Republic of the Philippines] C I T Y O F D AVAO ] S.

S x------------------/ AFFIDAVIT OF DESISTANCE I, CHRISTY DE CASTRO JAO , of legal age, Filipino and a resident of Villamor Porras St., Bo. Obrero, Davao City, after having been sworn to in accordance with the law, do hereby depose and state that: 1. I am the complaining witness in Criminal Case No. 61,3822007 For: Violation of Sec. 5 (a) in relation to Sec. 6 (a) of RA 9262 entitled “People of the Philippines vs. Jefferson Hong Jao” now pending before RTC-Branch 33, Davao City; 2. My husband, accused Jefferson Hong Jao asked forgiveness to what he had done to me, and out of my love and compassion for him, and in view of the love and support that he has since bestowed on me and our children I have decided to forgive my husband, accused Jefferson Hong Jao; 3. I am no longer interested in prosecuting the above-mentioned case against accused Jefferson Hong Jao nor testify against him in the said case; 4. I respectfully request that the Honorable Regional Trial CourtBranch 33, Davao City and the Honorable Provincial Prosecutor to DISMISS the above-mentioned case against accused Jefferson Hong Jao; 6. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. IN WITNESS WHEREOF, I hereunto set my hand this _____of August 2007 in the City of Davao, Philippines. CHRISTY DE CASTRO JAO Affiant SUBSCRIBED AND SWORN to before me this _______ of August 2007 in the City of Davao, Philippines. I certify that I have personally examined the affiant and I am satisfied that she has understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same.

Prosecutor

Republic of the Philippines] GENERAL SANTOS CITY ] S.S x---------------/ AFFIDAVIT OF DESISTANCE I, REGINA S. BACALING, of legal age, Filipino, married and a resident of Narciso Compound, National Highway, General Santos City, Philippines, after having been sworn to in accordance with the law, do hereby depose and state that: 1. I am the private complaining witness in People vs. Norman Gallego, docketed as criminal case no. 14592 and presently archived before the Regional Trial Court – Branch 23, 11 th Judicial Region, General Santos City; 2. The said case was ordered re-investigated and at present is pending review before the Department of Justice (DOJ) – Manila [I.S. No. 2K-00990, City Prosecution Office of GSC, for: RE-INVESTIGATION); 3. I filed the above-mentioned case against the person of NORMAN GALLEGO due to miscommunications regarding the payment of his indebtedness to me; 4. We have already settled the civil aspect of the case and I have no more monetary claim against accused NORMAN GALLEGO; 5. Because of the above-mentioned reason and considering the fact that I do not consider the same as a crime against my person, I am no longer interested in prosecuting the above-mentioned case against NORMAN GALLEGO nor testify against him in the above-mentioned case; 6. I respectfully request that the Honorable Regional Trial Court – Branch 23, 11th Judicial Region, GSC and/or the Department of Justice (DOJ) to DISMISS the above-mentioned criminal case for estafa against NORMAN GALLEGO; 7. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. IN WITNESS WHEREOF, I hereunto set my _____________ in the City of General Santos, Philippines. hand this

REGINA S. BACALING Affiant SUBSCRIBED AND SWORN to before me this _________ in the City of General Santos, Philippines. I certify that I have personally examined the affiant and I am satisfied that she has understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same.

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I caused the filing of criminal complaint for Violation of BP 22 against MILDRED VILLARIZA with address at 146 Bolton Extension. 11th Judicial Region. do hereby depose and state that: 1. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. of legal age.Republic of the Philippines] C I T Y O F D A V A O ] S. Philippines. Prosecutor . after having been sworn to in accordance with the law. Filipino. 2202-2258). I respectfully request that the Honorable Municipal Trial Court in Cities-Branch 6. Mildred Villariza and docketed as Criminal Case No. 3. married and a resident of Davao City. SHEILAH S. I am no longer interested in prosecuting the above-mentioned case against Mildred Villariza nor testify against her in the said case. Davao City. SHEILA S. ILANO. entitled “Pp. 4. 2002 in the City of Davao. Philippines. The criminal case for violation of BP 22 is pending before the Municipal Trial Court in Cities-Branch 6. 2002 in the City of Davao.S x------------------/ AFFIDAVIT OF DESISTANCE I. ILANO Affiant SUBSCRIBED AND SWORN to before me this August ___ . Hence. ____________ (Davao City Prosecution Office: IS NO. IN WITNESS WHEREOF. th 5. vs. I certify that I have personally examined the affiant and I am satisfied that she has understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same. 2. 11 Judicial Region and/or the City Prosecution Office of Davao to DISMISS the above-mentioned case against MILDRED VILLARIZA. That we have already settled the civil aspect of the case. I hereunto set my hand this August ____ .

