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Republic of the Philippines

Department of Justice
OFFICE OF THE CITY PROSECUTOR
Quezon City

PEOPLE OF THE PHILIPPINES


Plaintiff,

-versus- Criminal Case No. 54321


FOR: Kidnapping and Serious
Illegal Detention

WICTH DE JUAN
Torre de Beda, Cubao,
Quezon City.
Accused.
x --------------------------------------------------------------- x
AFFIDAVIT OF WITNESS

We, King Hari delos Reyes and Queen Reyna delos Reyes, of legal age with address at Unit 4 Kingdom
of Chinipinas Bldg., Tangle St., Brgy. Disney, Quezon City, after having been deposed in accordance
with the law and state that:

1. That we are lawfully married to each other as husband and wife and said marriage was celebrated
on February 14, 1997 in Quezon City, Metro Manila.
2. That Princess Rapunzel delos Reyes is our biological daughter, and was born on December 9,
1999 in Quezon City.
3. That around 12:00 noon on December 9, 2000, she was separated from us when an unknown
malefactor abducted her who still remains at large today.
4. That despite our combined efforts with the law enforcement officers, the press and of the public,
we did not find her.
5. That on December 9, 2018, we went to the hospital for a check-up and there we found Prince
Charming dela Cruz and a girl who looks just like our long lost daughter.
6. That upon the order of the Court, a DNA-Testing was conducted between us and Princess
Rapunzel delos Reyes which yielded results proving our biological relations.
7. That I am executing this affidavit to attest to the truth of the foregoing statement and to support
the case filed against accused Witch de Juan.

IN WITNESS HEREOF, I have hereunto affixed my signature on January 14, 2019, Quezon City,
Philippines.
KING HARI DELOS REYES/QUEEN REYNA DELOS REYES
Affiants

SUBSCRIBED AND SWORN to before me, the undersigned prosecutor, this 14th day of January 2019,
in Quezon City, Philippines. The undersigned Prosecutor certifies that she personally examined the
affiants and that she is satisfied that they voluntarily executed and understood their affidavit.

ATTY. NOCASE DE CAMPANILLA


Assistant Prosecutor
Roll No. 123456-2006
IBP No. 123456 -1/3/11
PTR No. 1234567-1/3/11;Manila
MCLE Compliance III No. 0013601
Issued on March 16, 2018

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