Vous êtes sur la page 1sur 38

SUBSCRIBED AND SWORN to before me, this 18th day of March 2019, by

Zarrick Amiel Mercadejas who exhibited to me (his/her) Community Tax

Certificate No. 76890123 issued at Iloilo, City, Philippines on January 1, 2019.

ATTY. CINDY D. DELFIN


Notary Public
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

Doc. No. ______;

Page No. ______;

Book No. ______;

Series of ______;
REPUBLIC OF THE PHILIPPINES)

CITY OF ILOILO

ACKNOWLEDGMENT

BEFORE ME, a Notary Public for and in the Province of Iloilo of ZARRICK AMIEL

MERADEJAS, personally appeared on March 18, 2019 with Community Tax

Certificate No. 76890123 issued on January 1, 2019 at Lopez Jaena Street JAro,

Iloilo, City (and Tax Identification No. (T.I.N.) 216-777-222), known to me and to

me known to be the same person who executed the foregoing instrument which

he acknowledged to me as his free and voluntary act and deed, consisting of only

one (1) page, including this page in which this Acknowledgement is written, duly

signed by him and his instrumental witnesses on each and every page hereof.

WITNESS MY HAND AND SEAL this18th day of March 2019 at Iloilo, City,
Philippines.
ATTY. CINDY D. DELFIN
Notary Public
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

Doc. No. ______;

Page No. ______;

Book No. ______;

Series of ______;

REPUBLIC OF THE PHILIPPINES)

_____________________________ ) SS.

I, Zarrick Amiel Mercadejas , Filipino, of legal age, and a resident of 154 Javellana

Street Jaro, Iloilo City, after having been duly sworn in accordance with law,

hereby depose and say:

1. That I am a holder of a company identification card bearing serial number

065791379 issued by ZAM Enterprise Incorporated;

2. That I used to put said identification card in my pouch.

3. That sometime on February 18, 2019, when I arrived home from work, I

discovered that my company ID card was no longer in my pouch where I used to

place it;
4. Despite diligent search and efforts to locate said document, I could not find it.

5. That said company ID card was not confiscated by the authorities of company by

reason of any violation of company rules and regulations;

6. That I am executing this affidavit to attest to the truth of the foregoing facts and

to request for a replacement of said company ID card from ZAM Enterprise

Incoporated.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 18th day of

March 2019 at Iloilo, City, Philippines.

ZARRICK AMIEL MERCADEJAS

(Signature of Affiant over Printed Name)

SUBSCRIBED AND SWORN TO before me, a notary public in and for

_____________________ this 18th day of March 2019. The affiant, whom I

identified through the following competent evidence of identity: Voters ID VIN

700-320, valid from January 1, 2019 to January 1,2030 issued at Iloilo, City,

personally signed the foregoing instrument before me and avowed under penalty

of law to the whole truth of the contents of said instrument.

ATTY. CINDY D. DELFIN


Notary Public
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

Doc. No. ........;

Page No. .......;

Book No. .......;

Series of 2019.

SPECIAL POWER OF ATTORNEY

KNOW ALL MEN BY THESE PRESENTS:

I, ZAMIEL MERCADEJAS, single, of legal age, with residence and postal address at

154 Javellana Street Jaro, Iloilo City do hereby APPOINT JANDRICK MERCADEJAS

single, likewise of legal age, with postal address at Lopez Jaena Street, Jaro Iloilo City

as my true and legal representative to act for and in our name and stead and

to perform the following acts:

To sell, offer for sale, and come to an agreement as to the purchase price

and thereafter to sign for us and in our name and receive payment from

the sale of our property more particularly described as follows: 200

hectares of Coconut land in Cagayan De Oro, City


HEREBY GRANTING unto our representative full power and authority to execute

and perform every act necessary to render effective the power to sell the

foregoing properties, as though we ourselves, have so performed it,

and HEREBY APPROVING ALL that he may do by virtue hereof with full right of

substitution of his person and revocation of this instrument.

