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TABLE OF CONTENTS Page

I. THE JURAT 2
II. ACKNOWLEDGEMENT 3
III. AFFIDAVIT 4
IV. SPECIAL POWER OF ATTORNEY 5
V. DEED OF ABSOLUTE SALE 7
VI. LEASE CONTRACT 9
VII. COMPLAINT FOR UNLAWFUL DETAINER SAMPLE 12
VIII. ANSWER TO THE COMPLAINT SAMPLE 14
IX. PETITION FOR ADOPTION 16
X. LAST WILL AND TESTAMENT 18
XI. INFORMATION 20
XII. COMPLAINT 21
XIII. JUDICIAL AFFIDAVIT 22
XIV. WAIVER 26
XV. AFFIDAVIT OF DESISTANCE 27

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THE JURAT

SUBSCRIBED and sworn to before me, in the City of Iloilo, this 15th day of May, 2018, the
affiant exhibiting to me his Driver’s License No. 12345 issued by the Land Transportation Office on April 8,
2017 at the City of Iloilo.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

Doc. No. 15
Page No. 5
Book 5
Series of 2018

2|Page
ACKNOWLEDGMENT

REPUBLIC OF THE PHILIPPINES)


CITY OF ILOILO) SS.

BEFORE ME, a Notary Public for and in City of Iloilo this 12th day of March, 2018 personally appeared
RIEZA ARSENIO, with Community Tax Certificate No. 86164 issued on 5th of February, 2018 at Iloilo City,
and Tax Identification No.568475622, known to me to be the same person who executed the foregoing
instrument, and she acknowledged to me that the same is her free act and deed.

IN WITNESS WHEREOF, I have hereunto set my hand and affixed my notarial seal, the day,
year, and place above written.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

Doc. No. 16
Page No. 7
Book 5
Series of 2018

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AFFIDAVIT

That I, JOEMAR P. ARSENIO, married, and of legal age, own and manage GINGERBREAD
CORP., a duly registered and licensed Corporation, with office address located at 105 Hechanova St., La
Paz, Iloilo City, and after being duly sworn to law, depose and say:

1. That the firm stated above has not been operating under a different name other than what has
been duly registered with the Department of Trade and Industry and duly licensed to operate in Iloilo by
the City Mayor’s Office;

2. That the said firm has not been charged with any labor case in the Department of Labor and
Employment and in the National Labor and Reconciliation Commission, nor having pending cases with
the same;

3. That the said firm has not been operating with a Trade Name that has a cancelled registration
with the Department of Trade and Industry;

That I am further executing this affidavit to affirm the truth of my foregoing statements and for
whatever legal purpose it may serve me best.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 15th day of January, 2018
Iloilo City.

JOEMAR P. ARSENIO
Affiant

SUBSCRIBED AND SWORN before me this 18th day of January 2018 affiant presented to me his
Community Tax Certificate No.5687445545 issued on 8th of January 2018 at Iloilo City.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

Doc. No. 18
Page No. 10
Book 5
Series of 2018

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SPECIAL POWER OF ATTORNEY
KNOW ALL MEN BY THESE PRESENTS:

I, JULIA REGALADO, of legal age, Canadian National, widow, resident of 46589-584th Street, North Surrey,
do hereby name, constitute and appoint JESSICA RAGALADO, single, likewise of legal age, with postal address
at 88 Hechanova St., La Paz, Iloilo City, as my true and legal representative to act for and in my name and
stead and to perform the following acts:

1. 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 my land with
Transfer Certificate of Title No. 1905, located at 8th Zaldivar St., San Jose, Antique.
2. To perform any and all relative matter for the fulfillment of the given authority.

HEREBY GRANTING unto my representative full power and authority to execute and perform
every act necessary to render effective the power to sell the foregoing propert y, as though myself, have
so performed it, and HEREBY APPROVING ALL that she may do by virtue hereof with full right of
substitution of her person and revocation of this instrument.

IN WITNESS WHEREOF, I have hereunto set my hands this 9th of April, 2018, at Iloilo City.

JULIA REGALADO
Principal
With my conformity:

JESSICA REGALADO
Agent

SIGNED IN THE PRESENCE OF:

REIZA ARSENIO JOEMAR ARSENIO

REPUBLIC OF THE PHILIPPINES)


CITY OF ILOILO) SS.
ACKNOWLEDGMENT

BEFORE ME, a Notary Public for and in City of Iloilo this 9th day of April, 2018 personally appeared
JULIA REGALADO, with Passport No. 56574 issued on 5th of February, 2018 at DFA Manila, known to me
to be the same person who executed the foregoing instrument, and she acknowledged to me that the same
is her free act and deed.

