SAMPLES OF BASIC LEGAL FORMS I.

CAPTIONS

Under the Judiciary Reorganization Act of 1980 (Batas Pambansa Blg.129), all courts except the Supreme Court, the Sandiganbayan and the Court of Tax Appeals were abolished and the following Courts were created: Intermediate Appellate Court; Regional Trial Court created in 13 Judicial Regions including the National Capital Regions and other areas as may be established by law; Municipal Trial Courts in cities and municipalities; and the Municipal Circuit Trial Courts. Under Executive Order No. 3 dated 1986, the Intermediate Appellate Court was renamed the Court of Appeals. The following are representative samples of Caption filed in said courts:

REPUBLIC OF THE PHILIPPINES SUPREME COURT REPUBLIC OF THE PHILIPPINES COURT OF APPEALS MANILA REPUBLIC OF THE PHILIPPINES NATIONAL CAPITAL JUDICIAL REGION REGIONAL TRIAL COURT Manila, Branch 1 REPUBLIC OF THE PHILIPPINES FIRST JUDICIAL REGION REGIONAL TRIAL COURT Bangued, Abra (Branch 1) REPUBLIC OF THE PHILIPPINES NATIONAL CAPITAL JUDICIAL REGION METROPOLITAN TRIAL COURT OF METRO MANILA Manila, Branch 1 REPUBLIC OF THE PHILIPPINES MUNICIPAL TRIAL COURT Dagupan City, (Branch 1) REPUBLIC OF THE PHILIPPINES FIRST JUDICIAL REGION MUNICIPAL TRIAL COURT Lingayen, Pangasinan REPUBLIC OF THE PHILIPPINES FIRST JUDICIAL REGION MUNICIPAL CIRCUIT TRIAL COURT Sison, Pangasinan

JUAN DELA CRUZ Plaintiff,

-versusPEDRO SANTOS Defendant. X------------------------------------------X II. ACKNOWLEDGMENT; JURAT ACKNOWLEDGMENT (Simple form) REPUBLIC OF THE PHILIPPINES} PROVINCE OF } SS MUNICIPALITY }

Civil Case No.________ For Sum of Money

BEFORE ME, this_____ day of _________, 2001 in the Municipality of _________________, Province of _____________, Philippines, personally appeared _______________________ , with Residence Certificate No. _______ issued at ________, on _______________ , and B.I.R. Tax Account No.________ known to me to be the same person who executed the foregoing instrument, and he acknowledged to me that the same is his 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. Notary Public My Commission expires Dec. 31, 2001 IBP No. ________, 1/2/2001, Pasig City P.T.R. No. ______, 2/2/2001, Pasig City Doc. No. _____; Page No. ____; Book No. _____ Series of 20___

ACKNOWLEDGMENT OF INSTRUMENT CONSISTING OF TWO OR MORE PAGES REPUBLIC OF THE PHILIPPINES ) PROVINCE OF ______________ ) MUNICIPALITY OF _____________)

S.S.

BEFORE ME this _____ day of _______________, 2001 in the Municipality of _________________, Province of ____________, Philippines, personally appeared ______________________, with Community Tax Certificate No. _________ issued at ________________ on ________________ and T.I.N. No. ________, known to me to be the same person who executed the foregoing instrument, and he acknowledged to me that the same is his free act and deed. This instrument, consisting of _____ pages, including the page on which this acknowledgement is written , he has been signed on the left margin of each

and every page thereof by __________________ and his witness, and sealed with my notarial seal. IN WITNESS WHEREOF, I have hereunto set my hand, the day, the year, and the place above written. NOTARY PUBLIC My Commission expires Dec. 31, 2001 IBP No. ______, 1/2/2001, Pasig City P.T.R. No. ____, 2/2/2001, Pasig City Doc. No. _____; Page No. _____; Book No. _____; Series of 20____ JURAT

SUBSCRIBED AND SWORN to me, in the Municipality of ________, this ____th day of ______, 19 ____ by, _______ with Community Certificate No. _____ issued at _____ on ______, 2001. NOTARY PUBLIC My Comission expires Dec. 31, 2001 IBP No. ______, 1/2/2001, Pasig City P.T.R. No.____, 2/2/2001, Pasig City Doc. No._____; Page No._____; Book No._____; Series of 20____.

VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING VERIFICATION JUAN DELA CRUZ, subscribing under oath, hereby deposes and states that: I am the petitioner in the instant case. I have read the foregoing Petition and the allegations therein are true and correct of my own knowledge and/or based on the records on hand. I attest to the authenticity of the annexes thereof. CERTIFICATION I certify that:

a. I have not commenced any other action or proceeding involving the same issues in the Supreme Court, the Court of Appeals, or different Divisions thereof, or any other tribunal or agency. b. No such action or proceeding is pending in the Supreme Court, the Court of Appeals, or different Divisions thereof, or any other tribunal or agency. c. If I should learn that a similar action or proceeding has been filed or is pending before the Supreme Court, the Court of Appeals, or different Divisions thereof, or any other tribunal or agency, I hereby undertake to notify this Honorable Court within five (5) days from such notice. _____________________ __ JUAN DELA CRUZ JURAT