ENGR.Republic of the Philippines] C I T Y O F D A V A O ] S. Davao City. NHA-Agdao Subdivision. Filipino. GONZALES. MEDARIO S. MEDARIO S. and is now ready for raffling before the Honorable Municipal Trial Courts in Cities. Philippines. No. 2002 in the City of Davao. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. 11th Judicial Region. 2002-3504 and 3505. IN WITNESS WHEREOF. 4. We have already settled the civil aspect of the case and I was already paid by the accused of his monetary obligation towards me. I filed a complaint for Violation of BP 22 before the City Prosecution Office of Davao City against ROYLAN MANGLICMOT with address at Block 1. 2002. Agdao. 6. Philippines. The case against said Roylan Manglicmot is docketed as I. Because of the above-mentioned reason. ENGR. of legal age. in the City of Davao. I hereunto set my hand this August __.S x------------------/ AFFIDAVIT OF DESISTANCE I. GONZALES Affiant SUBSCRIBED AND SWORN to before me this August __ . married and a resident of Davao City. do hereby depose and state that: 1. 11 th Judicial Region. Lot 38. Davao City to DISMISS above-mentioned case against ROYLAN MANGLICMOT.S. 5. Prosecutor . Philippines. 2. I respectfully request that the City Prosecution Office of Davao AND/OR the Honorable Municipal Trial Court in Cities-Branch __. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that he freely and voluntarily executed the same. 3. I am no longer interested in prosecuting the above-mentioned case against ROYLAN MANGLICMOT nor testify against him in the above-mentioned case. after having been sworn to in accordance with the law.

2002. IN WITNESS WHEREOF. MEDARIO S.Republic of the Philippines] C I T Y O F D A V A O ] S. entitled “Pp. 2002 in the City of Davao. after having been sworn to in accordance with the law. vs. 6. ENGR. GONZALES Affiant SUBSCRIBED AND SWORN to before me this June __. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that he freely and voluntarily executed the same. Philippines. 4. Alfredo Minoy”. Philippines. in the City of Davao. Davao City and/or the City Prosecution Office of Davao to DISMISS the above-mentioned case against Alfredo Minoy. 2. Because of the above-mentioned reason coupled with the fact that we are again now doing business together. I hereunto set my hand this June __. married and a resident of Davao City. 11th Judicial Region. do hereby depose and state that: 1. MEDARIO S. Filipino. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. 195-D-00. I respectfully request that the Honorable Municipal Trial Court in Cities-Branch 4. of legal age. 3. I caused the filing of criminal complaint for Violation of BP 22 against ALFREDO MINOY with address at NDC Multi Motors Center Bajada. The criminal case for violation of BP 22 is now pending before the Municipal Trial Court in Cities-Branch 4. Philippines. 96. I am no longer interested in prosecuting the above-mentioned case against Alfredo Minoy nor testify against him in the above-mentioned case. 5. Davao City. We have already settled the civil aspect of the case and I was already paid by the accused of his monetary obligation towards me.S x------------------/ AFFIDAVIT OF DESISTANCE I. OSCAR SUAREZ TE Prosecutor 1 . ENGR. and docketed as Criminal Case No. GONZALES.