IN WITNESS WHEREOF, I have hereunto set my hand and affixed my notarial seal, the day,
year, and place above written.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

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Doc. No. 19
Page No. 8
Book 5
Series of 2018

6|Page
DEED OF ABSOLUTE SALE
KNOW ALL MEN BY THESE PRESENTS:

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

RIEZA ARSENIO, of legal age, single, Filipino, and with residence and postal address at 133
Hechanova St., La Paz, Iloilo City, hereinafter referred to as the SELLER

-AND-

JULIA REGALADO, Filipino and with residence and postal address at 46589-584th Street, North
Surrey, Canada, hereinafter referred to as the BUYER.

WITNESSETH;

WHEREAS, the SELLER is the registered owner of a parcel of land with improvements located at
95th Hechanova St., La Paz, Iloilo City, and covered by Transfer Certificate of Title No. 6595 containing a
total area of five hundred eighty two (582) SQUARE METERS, more or less, and more particularly
described as follows:

TRANSFER CERTIFICATE OF TITLE NO. 6595

“A PARCEL OF LAND, 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 95th Hechanova St., La Paz, Iloilo City.
Bounded on northeast, point 4 to 1 by Road Lot 22, to the point of beginning; containing an area of
(582) 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 one million one hundred (P 1,100,00.00) Philippine Currency;

NOW THEREFORE, for and in consideration of the sum of one million one hundred
(P 1,100,00.00) 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.

REIZA ARSENIO JULIA REGALADO


Seller Buyer

SIGNED IN THE PRESENCE OF:

JOEMAR ARSENIO JESSICA REGALADO

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REPUBLIC OF THE PHILIPPINES)
CITY OF ILOILO) SS.
ACKNOWLEDGMENT

BEFORE ME, a Notary Public for and in City of Iloilo this 15th day of April, 2018 personally appeared:

Name CTC Number Date/Place Issued


REIZA ARSENIO 46546874565 Jan 15, 2018/Iloilo City
JULIA REGALADO 65469845136 Jan 9, 2018/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 two (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 15th day of April 2018 at Iloilo City.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

Doc. No. 21
Page No. 2
Book 5
Series of 2018

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LEASE CONTRACT
KNOW ALL MEN BY THESE PRESENTS:

This CONTRACT OF LEASE is made and executed at the City of Iloilo, this 13th day of May, 2018, by and
between:

RICO ARSENIO, of legal age, single, Filipino, and with residence and postal address at 54th
Hechanova St., La Paz, Iloilo City, hereinafter referred to as the LESSOR.

-AND-

RONEL BALTAZAR, Filipino and with residence and postal address at 8th Calatagan St., Cebu City,
hereinafter referred to as the LESSEE.

WITNESSETH; That

WHEREAS, the LESSOR is the owner of THE LEASED PREMISES, a residential property situated at
53rd Hechanova St., La Paz, Iloilo City;

WHEREAS, the LESSOR agrees to lease-out the property to the LESSEE and the LESSEE is willing
to lease the same;

NOW THEREFORE, for and in consideration of the foregoing premises, the LESSOR leases unto the
LESSEE and the LESSEE hereby accepts from the LESSOR the LEASED premises, subject to the
following:

TERMS AND CONDITIONS

1. PURPOSES: That premises hereby leased shall be used exclusively by the LESSEE for residential
purposes only and shall not be diverted to other uses. It is hereby expressly agreed that if at any time the
premises are used for other purposes, the LESSOR shall have the right to rescind this contract without
prejudice to its other rights under the law.

2. TERM: This term of lease is for ONE (1) YEAR from June 4, 2018 to June 4, 2019 inclusive. Upon its
expiration, this lease may be renewed under such terms and conditions as my be mutually agreed upon by
both parties, written notice of intention to renew the lease shall be served to the LESSOR not later than
seven (7) days prior to the expiry date of the period herein agreed upon.

3. RENTAL RATE: The monthly rental rate for the leased premises shall be in PESOS: Twenty
Thousand Pesos (P 20,000.00), Philippine Currency. All rental payments shall be payable to the LESSOR.

4. DEPOSIT: That the LESSEE shall deposit to the LESSOR upon signing of this contract and prior to
move-in an amount equivalent to the rent for THREE (3) MONTHS or the sum of PESOS: Sixty
Thousand Pesos (P 60,000.00), Philippine Currency. Wherein the two (2) months deposit shall be
applied as rent for the 11th and 12th months and the remaining one (1) month deposit shall answer
partially for damages and any other obligations, for utilities such as Water, Electricity, CATV, Telephone,
Association Dues or resulting from violation(s) of any of the provision of this contract.

5. DEFAULT PAYMENT: In case of default by the LESSEE in the payment of the rent, such as when
the checks are dishonored, the LESSOR at its option may terminate this contract and eject the LESSEE.
The LESSOR has the right to padlock the premises when the LESSEE is in default of payment for One (1)
month and may forfeit whatever rental deposit or advances have been given by the LESSEE.