IN WITNESS WHEREOF , WE HAVE HEREUNTO SET OUR HANDS THIS 18th day of

March 2019, at Iloilo, City .

ZAMIEL MERCADEJAS ATTY. CINDY DELFIN

(Name of Principal) (Name of Agent /Attorney-In-Fact)

Signed in the presence of:

RAO RIEGO JACK RIEGO

Republic of the Philippines )

_________________________) S.S

BEFORE ME, personally appeared:

Name CTC Number Date/Place

Issued

Zamiel Mercadejas 1006739227 Jan 01, 2019

Iloilo City
Jandrick Mercadeja 107624197 Jan 01 2019

Iloilo City

Known to me and to me known to be the same persons who executed the


foregoing instrument and acknowledged to me that the same is their free and
voluntary act and deed.
WITNESS MY HAND AND SEAL, on the date and place first above written.

ATTY. CINDY D. DELFIN


Notary Public
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

Doc. No.______;

Page No. ______;

Book No.______;

Series of 20___.
DEED OF ABSOLUTE SALE

KNOW ALL MEN BY THESE PRESENTS:

This DEED OF ABSOLUTE SALE is made, executed and entered into by:

ZAMIEL MERCADEJAS, of legal age, single, Filipino, and with residence and

postal address at 154 Javellana Street Jaro, Iloilo City, hereinafter referred to as

the SELLER

-AND-

Rao Reigo, Filipino and with residence and postal address at Del Carmen

Street Jaro, Iloilo City, hereinafter referred to as the BUYER.


WITNESSETH;

WHEREAS, the SELLER is the registered owner of a parcel of land

with improvements located at 65 Boulevard Cagayan De Oro, City and covered by

Transfer Certificate of Title No. 6759976 containing a total area of two hundred

square meter (200) SQUARE METERS, more or less, and more particularly

described as follows:

TRANSFER CERTIFICATE OF TITLE NO. 6759976

" A PARCEL OF LAND (Lot 20 Blk 54 of consolidation subdivision plan (LRC)

Pcs-13265, being a portion of the consolidation of Lots 4751-A and 4751-B (LRC)

Psd-50533, Lot 3, Psd-100703, Lot 1, Psd-150980, LRC Rec. Nos. Nos. N-27024,

51768, 89632, N-11782, N-13466, and 21071 situated in the Bo. of 65 Boulevard

Cagayan De Oro. Bounded on NE., point 4 to 1 by Road Lot 22, on...to the point of

beginning; containing an area of (280) square meters more or less..."

WHEREAS, the BUYER has offered to buy and the SELLER has agreed to

sell the above mentioned property for the amount of three million pesos (P

3,000,000.00) Philippine Currency;

NOW THEREFORE, for and in consideration of the sum of three million

pesos (P 3,000,000,000.00) Philippine Currency, hand paid by the vendee to the

vendor, the SELLER DO HEREBY SELL, TRANSFER, and CONVEY by way of

Absolute Sale unto the said BUYER, his heirs and assigns, the certain parcel of

land together with all the improvements found thereon, free from all liens and
encumbrances of whatever nature including real estate taxes as of the date of this

sale.

ZAMIEL MERCADEJAS RAO REIGO

Seller Buyer

SIGNED IN THE PRESENCE OF:

ZANDRICK MERCADEJAS JACK REIGO

ACKNOWLEDGMENT

REPUBLIC OF THE PHILIPPINES)

_____________________________ ) SS.

BEFORE ME, a Notary Public for and in the City of Iloilo, personally appeared:

Name CTC Number Date/Place Issued

Zamiel Mercadejas 10000768 Jan 1, 2019/ Iloilo City

Rao Reigo 10067890 Jan 1, 2019/ Iloilo City


Known to me and to me known to be the same persons who executed the

foregoing instrument and acknowledged to me that the same are their free act

and voluntary deed.