against Mr. either civil or criminal. arising from the said vehicular incident on January 28. I hereunto set my hand this April 23. Prosecutor . Danilo Villamar. Davao City. Philippines. That I am the same Feurillo Morial. Soliman St. Sultan Kudarat. That I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. 2002 due to a vehicular incident involving my pick-up truck and that of an Isuzu Cargo Truck owned by one Danilo Villamar of Lambayong. do hereby depose and state that: 1. FEURILLO MACEDA MORIAL. I certify that I have personally examined the affiant and I am satisfied that she has understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same. 2002 in the City of Davao. FEURILLO MACEDA MORIAL Affiant SUBSCRIBED AND SWORN to before me this April 23. 2002. widower and a resident of 28-A 1. I am no longer interested in filing a case. 2002 in the City of Davao.Republic of the Philippines] C I T Y O F D A V A O ] S. That I have already entered an amicable settlement with Mr.. Philippines. the husband of the late Erlinda Morial who passed away last January 28. Filipino. hence.S x------------------/ AFFIDAVIT OF DESISTANCE I. IN WITNESS WHEREOF. of legal age. after having been sworn to in accordance with the law. 2. 3. Danilo Villamar nor testify against him in any court or administrative agency. Agdao.

The criminal case for violation of BP 22 are now pending for raffling before the Municipal Trial Court in Cities. of legal age. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. 3. That I have filed the above-mentioned cases against the person of LORETA VERGARA only because of miscommunications regarding the payment of the said check. Km. 2001 in the City of Davao. I respectfully request that the Honorable Municipal Trial Court in Cities. Davao City. after having been sworn to in accordance with the law. Panacan. JS Gaisano. 4. 2001 in the City of Davao. I certify that I have personally examined the affiant and I am satisfied that she has . SHEILAH S. Davao City. ILANO Affiant SUBSCRIBED AND SWORN to before me this November ___ . Philippines. I caused the filing of criminal complaints for Violation of BP 22 against LORETA VERGARA with office address at DOTC-PIU. ______ ). 6. vs. do hereby depose and state that: 1.. Considering the fact that the case stemmed out of miscommunications between my person and Loreta Vergara and the fact that I do not consider her as causing any crime against my person.Republic of the Philippines] C I T Y O F D A V A O ] S. Philippines. Davao City and/or the City Prosecution Office of Davao to DISMISS the above-mentioned case against LORETA VERGARA.S x------------------/ AFFIDAVIT OF DESISTANCE I. IN WITNESS WHEREOF. 2. entitled “Pp. I am no longer interested in prosecuting the abovementioned case against Loreta Vergara nor testify against her in the said cases. 12 Philippine Japan Friendship Higway. Filipino. married and a resident of Davao City and business address ESSENTIALS – 2nd Floor. Loreta Vergara” (Davao City Prosecution Office: IS NO. SHEILA S. ILANO. 11th Judicial Region. Illustre St. I hereunto set my hand this November ___ . upper Car Park. 5.

Prosecutor .understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same.

of legal age. HONORIO CRISOSTOMO. Davao del Sur after having been sworn to in accordance with the law. Philippines. do hereby depose and state that: 1. 6. Digos City AND the Honorable Provincial Prosecutor to DISMISS the above-mentioned case against accused Rodolfo Gomez only. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that he freely and voluntarily executed the same. HONORIO CRISOSTOMO Affiant SUBSCRIBED AND SWORN to before me this _______ in the City of Davao. Filipino and a resident of Bala. I am the complaining witness in Criminal Case No. Accused Rodolfo Gomez asked forgiveness to what he had done to me and for humanitarian reasons. Magsaysay. I have decided to forgive accused Rodolfo Gomez. Philippines. and considering further that he has stayed in jail already for a quiet a length of time. I hereunto set my hand this _______ in the City of Digos. now pending before RTC-Branch 19. Prosecutor . 3.” for Robbery in Band. Digos City. Rodolfo Gomez. IN WITNESS WHEREOF. XXI13(85) entitled “People of the Philippines vs. I am no longer interested in prosecuting the abovementioned case against Rodolfo Gomez only nor testify against him in the said case.S x------------------/ AFFIDAVIT OF DESISTANCE I.Republic of the Philippines] C I T Y O F D IG O S ] S. 4. et. al. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. 2. I respectfully request that the Honorable Regional Trial Court-Branch 19.