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6. SUB-LEASE: The LESSEE shall not directly or indirectly sublet, allow or permit the leased premises
to be occupied in whole or in part by any person, form or corporation, neither shall the LESSEE assign its
rights hereunder to any other person or entity and no right of interest thereto or therein shall be conferred
on or vested in anyone by the LESSEE without the LESSOR'S written approval.

7. PUBLIC UTILITIES: The LESSEE shall pay for its telephone, electric, cable TV, water, Internet,
association dues and other public services and utilities during the duration of the lease.

8. FORCE MAJEURE: If whole or any part of the leased premises shall be destroyed or damaged by
fire, flood, lightning, typhoon, earthquake, storm, riot or any other unforeseen disabling cause of acts of
God, as to render the leased premises during the term substantially unfit for use and occupation of the
LESSEE, then this lease contract may be terminated without compensation by the LESSOR or by the
LESSEE by notice in writing to the other.

9. LESSOR'S RIGHT OF ENTRY: The LESSOR or its authorized agent shall after giving due notice to
the LESSEE shall have the right to enter the premises in the presence of the LESSEE or its representative
at any reasonable hour to examine the same or make repairs therein or for the operation and maintenance
of the building or to exhibit the leased premises to prospective LESSEE, or for any other lawful purposes
which it may deem necessary.

10. EXPIRATION OF LEASE: At the expiration of the term of this lease or cancellation thereof, as
herein provided, the LESSEE will promptly deliver to the LESSOR the leased premises with all
corresponding keys and in as good and tenable condition as the same is now, ordinary wear and tear
expected devoid of all occupants, movable furniture, articles and effects of any kind. Non-compliance with
the terms of this clause by the LESSEE will give the LESSOR the right, at the latter's option, to refuse to
accept the delivery of the premises and compel the LESSEE to pay rent therefrom at the same rate plus
Twenty Five (25) % thereof as penalty until the LESSEE shall have complied with the terms hereof. The
same penalty shall be imposed in case the LESSEE fails to leave the premises after the expiration of this
Contract of Lease or termination for any reason whatsoever.

11. JUDICIAL RELIEF: Should any one of the parties herein be compelled to seek judicial relief
against the other, the losing party shall pay an amount of One Hundred (100) % of the amount clamed in
the complaint as attorney's fees which shall in no case be less than P50,000.00 pesos in addition to other
cost and damages which the said party may be entitled to under the law.

12. This CONTRACT OF LEASE shall be valid and binding between the parties, their successors-in-
interest and assigns.

IN WITNESS WHEREOF, parties herein affixed their signatures on the date and place above written.

RICO ARSENIO RONEL BALTAZAR


Lessor Lessee

SIGNED IN THE PRESENCE OF:

JONEL MATEO EMMA DELA CRUZ

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BEFORE ME, a Notary Public for and in City of Iloilo this 15th day of April, 2018 personally appeared:

Name CTC Number Date/Place Issued


RICO ARSENIO 1541544565 Jan 25, 2018/Iloilo City
RONEL BALTAZAR 123233434 Jan 9, 2018/Cebu 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.

This instrument consisting of three (3) pages, including the page on which this acknowledgement is
written, has been signed on each and every page thereof by the concerned parties and their witnesses, and
sealed with my notarial seal.

WITNESS MY HAND AND SEAL, on the date and place first above written.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

Doc. No. 22
Page No. 2
Book 5
Series of 2018

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COMPLAINT FOR UNLAWFUL DETAINER SAMPLE
REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
City of Iloilo
Branch 12

EMMAN NOLAN,
Plaintiff,
CIVIL CASE No. 58545
-versus- FOR: Unlawful Detainer

GEORGE CRUZ,
Defendant.

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

COMPLAINT

COMES NOW, the plaintiff, through the undersigned counsel and unto this Honorable Court, most
respectfully avers:

1. That the plaintiff, EMMAN NOLAN, is of legal age, Filipino citizen, single, with residence and postal address
at 123 Hechanova St., La Paz, Iloilo;
2. That the defendant, GEORGE CRUZ, is of legal age, Filipino citizen, single, with residence and postal
address at 6 Hechanova St., La Paz, Iloilo, where they may be served with summons and other court
processes;
3. The plaintiff is the owner of a land over which an apartment had been constructed located 54 Hechanova
St., La Paz, Iloilo;
4. By virtue of a contract of lease, the plaintiff leased unto the defendant the aforesaid apartment for a
consideration of P5,000.00 a month as rental to be paid within the first ten (10) days of each month starting
May 15, 2017;
5. The defendant failed to pay the agreed rental for several months starting July 15, 2017 up to the present;
6. On January 8, 2018, the plaintiff sent a letter of demand to vacate the apartment which was received by the
defendant as shown in the registry return receipt hereto attached as Annex “A”;
7. Despite said letter of demand which was repeated by oral demands, the defendant failed and still refused to
pay the agreed amount of rentals and to vacated the apartment;
8. By reason of failure of the defendant to vacate the premises and to pay the unpaid rentals, the plaintiff was
compelled to file this complaint engaging the services of counsel in the amount of P10,000.00.