This instrument, consisting of 2 pages, including the page on which this

acknowledgment is written, has been signed on the left margin of each and every

page thereof by the concerned parties and their witnesses, and sealed with my

notarial seal.

WITNESS MY HAND AND SEAL on this 18th day of March 2019 at Iloilo, City.

ATTY. CINDY D. DELFIN


Notary Public
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

Doc. No. ........;

Page No. .......;

Book No. .......;

Series of 20__.
LAST WILL AND TESTAMENT

KNOW ALL MEN BY THESE PRESENTS:

I, ZAMIEL MERCADEJAS , Filipino citizen, of legal age, single, born on the 25th of

February, 1979, a resident of 154 Javellana Street Jaro, Iloilo City, being of

sound and disposing mind and memory, and not acting under undue influence

or intimidation from anyone, do hereby declare and proclaim this instrument to

be my Last Will and Testament, in English, the language which I am well

conversant. And I hereby declare that:


I. I desire that should I die, it is my wish to be buried according to the

rites of the Roman Catholic Church and interred at our family mausoleum

in Cagayan De Oro City;

II. To my beloved wife ASTHERIELLE, I give and bequeath the following

property to wit: 500 square meters of land ;

III. To my esteemed children, Ali Mercadejas and Ares Mercadejas I give

and bequeath the following properties to wit:500 square meters of land in

equal shares;

IV. I hereby designate HADES REIGO the executor and administrator of

this Last Will and Testament, and in his incapacity, I name and designate

JACK REIGO as his substitute.

V. I hereby direct that the executor and administrator of this Last Will

and Testament or his substitute need not present any bond;

VI. I hereby revoke, set aside and annul any and all of my other will or

testamentary dispositions that I have made, executed, signed or

published preceding this Last Will and Testament.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 18th day of

March, 2019 in Iloilo City, Philippines.


ZAMIEL MERCADEJAS

ATTESTATION CLAUSE

We, the undersigned attesting witnesses, do hereby affirm that the forgoing is the

last Will and Testament of ZAMIEL MERCADEJAS and we certify that the testator

executed this document while of sound mind and memory. That the testator

signed this document in our presence, at the bottom of the last page and on the

left hand margin of each and every page, and we, in turn, at the testator's behest

have witnessed and signed the same in every page thereof, on the left margin, in

the presence of the testator and of the notary public, this 18th day of March, 2019

at Iloilo City.

JARICK REIGO
Del Carmen Street Jaro Iloilo City

ARTHUR LOPEZ
McArthur Drive Manduriao, Iloilo City

SIBAL REIGO
McArthur Drive Manduriao, Iloilo City

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the city of Iloilo, personally appeared:
The testator ZAMIEL MERCADEJAS , with CTC No.6752904- issued at Iloilo, CIty

on Januay 1, 2017;

Witness, JARICK REIGO , with CTC No. 1179749issued at Iloilo, City on January 2,

2017;

Witness, ARTHUR LOPEZ, with CTC No. 7469103 issued at Iloilo, City on January 2,

2017;

Witness, SIBAL REIGO , with CTC No. 7562058 issued at Iloilo, City on January 2,
2017

all known to me to be the same persons who executed the foregoing Will, the first

as testator and the last three as instrumental witnesses, and they respectively

acknowledged to me that the same as their own free act and deed.

This Last Will and Testament consists of 4 page/s, including the page on which

this acknowledgment is written, and has been signed on the left margin of each

and every page thereof by the testator and his witnesses, and sealed with my

notarial seal.

IN WITNESS WHEREOF, I have hereunto set my hand the day, year, and place

above written.

ATTY. CINDY D. DELFIN


Counsel for Plaintiff
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

Doc. No. _____;

Page No._____;

Book No._____;

Series of 20__.

REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT

Branch 24

ILOILO, CITY

PEOPLE OF THE PHILIPPINES,

Plantiff,

-versus- CRIMINAL CASE NO. 12345


FOR: MURDER

JUSTIN LEDESMA

Accused,

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

INFORMATION

The undersigned accused JUSTIN LEDESMA of the crime of murder, defined

and penalized under ART. 248 of the Revised Penal Code, committed as follows:

That on or about the 12th day of September, 2014, in

the City of Makati, and within the jurisdiction of this

Honorable Court, the said accused, while serving as

domestic helper in the household RYAN REYNOLDS,

with treachery and evident premeditation, and with

great abuse of confidence, did then and there willfully,

unlawfully and feloniously, attack, assault, and stab

his employer Ryan Reynolds, with a knife, while the

latter was asleep in the master’s bedroom alone, to

insure that there would not be any risk to himself,

inflicting upon said employer fatal wounds in the chest

and the head which caused the direct death and said

Ryan Reynolds.
CONTRARY TO LAW.

Iloilo City, Philippines, September 13, 2018

ATTY. CINDY D. DELFIN

City Prosecutor

WITNESSES:

1. Robert Pattinson

20 Block 4 Henry St. Iloilo City

2. Kristen Stewart

34 Phase 5 Pluto St.Iloilo City

CERTIFICATION

I hereby certify that the forgoing information is filed pursuant to Rules of

Criminal Procedure, the accused not having opted to avail himself of his right to

preliminary investigation and not having executed a waiver pursuant to the

Revised Penal Code. I further certify that this information is being filed with the

prior authority of the City Prosecutor.


Iloilo City, Philippines

ATTY. CINDY D. DELFIN

City Prosecutor

SUBSCRIBED AND SWORN to before me this 13th day of September, 2018 in

Iloilo City, Philippines.

ATTY. CINDY D. DELFIN

City Prosecutor

Republic of the Philippines

Department of Justice

National Prosecution Office

Office of the City Prosecutor

Manila
People of the Philippines,

Plaintiff,

- versus - CRIMINAL CASE N0. 23458

FORCIBLE ABDUCTION

WITH RAPE

JULIO JOSE

234 Asuncio Street,

Tondo, Manila.

Accused.

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

COMPLAINT

The undersigned accuses Julio Jose of the crime of Forcible Abduction with

Rape, committed as follows:

That on or about July 9, 2012, in the City of Manila, Philippines, the said

accused, with lewd designs, did then and there willfully, unlawfully and feloniously

abduct, take and carry away the undersigned complainant while coming out of a

toilet in her home at 113 Magsaysay, Tondo, in said City, by means of force,

violence and intimidation to wit: by pulling her and forcing her to walk, at the

same time pointing at her a gun and threatening to kill her should she cry out for

help, succeeded in bringing her to ride in his car, where they rode going to the

house of the accused’s Uncle Sam where the said accused, by means of force,
violence and intimidation, succeeded in having sexual intercourse with her against

her will.

Contrary to law.

KATERINA MONTENEGRO

Complainant

SUBSCRIBED AND SWORN TO before me this 13th day of August, 2012, in the

City of

Manila, Philippines, by Katerina Montenegro, the complainant.

ATTY. CINDY D. DELFIN

Assistant Prosecutor

I hereby certify that an ex-parte investigation in this case has been conducted

by me in accordance with law; that there is reasonable ground to believe that the

offense charged has been committed; and that the accused is probably guilty

thereof.

Manila, August 13, 2018.


ATTY. CINDY D. DELFIN

Assistant Prosecutor

WITNESSES:

1. Katerina Montenegro, 113 Magsaysay St., Tondo, Manila.

2. Det. Roger Salas, and Det. Arturo Santos, both of DB Detachment 3, MPF

3. Dr. Lorenzo Clarion, Medico Legal Div., MPF

4. Nathaniel Montenegro, 113 Magsaysay St., Tondo, Manila.

BAIL RECOMMENDED: THREE HUNDRED THOUSAND PESOS (P300,000.00)

ONLY.
AFFIDAVIT OF DESISTANCE

REPUBLIC OF THE PHILIPPINES)

CITY OF ILOILO ) S.S.

