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Republic of the Philippines

National Capital Judicial Region


REGIONAL TRIAL COURT
Quezon City

GRETCHEN PUNO, Crim. Complaint No. CC785


Complainant, For: Viol. of R.A. 9262 or
the Anti-Violence Against
Women and Their Children
Act of 2004

- versus -

MAR PUNO,
Respondent.

x -----------------------------------------------------------------------------x

COMPLAINT AFFIDAVIT

I, GRETCHEN PUNO, married, of legal age, Filipino, with residence


at 248 Salcedo St., Brixton Hills, Quezon City, after having been duly
sworn in accordance with law, hereby depose and state: THAT

1. I am the same person who is the Complainant in the instant


case;

2. The respondent and I were married on 26 November 2000 at


the Basilica of the Immaculate Conception, Intramuros, Manila.

3. That our union was blessed with a son, Carlos Iigo, who was
born on 5 July 2002.

4. However, our marital bliss was only short-lived for immediately


after the wedding, our relationship was already beset by
frequent squabbles which persisted even after the birth of our
son.

5. That despite our problems, we, together with their son, stayed
at our conjugal home in Capitol Homes, Quezon City.
6. That since 11 March 2006, I had been staying at my sister's
house in Brixton Hills, Quezon City, with my son because we
were awaiting the arrival of our mother from abroad.

7. That on 14 March 2006, Respondent picked up Carlos Iigo,


who was staying with me at that time. The following day, I
notified Respondent that I would fetch the child. Respondent
asked me to wait for him at our conjugal abode and told me that
he had something to give me so I acceded. However, much to
my surprise, he refused to allow me to take our minor child.

8. When I protested, Respondent berated, insulted, and told me


that I could no longer see my son without his permission.
Respondent then hit me several times and started choking me
until I couldnt fight him off anymore. Respondent boarded his
car and sped away with our son in tow.
9. I had to proceed to the East Avenue Medical Center to have
my injuries treated and also to Camp Karingal, Sikatuna Village,
Quezon City, to report the matter.

10. The acts aforementioned are violative of Republic Act No.


9262 or Anti-Violence Against Women and Their Children Act of
2004 which provides that

"Violence against women and their children" refers to any


act or a series of acts committed by any person against a
woman who is his wife, former wife, or against a woman
with whom the person has or had a sexual or dating
relationship, or with whom he has a common child, or
against her child whether legitimate or illegitimate, within
or without the family abode, which result in or is likely to
result in physical, sexual, psychological harm or suffering,
or economic abuse including threats of such acts, battery,
assault, coercion, harassment or arbitrary deprivation of
liberty. It includes, but is not limited to, the following acts:

A. "Physical Violence" refers to acts that include bodily or


physical harm;
11. That I cause the preparation of this Affidavit to Support
my Complaint.

IN WITNESS WHEREOF, I have hereunto set my hand this 20 March


2006, Quezon City, Philippines.
GRETCHEN PUNO
Complainant-Affiant

SUBSCRIBED AND SWORN to before me on this 20th day of


MARCH 2006 at Quezon City, affiant exhibiting to me her Driver's
License No. 12345852515 which will expire on April 26, 2008.

MICHAEL DIAZ
City Prosecutor
Roll No. 922371
PTR No. 0242342; 2/10/06;
Quezon City
IBP No. 007308; 2/20/06; Quezon
Chapter
Doc. No. _______;
Page No. _______;
Book No. _______;
Series of 2006.