I have decided to forgive accused Rodolfo Gomez. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. IN WITNESS WHEREOF. 6. of legal age. Rodolfo Gomez. Digos City. ALFREDO CRISOSTOMO Affiant SUBSCRIBED AND SWORN to before me this _______ in the City of Davao. Filipino and a resident of Bala. al. Philippines. Davao del Sur after having been sworn to in accordance with the law. Magsaysay. now pending before RTC-Branch 19. 4. I hereunto set my hand this _______ in the City of Digos. et. I am the complaining witness in Criminal Case No.Republic of the Philippines] C I T Y O F D IG O S ] S. I respectfully request that the Honorable Regional Trial Court-Branch 19. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that he freely and voluntarily executed the same. XXI12(85) entitled “People of the Philippines vs. Accused Rodolfo Gomez asked forgiveness to what he had done to me and for humanitarian reasons. do hereby depose and state that: 1. I am no longer interested in prosecuting the abovementioned case against Rodolfo Gomez only nor testify against him in the said case. 2. ALFREDO CRISOSTOMO. Digos City AND the Honorable Provincial Prosecutor to DISMISS the above-mentioned case against accused Rodolfo Gomez only. Philippines. and considering further that he has stayed in jail already for a quiet a length of time. Prosecutor .” for Robbery in Band.S x------------------/ AFFIDAVIT OF DESISTANCE I. 3.

Jose Domingo” (Archived). The criminal case for Estafa is pending before the Municipal Trial Court in Cities. . Davao City. 3. 2. Branch 5. Obrero. Davao City. entitled “Pp. I respectfully request that the Honorable Municipal Trial Court in Cities Branch 5 of Davao City to DISMISS the abovementioned case against accused JOSE DOMINGO. I am no longer interested in prosecuting the abovementioned case against JOSE DOMINGO nor testify against him in the said case. 6. 2001 in the City of Davao. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. vs.S x------------------/ AFFIDAVIT OF DESISTANCE I. 2001 in the City of Davao.. of legal age.Republic of the Philippines] C I T Y O F D A V A O ] S. married and a resident of Davao City after having been sworn to in accordance with the law. 9622-E-94. I certify that I have personally examined the affiant and I am satisfied that she has understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same. IN WITNESS WHEREOF. do hereby depose and state that: 1. MAHELINDA Z. 4. MAHELINDA Z. docketed as Criminal Case no. 5. Considering the fact that the case stemmed out of miscommunication between my person and Jose Domingo and the fact that I do not consider it as causing any crime against my person. I caused the filing of criminal complaint for Estafa against JOSE U. Philippines. I hereunto set my hand this October 12. DOMINGO with address at 47 Lacson St. Filipino. CLEMENTE. CLEMENTE Affiant SUBSCRIBED AND SWORN to before me this October 12. Philippines. That I have filed the above-mentioned case against the person of JOSE DOMINGO only because of miscommunication regarding the payment of his obligation to me.

Prosecutor .

With such payment. 2001 Received from MS. PARAS the amount of Twelve Thousand Seven Hundred Thirty Six (P12. I certify that Ms.736. Paras . Paras has no more monetary obligation towards me and I am no longer interested to pursue the criminal cases for BP 22 I filed against her.ACKNOWLEDGMENT RECEIPT June 22. NEPTALIE C. Davao City BELLA MARIE MAXEY Authorized Representative Of Neptalie C. ILANO Essentials – Upper Car Park JS Gaisano. Neptalie C.00) as FULL payment of her obligation towards me. SHEILA S.

184. Paras . 15.ACKNOWLEDGMENT June 22. 184. to wit: 1. PDCP Branch 3. 15. 15. 184. 2000 Amount P 3.00 P 3. SHEILAH S. PDCP Branch Bank Bank – CM Recto Bank – CM Recto Bank – CM Recto Bank – CM Recto Check no. 2000 Nov. PDCP Branch 2. 184. PDCP Branch 4. 2000 Dec.00 BELLA MARIE MAXEY Authorized Representative Of Neptalie C. 2000 Dec. ILANO the following bounced checks. 31. 2001 Received from MS. subject of criminal cases for violation of BP 22. 0161389 0161390 0161391 0161392 Date Oct.00 P 3.00 P 3.