I, JOSIAH MONTEFALCO, of legal age, single, and a resident of # 123 Main

St., Cagayan De Oro , City after having duly sworn to in accordance with

law hereby depose and state:

1. I am the complaining witness for Serious Physical Injuries against Jesus

Santos in the case entitled "People of the Philippines versus Jesus

Santos", Criminal Case No. 12345, Metropolitan Trial Court, Branch No. 11, City of

Manila.

2. After my sober and soul searching assessment and analysis of the

incident, I have realized that because I was not wearing my eyeglasses and it was

dark, I can not point out, without a doubt the accused or any other person/s who

inflicted harm against me.

3. Since I could not state with certainty and without doubt the liability of

Jesus Santos, in fairness to him, I am permanently withdrawing my complaint

against him. I clear him of whatever responsibility or liability to me.


4. I hereby inform the City Prosecutor of Manila that I am withdrawing my

complaint for Serious Physical Injuries in Criminal Case No. 12345

entitled "People of the Philippines versus Jesus Santos", Metropolitan Trial Court,

Branch No. 11, City of Manila.

5. I likewise request the Metropolitan Trial Court, Branch No. 11, City of

Manila to dismiss with prejudice the said criminal case.

IN WITNESS WHEREOF, I hereby set my hand this 18th day of March 2019

at the City of Iloilo.

JOSIAH MONTEFALCO

Complaining Witness

SUBSCRIBED AND SWORN to before me this 22nd day of January 2019 at the City

of Iloilo, Philippines.

ATTY. CINDY D. DELFIN

Public Prosecutor
Republic of the Philippines
REGIONAL TRIAL COURT
Ninth Judicial Region
Branch 15
Zamboanga City

IN RE: IN THE MATTER OF ADOPTION


OF MINOR MARLOU ROJAS AND
CHANGE OF NAME TO CLIFFORD
SANTIAGO SPECIAL
PROCEEDING
NO. 8977

SPS. ABRAHAM D. SANTIAGO and


ESTER A. SANTIAGO,

Petitioners.

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

PETITION

COMES, NOW, THE PETITIONERS, thru their counsel, and unto this Honorable

Court, most respectfully allege the following, to wit:

1. That petitioners are both of legal age, Filipinos, married to each

other, and residents of #54 Lacandalo Drive, Sta. Maria, Zamboanga City;

2. That they desire to adopt the minor child named MARLOU ROJAS,

who is male, three years of age, Filipino, and likewise residing at #54

Lacandalo Drive, Sta. Maria, Zamboanga City;


3. That herein subject minor, was born at Zamboanga City Medical
Center on December 5, 2012 to MARILOU ROJAS, unmarried, which
proof of birth was duly registered in the Register of Births of the
Office of the Civil Registrar of Zamboanga City, for which a
Certificate of Live Birth was issued. A machine copy of it is herewith
attached as Annex “A”;
4. That the minor child was admitted to the proper care and custody
of the Department of Social Welfare and Development (DSWD for
brevity) by his biological mother together with referring social
worker, SARAH LIM of DWSD-Crisis Intervention Unit located in Sta.
Barbara, Zamboanga City on December 8, 2012. Subject child was
referred to their office by the Medical Social Worker of Zamboanga
City Medical Center (ZCMC for brevity) after being initially assessed
that the mother cannot support the child with all his needs due to
economic and health reasons;

5. That MARLOU was only 2 days old when he was brought for

admission at the center. He was born through normal delivery and assisted

by DR. PIA CENTENO, Medical Officer III of Zamboanga City Medical

Center;

6. That during the interview of the child’s mother, it was found that

the subject child’s mother worked as a Guest Relation Officer (GRO) in

Fantacy KTV bar along MCLL Highway, Guiwan, this city, and his father

could not be identified. No further details regarding his family background

was established due to the mother’s inconsistent answers to the questions.

