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Republic of the Philippines

Department of Justice
BUREAU OF IMMIGRATION
MAGALLANES DRIVE, INTRAMUROS
MANILA CITY

IN RE: PETITON FOR DEPORTATION


OF HSINYAO CHENG BEING AN UNDESIRABLE
ALIEN FOR UTTER DISPLAY OF DISOBEDIENCE
IN VIOLATION OF SEC. 37 (A) (7) OF THE PHILIPPINE
IMMIGRATION ACT OF 1940

Deportation Case No. ______

LOIDA BARAN-LECOMPTE
Petitioner
x-------------------------------------------//
COMPLAINT-AFFIDAVIT

I, LOIDA BARAN-LECOMPTE, Filipino, of legal age, married,


and a resident of Crosan, Bulacao, Talisay City, Cebu, after having been
sworn in accordance with the law, hereby depose and state:

1) That I am charging HSINYAO CHENG for being an undesirable


alien for utter display of disobedience to the laws of the Republic
of the Philippines in violation of Sec. 37(a)(7) of the Philippine
Immigration Act of 1940;

2) That HSINYAO CHENG is a ______________citizen, of legal age


and currently residing in ______________________, Cebu City,
where he can be serve with summons and processes of this
Honorable Bureau of Immigration;

3) I personally know HSINYAO CHENG because we are in a


relationship for more than six (6) years until we broke up in
November 2016 as I could no longer take his repeated and verbal
abuse and sexual perversity. He gained my full trust and
confidence taking into consideration that we were into a
relationship for several years;

4) HSINYAO CHENG projected himself as a very good, legal, and


trustworthy sweet heart who never missed out on his
obligations. Since he already earned my trust and confidence, I
readily obliged;

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5) That I met HSINYAO CHENG in the bar where I was working. It
was him who send me to school in college but uses me as dummy
in his business. He used his money to buy real properties to me as
a gift but turned out that he just uses me for business purpose aside
from being his girlfriend;

6) That we succeeded in buying two real properties. The first real


property we bought is like a boarding house type that has ___
rooms and have it rented;

7) That the other real property we bought is a house where I and my


family is living;

8) That after several years of being in a relationship, he promise to


me that he will marry me but however he just uses me to profit for
the lodging business and other source of income in Cebu City;

9) That I have come to know that he was married when I was able to
sneak out on his documents. However, because of his
manipulation, he was able to persuade me to believe in romance
and in forever despite of his abuses and lies;

10) That nevertheless, I had a deep sense of “utang na loob” to Mr.


HSINYAO CHENG. However, eventhough I was given real
properties and was sent to college by HSINYAO CHENG, the real
deal is that he sexually abused me. Worse, HSINYAO CHENG
went overboard when sometime in December 2010, he bought
another girl, MARIA CRISTITA BASIGA, and forced us to
engaged in a sexual threesome, not to mention his sexual
perversity in making us perform acts to his sole pleasure and
crooked fantasies. He even took nude photos and sex videos on us;

11) That when we broke up, he filed a case against me for ESTAFA
in Cebu City but the same was dismissed;

12) That I have come to know that his authority to enter in the
Philippines is due to the fact that he was allowed to engaged in
work in ______________City only and not in any other place in
the Philippines particularly in Cebu;

13) That his actions in putting businesses in Cebu like the boarding
house business is in violation of the condition under which he was
admitted entry in the Philippines;

14) Moreover, his lodging businesses in Cebu were tainted with bad
faith and defiance to the authority of the Philippines because he

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had no business permit to operate a lodging house business.
Likewise, he never paid income taxes to the profits or income that
he earned in his business;

15) The actions of HSINYAO CHENG is an utter display of


disobedience to the laws of the Philippines and thus considered as
posing risk to public interest in violation of the immigration laws;

16) That unless a deportation order will be issued against him, his
continued stay in the Philippines will definitely poses risk to public
interest and that he continues to show disrespect to our country;

16) I further reserved the further presentation of other evidence,


documentary or otherwise;

17) This affidavit is executed to attest the truth of the foregoing


facts and to support my plea for his deportation.

IN WITNESS WHEREOF, I have hereunto set my hand this __ day


of _____________________ 2019 at _____________, Philippines.

_________________________________
LOIDA BARAN-LECOMPTE
AFFIANT

SUBSCRIBED AND SWORN to before me this __ day of ________2019


at____________________.

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