WHEREFORE, premises considered, it is most respectfully prayed unto this Honorable Court that, after
hearing, judgment be rendered ordering the defendant:

1. To vacate the subject premises;


2. To pay the amount of P5,000.00 per month as compensation for the reasonable use of the subject premises
until they finally vacate the said premises;
3. To pay the plaintiff the cost of the suit.

City of Iloilo, May 15, 2018


ZALDIVAR, SALARDA AND ARSENIO LAW OFFICE
Counsel for the Plaintiff
Unit 123, Injap Building
Diversion Road, Iloilo

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By:
ATTY. RACHEL MARIE SALARDA
NOTARY PUBLIC – Iloilo City
Appointment No. 238123
Until Dec. 31, 2019
Roll No. 238723
PTR No. 041417, 05-14-18, Iloilo City
IBP No. 081480, 06-18-18, Iloilo City

VERIFICATION/CERTIFICATION OF FORUM SHOPPING

Republic of the Philippines)


City of Manila ) S.S.

I, EMMAN NOLAN, is of legal age, Filipino citizen, single, with residence and postal address at 123
Hechanova St., La Paz, Iloilo, after having been duly sworn to in accordance with law do hereby depose and
say:

1. That I am the plaintiff in the above-entitled case;


2. That I have caused the preparation of the foregoing complaint and have read the allegations contained
therein;
3. The allegations in the said complaint are true and correct of my own knowledge and authentic records;
4. I hereby certify that I have not commenced any other action or proceeding involving the same issues in any
court, tribunal or quasi-judicial agency and, to the best of my knowledge, no such other action or claim is
pending therein;
5. That if I should learn thereafter that a similar action or proceeding has been filed or is pending, I hereby
undertake to report that fact within five (5) days therefrom to the court or agency where the original
pleading and sworn certification contemplated herein have been filed;
6. I executed this verification/certification to attest to the truth of the foregoing facts and to comply with the
provisions of Adm. Circular No. 04-94 of the Honorable Supreme Court.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 15th of May 2018, in the City of Iloilo.

EMMAN NOLAN

SUBSCRIBED AND SWORN to before me this 15th day of May 2018, in the City of Iloilo, affiant
exhibiting to me his Driver’s License No. 12345 issued by the Land Transportation Office on January 15,
2018 at the City of Iloilo.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City
Doc. No. 19
Page No. 5
Book 6
Series of 2018

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ANSWER TO THE COMPLAINT SAMPLE

REPUBLIC OF THE PHILIPPINES


REGIONAL TRIAL COURT
City of Iloilo
Branch 15
JOHN LAPID,
Plaintiff,

-versus- CIVIL CASE NO. 12345

GERALD MANLANGIT,
Defendant.
x--------------------------------------------x

ANSWER

COMES NOW, the defendant, through the undersigned counsel and unto this Honorable Court, most
respectfully avers:

1. That he ADMITS the contents of paragraph 2 only insofar as his personal circumstances are concerned;
2. That he ADMITS his obligation of paying the monthly installments cited in paragraph 3 of the complaint,
but DENY the rest of the allegations therein as said defendant’s obligation to plaintiff is not for the exercise
of a right to repurchase but for the amortization of a loan that he acquired from the plaintiff at an interest
of 12% per annum;
3. That defendant is without knowledge or information sufficient to form a belief as to the veracity of the
averments in paragraph 4 of the complaint;
4. That defendant does not, at the moment, have all the records of payments he made to plaintiff, so that he
also does not have information sufficient to form a belief as the truth of the allegations in paragraph 5 of
the complaint and, therefore, DENY them.

WHEREFORE, the defendant respectfully prays that the complaint be dismissed with costs against the
plaintiff.

Other relief and remedies as may be deemed just and equitable under the premises are likewise prayed for.

City of Iloilo, June 11, 2018.


ZALDIVAR, SALARDA AND ARSENIO LAW OFFICE
Counsel for the Defendant
Unit 123, Injap Building
Diversion Road, Iloilo

By:
ATTY. CHRISTINE ASUNCION P. ZALDIVAR
NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

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Copy furnished:
ATTY. JIMMY P. BALILING
Counsel for the Defendant
Unit 12, Luna Building
La Paz, Iloilo

EXPLANATION

Copy of the foregoing ANSWER was served to plaintiff’s counsel by registered mail due to time and
distance constraints and for lack of the undersigned’s staff who can serve the same in person.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec.