Moreover, the referring social worker, MS. SARAH LIM worked out to

submit child’s mother for assessment by psychiatrist but the mother

refused as she insisted to be mentally stable and healthy. Per collateral

review on the given address, it was found that the mother has several men

whom she does not want to identify. She has no relative living in the city.

7. That during the child’s admission in the center, the mother, was

informed of the placement status of the child and the center’s programs

and services. She was also advised to come and visit her son to determine

her readiness to assume the role of parenting. Unfortunately, the mother


failed to fulfill such agreement. In fact, it was her first and last visit to her

child has been deprived of the love, care and attention from his biological

mother since he was two (2) days old up to the present;

8. That as per Child Study report, the DSWD has evaluated and

recommended that the minor child can be legally adopted to spouses

ABRAHAM D. SANTIAGO and ESTER A. SANTIAGO for the child’s best

interest and welfare. A copy of said DSWD Child Study Report is herein

attached as Annex “B”;

9. THAT, MOREOVER, Petitioner is qualified to adopt the minor child

above-named under Articles 183-186 of the Family Code of the Philippines,

as amended by the provisions of Republic Act No. 9552, the Domestic

Adoption of 1998;

10. That, in addition, the adoptive applicants have been married

since June 16, 2007 but they remain childless. The spouses decided to

foster a child to whom they can give their love, care and affection. On

January 10, 2014, Marlou Rojas from the Child Reception and Study Center

for Children at Talon-Talon, this city, was placed under their custody as

foster child. Attached herewith is a copy of the spouses’ Marriage Contract

as Annex “C”;

11. That the DSWD in fact made a Child Study Report on the case of

the subject minor child and in that study report i.e. social diagnosis the

minor deprived of parental love and care. They maintained that it was the

present custodian, who unselfishly provided them love and the best

opportunities to make the child fully accepted and loved by the family

resulting to a positive parent-child relationship;


12. That, on September 30, 2015, the subject minor was formally

matched to Spouses ABRAHAM and ESTER SANTIAGO. Last October 15,

2015, the corresponding AFFIDAVIT OF CONSENT TO ADOPTION by

DSWD was issued and herein attached and form part of the petition as

Annex “D”;

13. That herein petitioners has the capability and ability to extend to

said minor the kind of financial support that a parent can give to his child.

ABRAHAM SANTIAGO is an Accounts Officer in the Land Bank of the

Philippines while the wife ESTER is a pre-school teacher at Ateneo de

Zamboanga University Grade School. Attached hereto are the employment

identification cards of petitioners as Annex “E” and “E-1”;

9. That it is for the best interest of said minor if they would be

considered as child of herein petitioners because his financial, spiritual, and

emotional needs would be taken care of and his future would be

safeguarded. In fact, the couple owns a house located a safe neighborhood

in Sta. Maria. They also hired a nanny to take care of the subject minor

while they are at work. Moreover, the mother of Abraham lives with the

spouses who loves the child as much as the spouses. With that, the DSWD,

in its Home Study Report, has strongly evaluated and recommended that

the Honorable Court approve the adoption of minor Marlou Rojas to

Spouse Abraham Santiago and Ester A. Santiago. A copy of the Home

Study Report is herein attached as Annex “F”;

10. That the spouses are of good character, has no derogatory

record whatsoever can be attributed to them, are emotionally and

psychologically capable of caring for the child, are more than sixteen (16)

years older that the subject minor sought to be adopted, are in position to
support and care said child in keeping with the means of the family.

Attached herewith are copies of their Police clearances as statements as

Annexes “G” and “G-1”;

11. That, at present, the subject minor is now three (3) years old

and has been with the petitioners for two (2) years now. He has adjusted

well in the atmosphere and environment of his foster family. He is observed

to be an active, healthy, sociable and affectionate child. Generally speaking,

his total growth and development is within the normal level which could be

attributed to the positive, alternative, and stimulating activities given by

the foster family.

