAPORO, (Respondent BAGAPORO) single, of legal
age, Filipino citizen, and resident of Block 1 Carmela Subdivision, Talisay
City, for MALICIOUS MISCHIEF as defined and penalized under Article
327 in relation to Article 329 of the Revised Penal Code of the Philippines,
to wit:
Article 327. Who are liable for malicious mischief. - Any person
who shall deliberately cause the property of another any damage not
falling within the terms of the next preceding chapter shall be guilty of
malicious mischief.
XXX
Article 329. Other mischiefs. - The mischiefs not included in the next
preceding article shall be punished:
1. By arresto mayor in its medium and maximum periods, if the
value of the damage caused exceeds 1,000 pesos;
2. By arresto mayor in its minimum and medium periods, if
such value is over 200 pesos but does not exceed 1,000 pesos;
and
3. By arresto menor or fine of not less than the value of the
damage caused and not more than 200 pesos, if the amount
involved does not exceed 200 pesos or cannot be estimated.
2. The criminal offense complained of was committed as follows:
a. On or about 10:00 p.m. of December 21, 2014, Respondent
BAGAPORO, with deliberate intent to cause damage, destroyed a
portion of the wire fence of the property -- a house and lot -belonging to the Complainant located at St. Matthew Street, Carmela
Executive Subdivision, Talisay City.
b. Thereafter, Respondent BAGAPORO proceeded to deliberately cause
damage and destroy the window screen of the bathroom window of
the above-mentioned house belonging to the Complainant.
c. The value of the damage caused by Respondent BAGAPORO
amounted to Three Thousand Pesos (P3,000.00), which was the

amount spent in labor and materials for the restoration and repair of
the property damaged by Respondent.
d. Respondents unlawful act of maliciously destroying the property of
herein Complainant does not constitute arson or other crimes
involving destruction.
e. Respondent BAGAPOROs unlawful act of destroying Complainants
property was committed merely for the sake of damaging
Complainants property and was motivated by feelings of hate and
revenge towards Mr. David Wade, who is the lessee of herein
Complainant presently residing at the afore-mentioned property
belonging to Complainant, by reason of their failed relationship.
5. I am executing this affidavit to attest to the truth of the foregoing
averments and to support the criminal complaint for MALICIOUS
MISCHIEF against Respondent BAGAPORO, who should be charged
accordingly.
IN WITNESS WHEREOF, I have hereunto affixed my signature
this____ day of __________2015 at Talisay City, Philippines.

MA. VILLA J. GONZAGA


Complainant
SUBSCRIBED
AND
SWORN
to
before
me
this
__________________________________at Talisay City. I hereby certify
that I have personally examined the affiant and that I am fully satisfied that
she voluntarily executed and understood the contents of the above affidavit.