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PETITION FOR ADOPTION
REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
Branch 18
City of Iloilo

PETITION FOR ADOPTION OF MINOR –


JESSICA CRUZ

SP. PROC. No. 12345

RUBEN ARSENIO and


LUISA ARSENIO,
Petitioners.
x -------------------x

PETITION

Petitioners, thru counsel, unto this Honorable Court most respectfully state:

1. That petitioners are RUBEN ARSENIO and LUISA ARSENIO, Filipino Citizens, both of legal
age, spouses and with residence at 15 Hechanova St., La Paz, Iloilo, where they may be served
with the processes of this Honorable Court;

2. That the petitioners were married on June 15, 2016 at Jaro, Iloilo City, this fact is evidenced by
their “Certificate of Marriage”, a copy of which is attached herein as Annex “A”;

3. That the herein petitioners desire to adopt JESSICA CRUZ, born on May 15, 1999, a copy of the
“Certificate of Live Birth” of minor JESSICA CRUZ is attached herein as Annex “B”;

4. That petitioner LUISA ARSENIO gives his consent to the adoption of the subject minor. This
fact is evidenced by the “Affidavit of Consent” of petitioner BB, a copy of which is attached
herein as Annex “C”;

5. That the subject minor hereby gives her consent to the adoption and the legal implications of
the adoption were explained to her. This fact is evidenced by the “Affidavit of Consent” of
JESSICA CRUZ, a copy of which is attached herein as Annex “D”;

6. That the subject minor has no real properties except for some personal effects;

7. That the subject minor is physically fit to be adopted by the petitioners. This fact is evidenced
by the medical certificate, a copy of which is attached herein as Annex “E”;

8. That the subject minor possesses all the qualifications and none of the disqualifications for her
to be adopted by the herein petitioners;

9. That the herein petitioners possess all the qualifications and none of the disqualifications to
adopt the subject minor;

10. That the herein petitioners are in possession of full civil capacity and legal rights to adopt the
subject minor;

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11. That the petitioners have not been convicted of any crime involving moral turpitude. This fact
is evidenced by the signed Affidavit which are attached herein as Annexes “J”, “K”, “L”,“M” ;

12. That the herein petitioners are physically, mentally, psychologically, emotionally, and
financially qualified to adopt the said minor, this fact is evidenced by the medical certificate
issued to the petitioners, copies of which are attached herein as Annexes “S” and “T”
respectively;

13. That prior to the filing of the instant petition, a social worker has been assigned to the subject
adoption and he has prepared the Child and Home Study Report which are attached herein as
Annex “X”.

14. This petition will serve the best interest and well-being of the subject minor.

PRAYER

WHEREFORE, petitioners pray that after due notice, publication, and hearing, this petition for
adoption be granted and:

a. Declaring the minor to be the daughter of the petitioners by adoption; and

b. That the last name of JESSICA CRUZ be changed to ARSENIO, which is the surname of the
petitioners.

Other reliefs just and equitable are prayed for.

Iloilo, July 2, 2018

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City
Doc. No. 20
Page No. 7
Book 6
Series of 2018

17 | P a g e
LAST WILL AND TESTAMENT

KNOW ALL MEN BY THESE PRESENTS:

I, WIL U. ONG, Filipino citizen, of legal age, married to ROSE Y. ONG, born on the 8th of January 1948,
a resident of 18 Hechanova St., La Paz, Iloilo, 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 Manila;

II. To my beloved wife ROSE Y. ONG, I give and bequeath the following property to wit: house
and lot located in 18 Hechanova St., La Paz, Iloilo;

III. To my esteemed children, WILLIAM Y. ONG and RANDY Y. ONG, I give and bequeath the
following properties to wit: 3 hectares of land in San Jose, Antique with TCT. No. 23123 in
equal shares;

IV. To my dear brother, RYAN U. ONG, I give and bequeath the following properties to wit: gray
Ford Everest SUV with Plate No. NN14344;

V. To my loyal assistant, RICARDO DALISAY, I give and bequeath the following properties to
wit: black Volkswagen Sonata Sedan with Plate No. WO2323;

VI. I hereby designate ATTY. CHRISTINE ASUNCION P.ZALDIVAR the executor and
administrator of this Last Will and Testament, and in her incapacity, I name and designate
ATTY. RACHEL MARIES SALARDA as her substitute;

VII. I hereby direct that the executor and administrator of this Last Will and Testament or her
substitute need not present any bond;

VIII. 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 13th day of August 2018, in Iloilo
City, Philippines.

WIL U. ONG
(Signature of Testator over Printed Name)

ATTESTATION CLAUSE

We, the undersigned attesting witnesses, do hereby affirm that the forgoing is the last Will and Testament
of WIL U. ONG 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
13th day of August 2018 at Iloilo City.