12. That the minor sought to be adopted does not own any real,

personal, tangible and intangible property; and

13. That this adoption is for the best interest and security of the said

minor if he would be considered as true and legal child of herein petitioners

and it will make his life normal, productive, and good persons in the

community;

PRAYER

WHEREFORE, premises considered, it is respectfully prayed of this Honorable

Court to grant this petition of Spouses Abraham and Ester Santiago for the

adoption of Marlou Rojas and for the change of the child’s name to Clifford A.

Santiago.

Such other reliefs which the Honorable Court may deem just and equitable

under the premises are likewise prayed for.


RESPECTFULLY SUBMITTED.

City of Zamboanga, Philippines, January 7, 2016.

ATTY. CINDY D. DELFIN


Counsel for Plaintiff
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

(Republic of the Philippines)

(City of Zamboanga ) S.S.

X- - - - - - - - - - - - - - - - - - - - - - - )

VERIFICATION AND CERITIFICATION

We, Spouses ABRAHAM D. SANTIAGO and ESTER A. SANTIAGO, both of

legal age, Filipino citizens, and residents of #54 Lacandalo Drive, Sta. Maria,

Zamboanga City, under oath, depose and state:

1. That we are the Petitioners in the above-mentioned case;

2. That we have caused the preparation of this Petition;

3. That we have read and understood its contents and affirm that they are

true and correct to our personal knowledge and based on authentic

records; and,
4. That we hereby certify that there is no other case or special proceeding

commenced or pending before any court involving the same parties and

the same issue and that should we learn of such a case or special

proceeding, we shall notify the court within five (5) days from our

notice.

IN WITNESS WHEREOF, we have signed this instrument on the 7th day of

January 2016, in the City of Zamboanga, Philippines.

ABRAHAM D. SANTIAGO ESTER A. SANTIAGO

Affiant Affiant

SUBSCRIBED AND SWORN to before me this 7th day of January 2016, in

the City of Zamboanga, Philippines.

ATTY. CINDY D. DELFIN


Counsel for Plaintiff
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2013

Doc. No. ___


Page No. ___
Book N0. ___
Series of 2016
REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT

REGION VII

CEBU CITY, BRANCH 36

DUSLAKERS LEADING CORPORATION

Plaintiff,

- Versus - Civil Case No. ___________

For: Collection of Sum of Money

MIA AMORE,

Defendant,

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

JUDICIAL AFFIDAVIT

OF

AZRAEL MONTEFALCO
This Judicial Affidavit of AZRAEL MONTEFALCO , who is the head of finance at

Duslakers Leading Corporation, is executed to serve her direct testimony in the

instant case.

This Judicial Affidavit is being offered to prove the following:

A.) All the allegations in the complaint including all annexes appended thereto

and which were already marked as exhibits in the case;

B.) All other related matters, facts and circumstances relevant and material to

this case.

This Judicial Affidavit was taken at the office of Atty. Lito E. Palito at #33 Scottie

Ewing St., Everlasting Subd., Banawa Cebu City.

Questions were propounded by Atty. Lito E. Palito and questions are numbered

consecutively and each question is followed by an answer of the witness.

1. Do you swear to tell the truth and nothing but the truth?

I do.

2. Are you aware the you can face criminal liability for false testimony or

perjury if you will not tell the truth?

I am.

3. Please state your name, age, and address.

I am Bambi Bimbi, 33 years old, #21 WashingMachine St., San Roque

Village, Mandaue Cebu City.

4. What is your position in Duslakers Lending Corporation?

I am the Head of Finace at Duslakers Lending Corporation

5. Do you know Ms. Mia Amore?

Yes.

6. How did you come to know Ms. Amore?


She came to the Duslaker Center to inquire on our loan services.

7. What kind of loan service did she avail?

Loan through a promissory note to serve as collateral and evidence of the

loan.