married and a resident of Davao City and business address ESSENTIALS – 2nd Floor.S x------------------/ AFFIDAVIT OF DESISTANCE I. Sasa. I am no longer interested in prosecuting the abovementioned case against EDGAR MA nor testify against her in the said cases. after having been sworn to in accordance with the law. with address at AIR SERVICES COOPERATIVE. Branch 3. IN WITNESS WHEREOF. I respectfully request that the Honorable Municipal Trial Court in Cities Branch 3 of Davao City to DISMISS the abovementioned case against accused EDGAR MA. Davao City. ILANO Affiant SUBSCRIBED AND SWORN to before me this August 15. That I have filed the above-mentioned cases against the person of EDGAR MA only because of miscommunications regarding the payment of the said check. I caused the filing of criminal complaints for Violation of BP 22 against EDGAR MA. Philippines. 5. Davao City. Philippines. 101. entitled “Pp. SHEILA S.Republic of the Philippines] C I T Y O F D A V A O ] S. I hereunto set my hand this August 15. vs. of legal age. 3. ILANO . Davao International Airport. 6. SHEILA S.. Filipino. Edgar Ma” (Davao City Prosecution Office: IS NO. docketed as Criminal Case no. 2. Davao City. 2001-2079). I certify that I have personally examined the affiant and I am satisfied that she has . 4. Considering the fact that the case stemmed out of miscommunications between my person and Edgar Ma and the fact that I do not consider her as causing any crime against my person. JS Gaisano. 2001 in the City of Davao.613-C-2001. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. upper Car Park. The criminal cases for violation of BP 22 are now pending before the Municipal Trial Court in Cities. 2001 in the City of Davao. do hereby depose and state that: 1. Illustre St.

understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same. Prosecutor .

Davao del Sur. 6. Davao del Sur of Davao City to DISMISS the said case against accused Brgy. Davao del Sur. entitled “Pp. Davao del Sur.S x------------------/ AFFIDAVIT OF DESISTANCE I. 2. 4. after having been sworn to in accordance with the law. Filipino. Captain Delfin Sadon. of legal age. do hereby depose and state that: 1. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. Captain Delfin Sadon only because of some miscommunications. I am no longer interested in prosecuting the above-mentioned case against Brgy. Don Marcelino. Philippines. RAUL MONTALBAN.Republic of the Philippines] ____________________] S. Philippines. . Davao del Sur. Captain Delfin Sadon and the fact that I do not consider his complained act as causing crime against my person. 5. I respectfully request that the 5th Municipal Circuit Trial Court of Malita. Captain Delfin Sadon. IN WITNESS WHEREOF. docketed as Criminal Case no. and a resident of Malita. The criminal case for violation of Article 316 of the Revised Penal Code is now pending before the 5th Municipal Circuit Trial Court of Malita. RAUL MONTALBAN Affiant SUBSCRIBED AND SWORN to before me this _______ in ________. I hereunto set my hand this ________ at _______ . Considering the fact that the case stemmed out of a miscommunication between my person and Brgy. 3. with address at Barangay Lawa. vs. 8821. I caused the filing of a criminal complaint for violation of Article 316 of the Revised Penal Code against Barangay Captain Delfin Sadon. Delfin Sadon”. That I have filed the said case against the person of Brgy. I will also no longer testify against him in the abovementioned case. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that he freely and voluntarily executed the same.

.

I hereunto set my hand this ____ day of August. Major Bldg. IN WITNESS WHEREOF. I caused the filing of a criminal complaint for Violation of BP 22 against JOHN JOHNSON. FELY BOCTOTO Affiant SUBSCRIBED AND SWORN to before me this _____ day of August. Ecoland. 2nd Floor. Bonifacio Street. Davao City. Philippines. I respectfully request that the Honorable Municipal Trial Court in Cities Branch 2 of Davao City to DISMISS the said case against accused John Johnson. I am executing this affidavit in order to attest to the truthfulness of the foregoing statements. Considering the fact that the case stemmed out of a miscommunication between my person and John Johnson and the fact that I do not consider him as causing any crime against my person. do hereby depose and state that: 1. 2. That I have filed the said case against the person of John Johnson only because of a miscommunication regarding the payment of the said check 4. I am no longer interested in prosecuting the above-mentioned case against John Johnson nor testify against him in the said case. after having been sworn to in accordance with the law. The criminal case for violation of BP 22 is now pending before the Municipal Trial Court in Cities. Branch 2.. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that she freely and voluntarily executed the same.204-B-2000.Republic of the Philippines] C I T Y O F D A V A O ] S. Filipino. FELY BOCTOTO. John Johnson”. 225. Case no. Davao City. 5th Street. 3. Davao City. docketed as Crim. 2000 in the City of Davao.S x------------------/ AFFIDAVIT OF DESISTANCE I. 5. Philippines. with address at No. 2000 in the City of Davao. of legal age. vs. 6. married and a resident of 165-B. entitled “Pp. 96. Prosecutor .