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RUBEN ARSENSIO No. 24, Poblacion, Oton, Iloilo
Signature of Witness Address

JULIA REGALADO 21 Hechanova St., La Paz, Iloilo City


Signature of Witness Address

LYN CRUZ 3 Zaldivar St., San Jose, Antique


Signature of Witness Address

JOINT ACKNOWLEDGMENT

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

The testator WIL U. ONG, with CTC No. 552362 issued at Iloilo City on January 8, 2018;

Witness, RUBEN ARSENSIO, with CTC No. 566712 issued at Oton, Iloilo 0n January 15, 2018;

Witness, JULIA REGALADO, with CTC No. 557213 issued at Iloilo City on January 18, 2018;

Witness, LYN CRUZ, with CTC No. 572362 issued at San Jose, Antique on January 22, 2018;

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 two (2) 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. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

Doc. No. 21
Page No. 1
Book 7
Series of 2018

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INFORMATION

Republic of the Philippines


REGIONAL TRIAL COURT
Branch 14
Iloilo City

PEOPLE OF THE PHILIPPINES,


Plaintiff, Crim Case No. 123456

-Versus-
For: Homicide

LEON GARCIA,
Accused.
x - - - - - - - - - - - - - - - - - - - - -x

INFORMATION

The undersigned Assistant City Prosecutor hereby accuses LEON GARCIA of the crime of
Homicide committed as follows:

That on or about August 31, 2018, Iloilo City within the jurisdiction of this court, the said accused,
armed with a bladed weapon, with intent to kill, did then and there willfully, unlawfully and feloniously
attack, assault and stab DELFIN LOPEZ, thereby inflicting upon him a fatal wound which directly caused
his death.

Contrary to law.

Iloilo, Philippines, Sept 3, 2018.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


Private Prosecutor

WITNESSES:

FREDO GALANG ROBIN MANANSALA

CERTIFICATION

I hereby certify that a preliminary investigation was conducted in the above-entitled case, and there is
prima facie evidence that the crime of Homicide has been committed and that the accused is probably guilty
thereof.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


Private Prosecutor

Bail Recommended: None

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COMPLAINT
Republic of the Philippines
Regional Trial Court
City of Iloilo

People of the Philippines Criminal Case No. 235211

- Versus -

JOSEPH MAGINOO,
Accused
x--------------------------------x

COMPLAINT

The undersigned, Chief of Police of Iloilo City, accuses JOSEPH MAGINOO. In the City of Iloilo,
province of Iloilo, Philippines, the said accused did then and there, willfully, unlawfully, and feloniously,
with malice and aforethought, attacked FELIPE MAKADIYOS with samurai, wounding the latter in the
neck, producing wounds which are necessarily fatal, and thereby causing the immediate death of the said
victim.

Contrary to law.

Iloilo, Philippines, 2018.

SR. SUPT. DIEGO MADLANGBAYAN


Chief of Police of Iloilo City

SUBSCRIBED AND SWORN before me this 17th day of September 2018 in the province of Iloilo.

Justice Ramon Q. Avancena


JUDGE

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JUDICIAL AFFIDAVIT

I, MARVIN GO, 38 years old, born on September 14, 1980, single, employed as Salesman at
MyFuture Hardware, Iloilo City, after having been duly sworn to in accordance with law, hereby depose and
state:

PRELIMINARY STATEMENT

That in accordance with A.M. No. 12-8-8-SC, which prescribes the use of judicial affidavits to
serve as the direct examination testimony of the witness, on the basis of which the adverse party may
conduct their cross-examination on such a witness, I hereby execute this judicial affidavit in a question and
answer format;

That conformably with section 3 (b) of the said A.M. No. 12-8-8-SC, I also state that it was
P.SUPT. MARIO MANALO, investigator of Iloilo City who conducted the examination of the undersigned
affiant;

That conformably also with section 3 (c) thereof, I hereby state under the pain of perjury that
in answering the questions asked of me, as appearing herein below, I am fully conscious that I did so under
oath, and that I may face criminal liabilities for false testimony or perjury;

AND UNDER OATH, AVERS THE FOLLOWING:

[knowledge/information
about illegal drug network]

1. Q : What are the reasons why you are voluntarily came to this Office?
A : Because I want to change my life and I want to freely and voluntarily
give information relative to the illegal activities of my previous drug
syndicate.

2. Q : If that is the case, can you tell us all your knowledge/information about
the illegal drugs activities of your gang?
A : Yes sir. I am previously a member of the Batu Gang. We are
5 members in the gang. Our leader is Baltimore Tuason, an
AWOL PNP Officer. The other gang members are Renan Bagatsing,
Fred Marquez and Ian Santos. Every one of us carry caliber .45 pistols for our protection.
We have also two long firearms (armalite rifles) inside our service Toyota Innova with
plate number BT14344. Our gang controlled the marketing of
illegal drugs known as “SHABU” all over Iloilo City. We usually
peddled 5-10 kilograms of “SHABU” in a week.