8. I am showing you this document, herein referred to as Annex ____. Do you

know this document?

Yes.

9. What is this document?

It is a promissory note, Sir.

10. Who executed this promissory note?

Ms. Mia Amore, Sir.

11. When was this promissory note executed by Ms. Mia Amore?

On July 3, 2012

12. When does the promissory note become due and demandable?

One year after or on July 3, 2013

13. After the Promissory Note becomes due and demandable, what did you do?

I, in behalf of the corporation, sent him a demand letter to pay the loan

within 7 days from the receipt of the demand.

14. I am presenting to you this document herein referred to as Annex ____. Do

you know this document?

Yes. That is the 1st demand letter.

15. How did you come to know this document?

I was the one who issued the 1st demand letter

16. Was there any payment made by Ms. Amore in response to the demand?

No. Ms. Amore did not pay the loan.

17. I’m showing you this document herein referred to as Annex _____. Do you

know about this document?


Yes. That document is the 2nd demand letter.

18. How did you come to know this document?

I was the one who issued the same.

19. Was there any payment made?

No, Sir.

20. Did Ms. Amore make any attempts to communicate to you regarding the

said loan.

No.

Further Affiant Sayeth None.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 18th day of

February , 2019, Cebu City.

AZRAEL MONTEFALCO

Affiant

SUBSCRIBED AND SWORN to this 18th day of February, 2019, at the City of

Cebu, Philippines.

ATTY. CINDY D. DELFIN


Notary Public
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2017

SWORN ATTESTATION
The undersigned hereby attests that, as counsel of the witness, he faithfully

recorded the questions he asked and the corresponding answer of the witness and

that he did not coached the witness’ answers to the questions propounded.

ATTY. CINDY D. DELFIN


Counsel for Plaintiff
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2017

SUBSCRIBED AND SWORN to this 18th day of February, 2019, at the City of

Cebu, Philippines.

THIAGO SILVA
Doc. No. : NOTARY PUBLIC
Page No. : Until December 31, 2018
Book No. : PTR No. 906760 - Jan. 3, 2018
Series of 2019 IBP No. 918300
Roll No. 13466

s and circumstances relevant and material to this case


REPUBLIC OF THE PHILIPPINES )

———————————– )

———————————– )S.S

AFFIDAVIT OF WAIVER

I, JOSIAH MONTEFALCO , Singapore citizen, of legal age, resident of Blk. 32

Bendemeer Road # 05-799 Singapore 330032 after having sworn to in accordance

with the law, hereby depose and state:

1. THAT I am legally married to EVA REVILLOSA SOLIS, of legal age, Filipino

Citizen, with the same residence address.


2. THAT during our marital union, we acquired by purchase real estate property

from HOMEMARK INC. particularly described as Block 25 Lot 32 at GREEN ESTATE

PHASE 1 located at MALAGSANG 1 IMUS CAVITE PHILIPPINES .

3. THAT being a foreigner (Singapore citizen ) as stated above, I do hereby waive

whatever rights I have over the above mentioned real estate property.

AFFIANT FURTHER SAYETH NONE IN WITNESS WHEREOF, I have hereunto

affixed my signature, this 18th day of February, 2018 in the PHILPPINES.

JOSIAH M ONTEFALCO

Affiant

SUBSCRIBED AND SWORN to before me, this 18th day of February , 2018, in the

Iloilo City Affiant exhibiting to me his/her Residence Certificate No. 7461404

issued at Iloilo, City on December 28, 2017.

ATTY. CINDY D. DELFIN


Counsel for Plaintiff
Roll No. 5000
IBP No. 011 – Lifetime
PTR No. 70 - 1/2/14 Iloilo
MCLE Compliance IV No. 001234
Issued on January 12, 2017

Doc. No. ___________

Page No. ___________

Book No. __________

Series No. __________

Vous aimerez peut-être aussi