6. of legal age. MEDARIO S. GONZALES Affiant SUBSCRIBED AND SWORN to before me this ___ day of May. Davao City. 2. docketed as Crim.599-F-2000 and 93. IN WITNESS WHEREOF. ENGR. Km. I respectfully requests that the Honorable Municipal Trial Court in Cities Branch 6 of Davao City to DISMISS the said case against accused Engr. I am executing this affidavit in order to attest to the truth of the foregoing statements. Camilo Cabatu. married and a resident of c/o WALBROS HARDWARE. Filipino. MEDARIO S. . ENGR. vs. 2000 in the City of Davao. I hereunto set my hand this ____ day of May. 2000 in the City of Davao.Republic of the Philippines] C I T Y O F D A V A O ] S. Camilo Cabatu have already settled amicably the civil aspects of the case.600-F-2000 entitled “Pp. 5 Buhangin. Philippines. CAMILO CABATU with address at Camellia St. GONZALES. Philippines.598-F-2000. I caused the filing of a criminal complaint for Violation of BP 22 against ENGR. 3. Case no. I am no longer interested in prosecuting the above-mentioned case against Engr. Davao City. The criminal case for violation of BP 22 is now pending before the Municipal Trial Court in Cities. Engr. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that the same was freely and voluntarily executed by him. Camilo Cabatu nor testify against him in the said case.. after having been sworn to in accordance with the law. Considering that the accused Engr. 93. 93. 5. Davao City. do hereby depose and state that: 1. San Pedro Village. Camilo Cabatu”. Branch 6.S x------------------/ AFFIDAVIT OF DESISTANCE I.

VICTOR MALNEGRO with address at Manggahan. Davao City.Republic of the Philippines] C I T Y O F D A V A O ] S. married and a resident of c/o WALBROS HARDWARE. 2000 in the City of Davao. ENGR. Philippines. 3. do hereby depose and state that: 1. Victor Malnegro”. Davao City. 2000 in the City of Davao. Considering that the accused Engr. Branch 1. Victor Malnegro nor testify against him in the said case. I am executing this affidavit in order to attest to the truth of the foregoing statements. MEDARIO S. docketed as Crim. Toril. Engr. of legal age. Filipino. MEDARIO S.S x------------------/ AFFIDAVIT OF DESISTANCE I. Km. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that the same was freely and voluntarily executed by him. 94. I hereunto set my hand this ____ day of May. Philippines. 5 Buhangin. Victor Malnegro have already settled amicably the civil aspects of the case. ENGR. I am no longer interested in prosecuting the abovementioned case against Engr. 2. Victor Malnegro. IN WITNESS WHEREOF. after having been sworn to in accordance with the law. Davao City. vs. The criminal case for violation of BP 22 is now pending before the Municipal Trial Court in Cities. 5. . GONZALES Affiant SUBSCRIBED AND SWORN to before me this ___ day of May. GONZALES. I caused the filing of a criminal complaint for Violation of BP 22 against ENGR.212-A-2000 entitled “Pp. 6. Case no. I respectfully requests that the Honorable Municipal Trial Court in Cities Branch 1 of Davao City to DISMISS the said case against accused Engr.