3. Q : What is your function in the gang?


A : I’m the one looking for pushers in the street level.

4. Q : If you look for pushers, what did you do?


A : I will set a meeting and talk with them on the drug deal.

5. Q : What happened if they agreed with the drug deal with your gang?
A : They will become our pusher member and they have the privilege to
use “SHABU” in our den for free, provided they will sell our item
“SHABU” and remit the proceeds to the gang every day.

6. Q : How many grams do you give to your pushers every day?

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A : I give each of them 50 grams.

7. Q : How much per gram of your “SHABU”?


A : We give only 200.00 per gram to our pushers.

8. Q : You said that your gang has a drug den, where it is located and who
manage it?
A : It is located at 13 Forgotten St., Jaro, Iloilo City. Our leader
Baltimore Tuason manage our drug den.

9. Q : Who are your street pushers/peddlers?


A : As far as I remember, they are Jun Perez, Nita Ong,
Patrick Santos and Julius Pueblo.

10. Q : Where did they live?


A : Jun Perez lives in 34 Manduriao St., Jaro at
Iloilo City, while Nita Ong at Poblacion, Oton, Iloilo. I did
not know where the two pushers live.

11. Q : You have elaborated your pushing activities, may I know where do you
get your supply of “SHABU”?
A : Most of our “SHABU” came from Tarlac.

12. Q : Can you specify on whom do you get your “SHABU”?


A : Being in the underground world, I have heard many big names but
there is always a common name I know as the main supplier, his name
is Pedro Sy, a Filipino-Chinese national.

13. Q : Now, that you mentioned Pedro Sy, as the main


supplier, how big his illegal drug activities and how powerful or
influential he is?

A : His illegal drugs trade is a multi-billion underworld business. He has


connections in China and here in the Philippines, both political and law
enforcement.

14. Q : Do you know who are his connections here in the Philippines?
A : As far as I know, he is very close to Gen. Ben Tamayo, a
three star general in Camp Crame. Also with Ted Oro,
a Congressman in Cebu.

15. Q : How do you know him?


A : Sometimes in 2015 I and Gen. Ben were introduced during a
special gathering of a local politician friend.

16. Q : On your first meeting, what were your agenda?


A : He talks about illegal drugs business in the Philippines. He looked for
some trusted persons to deal with the illegal drugs. He asked me if I
can be his partner here in the Philippines, but I refused his offer.
However, I assured him that I can be one of his primary pushers.

17. Q : Now that you’re on the deal of pushing his “SHABU”, how it is done to
have you the illegal drugs?
A : I pick up the “SHABU” in the port. He calls me that his “SHABU” arrives
and available for pick up in the port, there we met in the port and gives
me the volume I needed.

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18. Q : You said that the “SHABU” arrives in the port, where does it came
from?
A : The “SHABU” came from main land China.

19. Q : How and where it is transported?


A : Pedro Sy has a legitimate cargo business from
China to Manila and vice versa. He owned 3 vessels. Every time each
vessel arrived in the Manila port it carries large volumes of “SHABU”,
alongside with his legal cargo business.

20. Q : What are the vessels names?


A : It is MV Stone, MV Cash and MV Jail.

21. Q : Where and when these vessels ducked here in the Philippines?
A : Usually the vessels arrived on Sunday, Wednesday and Friday at pier
2, Port of Iloilo.

22. Q : Do you know any elected local government officials protecting the
illegal drugs in your place?
A : I do believed our own Mayor Dimadakip involved
and also protecting the illegal drugs “SHABU” in our place.

23. Q : Why did you say that your Mayor is protecting the “SHABU” activities?
A : Because all the “SHABU” pushers who had been arrested by the police
in our place were never been prosecuted for illegal drugs activities
because of our Mayor’s intervention in the initiation of complaints.

24. Q : What were the police do?


A : In fear of our Mayor, the police just temporarily locked up the arrested
pushers in the station and freed them after, without filing any criminal
complaint for illegal drugs. Since then, the police tolerated the pushing
of “SHABU” in our place.

25. Q : What else can you say that your Mayor is involved in protecting the
“SHABU” activities in your place?
A : Mayor Dimadakip has unexplained wealth. Since he was
elected as our Mayor, he has built 4 mansions with swimming pool, 5
luxury cars, 2 yachts and 3 10-story commercial buildings.

26. Q : You said that the police tolerated the pushing of “SHABU” in your place
because your Mayor at any time intervene the law enforcement
activities against illegal drugs, as of today, how rampant is “SHABU” in
your place?
A : I do believe almost all the barangays in our (Municipality/City) has been
infiltrated by the illegal drugs “SHABU” activities. I believe that every
barangay has pusher.

27. Q : _______xxxxx OTHER CONNECTING QUESTIONS xxxxx_______


A : _________xxxxx ANSWERS xxxxx__________

28. Q : Are you willing to help us find and bring the other members of your
gang to justice?
A : Yes. I am willing to help in order to stop their illegal drug activities.