Victor Malnegro. Considering that the accused Engr. Philippines. IN WITNESS WHEREOF. Davao City.Republic of the Philippines] C I T Y O F D A V A O ] S. ___________ entitled “ Pp. 2. 6. Davao City. I am no longer interested in prosecuting the abovementioned case against Engr. Branch ___ . ENGR. 2000 in the City of Davao. married and a resident of c/o WALBROS HARDWARE. I am executing this affidavit in order to attest to the truth of the foregoing statements. 5 Buhangin. VICTOR MALNEGRO with address at Manggahan. Philippines. vs. Victor Malnegro”. Davao City. GONZALES. MEDARIO S. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that the same was freely and voluntarily executed by him. Victor Malnegro have already settled amicably the civil aspects of the case. GONZALES Affiant SUBSCRIBED AND SWORN to before me this ___ day of May. Victor Malnegro nor testify against him in the said case. Toril. Case no. after having been sworn to in accordance with the law. 2000 in the City of Davao. Engr. No. I hereunto set my hand this ____ day of May. I respectfully requests that the Honorable Regional Trial Court in Cities. The criminal case for violation Article 315. 2(d) (Estafa) is pending before the Regional Trial Court. I caused the filing of a criminal complaint for Estafa against ENGR. Filipino. MEDARIO S. Km. 3. . do hereby depose and state that: 1. docketed as Crim.S x------------------/ AFFIDAVIT OF DESISTANCE I. Branch ___ of Davao City to DISMISS the said case against accused Engr. of legal age. ENGR. 5.

I respectfully requests that the City Prosecution Office of Davao City dismiss the said case against the above-mentioned respondents. MALINAO. JR. after having been sworn to in accordance with the law. Philippines. JR. 5. Quimpo Boulevard. 99-6429 and presently investigated by Prosecutor Victor C. I hereunto set my hand this ____ day of June. 1999 in the City of Davao. 2. 4. Albios and Danny Montejo with address at Washington. The said case is now pending before the CITY PROSECUTION OFFICE of Davao City.S x------------------/ AFFIDAVIT OF DESISTANCE I. Lumakang. Christopher L. married and a resident of Quimpo Boulevard. do hereby depose and state that: 1. Davao City (Back of Almendras Gym). docketed as Investigation Sheet No. I caused the filing of a criminal complaint for Theft against Alvin D. Lumakang. I am executing this affidavit in order to attest to the truth of the foregoing statements. Sepulveda. IN WITNESS WHEREOF. Filipino. Christopher L. Affiant SUBSCRIBED AND SWORN to before me this ___ day of June. 1999 in the City of Davao.. Philippines. of legal age.Republic of the Philippines] C I T Y O F D A V A O ] S. FELIX T. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that the same was freely and voluntarily executed by him. Davao City. . FELIX T. Albios and Danny Montejo nor testify against them in the said case. 3. I am no longer interested in prosecuting the abovementioned case against Alvin D. MALINAO.

Philippines. after having been sworn to in accordance with the law. CECILIO C. Jocelyn Araune. CECILIO C.Republic of the Philippines] C I T Y O F D A V A O ] S. ARCENAS.S x------------------/ AFFIDAVIT OF DESISTANCE I. Ruiz. and presently investigated by Graft Investigator I Atty. I certify that I have personally examined the affiant and I am satisfied that he has understood the contents of the foregoing affidavit of desistance and that the same was freely and voluntarily executed by him. I caused the filing of a criminal complaint for Falsification of Public Document against Reynaldo S. do hereby depose and state that: 1. 2000 in the City of Davao. Ruiz” for falsification of public document. 3. Engineer II of the City Engineers Office. I am no longer interested in prosecuting the abovementioned case against Reynaldo S. Ruiz nor testify against him in the said case. Philippines. Ruiz. married and a resident of Emilia Homes Subdivision. Lot 22. 4. 2. Filipino. docketed as OMB-MIN-99-005 entitled “Cecilio Arcenas versus Reynaldo S. Cabantian. Buhangin. I am executing this affidavit freely and voluntarily in order to attest to the truth of the foregoing statements. of legal age. ARCENAS Affiant SUBSCRIBED AND SWORN to before me this ___ day of May. I hereunto set my hand this ________ day of May. . IN WITNESS WHEREOF. Davao City before the Office of the OmbudsmanMindanao. 5. 2000 in the City of Davao. The said case is now pending before the Office of the Ombudsman-Mindanao. Davao City. I respectfully requests that the Office of the OmbudsmanMindanao dismiss the said case against respondent Reynaldo S. Block 2.

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