29. Q : For the meantime, I don’t have further questions, do you have any
statements to add or take away on this affidavit?

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A : I don’t have sir for the meantime.

30. Q : Were you threatened, promised or bribed to do this confession?


A : No sir. I made it voluntarily with my own free will.

31. Q : Are you willing to sign this affidavit consisting of six (6) pages, to
certify that all the statements you made are true.
A : Yes sir.

---------END OF STATEMENT----------

IN WITNESS WHEREOF, I hereunto set my hand below this 3rd day of December, 2018 at
Iloilo City.

Marvin Go
Affiant

SUBSCRIBED AND SWORN to before me this 3rd day of December, 2018 at Iloilo City. Further, I
certify that I personally examined the herein affiant that he voluntarily executed and fully understood his
statements.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


Administering Officer

ATTESTATION

I, P.SUPT. MARIO MANALO, investigator of Iloilo City Police Station 3, No. 34 General Luna St.,
Iloilo City, on my oath as the Investigator-on-Case (IOC), hereby depose and states:

That I have personally conducted the foregoing examination to the witness-affiant Marvin Go at
Iloilo City Police Station 3, No. 34 General Luna St., Iloilo City;

That I have faithfully recorded and translated into English language the questions asked of him/her
and the corresponding answers that he/she gave in response to the questions asked;

Neither I nor any other person/s coached this witness-affiant regarding the answers given by her.

IN WITNESS WHEREOF, I hereunto set my hand below this 3rd day of December, 2018 at
Iloilo City.

P.SUPT. MARIO MANALO


Investigator

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WAIVER
Republic of the Philippines)
City of Iloilo) S.S.
x--------------------------x

RELEASE AND WAIVER

I, BERTO LOPEZ, of legal age, Filipino citizen, and presently residing at 83 HECHANOVA St., Iloilo
City, after having been duly sworn to in accordance with law, do hereby depose and say:

1. That as a result of a motor vehicle accident which occurred on September 14, 2018 in Iloilo City, when I was
hit by a car driven by Boboy Siga and owned by Jessa Morales, I filed a criminal and civil complaint against
both Boboy Siga and Jessa Morales in the Regional Trial Court of Iloilo City.

2. That after verifying the facts, I realized that said Boboy Siga was not altogether reckless in driving said
vehicle;

3. That in order to settle the case amicably and since the owner of the car Jessa Morales had offered to pay the
sum of P35,000 for all the medical expenses and the losses that I sustained, which I hereby acknowledge, I
am withdrawing my complaint in both civil and criminal cases filed in the Regional Trial Court of Iloilo City
(Civil Case No. 827 and Criminal Case no. 2322);

4. That by virtue thereof, I hereby waive any and all claims, criminal or civil, against said persons, and further
release and discharge them from any and all liability.

IN WITNESS WHEREOF, I have hereunto set my hand this 1st day of October 2018 at Iloilo City,
Philippines.

BERTO LOPEZ
Affiant

SUBSCRIBED AND SWORN to before me this 1st day of October 2018 in Iloilo City,
Philippines, affiant exhibiting to me his competent evidence of identity by way of SSS I.D. No. 12313-
233 issued at Iloilo City on June 23, 2017.

ATTY. CHRISTINE ASUNCION P. ZALDIVAR


NOTARY PUBLIC – Iloilo City
Appointment No. 091490
Until Dec. 31, 2019
Roll No. 101591
PTR No. 051517, 05-14-18, Iloilo City
IBP No. 091490, 06-18-18, Iloilo City

Doc. No. 22
Page No. 4
Book 8
Series of 2018

26 | P a g e
AFFIDAVIT OF DESISTANCE
REPUBLIC OF THE PHILIPPINES)
CITY OF ILOILO) S.S.

I, FAUSTO BELLA, of legal age, single, and a resident of 12 Hechanova St., La Paz, Iloilo, 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 Jeffrey Cruz", Criminal Case No. 345321, Regional Trial Court,
Branch No. 11, City of Iloilo.

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 cannot 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 JEFFREY CRUZ, 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 Iloilo that I am withdrawing my complaint for Serious
Physical Injuries in Criminal Case No. 345321 entitled "People of the Philippines versus Jeffrey
Cruz", Regional Trial Court, Branch No. 11, City of Iloilo.

5. I likewise request the Regional Trial Court, Branch No. 11, City of Iloilo to dismiss with prejudice
the said criminal case.

IN WITNESS WHEREOF, I hereby set my hand this 5th day of November 2018 at the City of Iloilo.

FAUSTO BELLA
Complaining Witness

SUBSCRIBED AND SWORN to before me this 5th day of November 2018 at the City of Iloilo, Philippines.

ATTY. JANNELLE LAZARAGA


Public Prosecutor

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