VERIFICATION AND CERTIFICATION (Certification of Non-Forum Shopping incorporated with Verification for a petition for certiorari) JUAN DELA CRUZ subscribing under oath, hereby deposes and states that: He is a petitioner (or respondent/plaintiff/defendant ) in this case. He has read the foregoing petition, and the allegations contained therein are true and correct of his own knowledge and/or based on authentic records. He attests to the authenticity of the annexes thereof. Petitioner has not commenced any other action or proceeding involving the same issues in the Supreme Court, the Court of Appeals, or different Divisions thereof, or any other tribunal or agency; No such action or proceeding is pending in the Supreme Court, the Court of Appeals or different Divisions thereof, or any other tribunal or agency; If petitioner should learn that a similar action or proceeding has been filed or is pending before the Supreme Court, the Court of Appeals, or different Divisions thereof, or any other tribunal or agency, he hereby undertakes to notify this Honorable Court within 5 days therefrom. _______________ JUAN DELA CRUZ Petitioner SUBSCRIBED AND SWORN to before me this 27 th day of January 2000 in the City of Manila, affiant exhibiting to me her Community Tax Certificate No. 12345678 issued on January 3, 2000 in the City of Manila. _________________ MARIA A. SANTOS Notary Public My Commission Expires Dec. 31, 2001 IBP No. _______, 1/16/2001, Pasig City PTR No. _______, 1/2/2001, Pasig City Doc. No. ____ Page No. ____ Book No. ____

I have hereunto set my hand this ________ day of ________. ______________________ (Signature of affiant) JURAT AFFIDAVIT OF SERVICE BY MAIL Republic of the Philippines . . _________________ Counsel III. after being sworn in accordance with law. (addressed to the Counsel of the adverse party ) EXPLANATION EXPLANATION This Certifies that personal service was not resorted to for the reason that due to time. Perez & Matias Law Offices 49 Dapitan St. in the Municipality of ____________.Series of 20___ Copy Furnished: 1. IN WITNESS WHEREOF. the same is not practicable. single/married. That said papers are now beyond recovery. That the certificate of registration and other pertinent papers of ownership of said automobile were among those burned and destroyed on ____________ when my house and all my personal belongings were completely destroyed by fire. AFFIDAVITS AFFIDAVIT OF LOSS Republic of the Philippines Province Of Municipality of I. 20__. Province of __________. described as follows to wit: (Description of property) That the said automobile had been duly registered in my name in the Land Transportation Office in ___________ for the year (or years) ____________. distance and manpower constraints. of legal age. depose and say: That I am the true owner of _______________. Philippines. Sampaloc Mla. ___________________. residing at ____________.

S. will pay the defendant all the damages which the latter may sustain by reason of the injunction if the court should finally decide that the plaintiff was not entitled thereto. or is about to do. of legal age and resident of the City of Manila. threatens. I have hereunto set my hand this_____ day of______. 2001. ____________ entitled _________________________ by depositing a copy in the post office in a sealed envelope. _________________ ______ Signature of Affiant AFFIDAVIT IN SUPPORT OF PETITION FOR INJUNCTION REPUBLIC OF THE PHILIPPINES) CITY OF MANILA ) S. or is procuring or suffering to be done the acts tending to render the judgment ineffectual. That the commission or continuance of the acts complained of during the litigation will work injury to herein plaintiff and that the defendant is doing.City of Manila AFFIDAVIT OF SERVICE I. with office address at ___________________.2001 I served a copy of the following pleading/paper by registered mail in accordance with Sec. Philippines. hereby deposes and says: That he is the Plaintiff in the above entitled case and is entitled to the relief demanded in the complaint in whole or in part and such other relief consists in restraining the commission or continuance of the acts complained of either for a limited period or perpetually. ______________. FURTHER AFFIANT SAYETH NAUGHT. plainly addressed to the party (or his attorney) at his residence (or office) with postage fully paid. 10 of Rule 13 of the Rules of Court. in the Municipality of__________. after having been duly sworn in accordance with law. as evidenced by Registry Receipt No. In witness whereof. Province of_________. _______________ attached and with instructions to the post master to return the mail to sender after ten (10) days if undelivered. Philippines. the plaintiff. And that he is willing and ready to file a bond in the amount which may be fixed by the Court to the effect that he. after being duly sworn. depose and says: That on ________________. X. ___________________. . as messenger of Atty. Nature of Pleading/Paper ____________________________ ____________________________ ____________________________ in Case No.

hereby deposes and says: That he is the Plaintiff in the above titled case and that he has read the foregoing complaint and that the facts therein stated are true and correct.S. or is about to do so with intent to defraud his creditor. _____________________ Affiant JURAT AFFIDAVIT IN PETITION FOR RECEIVERSHIP REPUBLIC OF THE PHILIPPINES) CITY OF MANILA )S. the herein plaintiff-affiant. after having been duly sworn to in accordance with law. FURTHER AFFIANT SAYETH NAUGHT. That the amount claimed in the action is as much as the sum which the order is prayed for above all legal counterclaims. hereby deposes and says: That he is the Plaintiff in the above entitled case. Philippines. married and a resident of the City of Manila. of legal age. of legal age and a resident of the City of Manila. after having duly sworn in accordance with law. Philippines. AFFIDAVIT A. That there is sufficient cause of action. . AFFIDAVIT X._______________________ Affiant JURAT COMPLAINT WITH PRAYER FOR ATTACHMENT (NOTE: First.S. That the defendant has removed or disposed of his property. That he is filing a bond in the amount of P_________________. state the facts showing plaintiff’s right to attach defendant’s properties) REPUBLIC OF THE PHILIPPINES) CITY OF MANILA )S.

That the defendant is hopelessly insolvent for he is heavily indebted to various persons. . nagpunta ako sa SM Megamall sa may EDSA upang bumili ng libro. na nagtataglay ng makina na may numero bilang 00000. sa tulong ng mga guwardiya ns SM. 30 taong gulang. as security for such damages. That the produce or income from said property are in danger of being lost. SINUMPAANG SALAYSAY AKO. Iniwan ko ang nasabing sasakyan sa ‘parking lot’ sa harapan SM ngunit nang ako ay bumalik sa naturang ‘parking lot’ ay wala na roon ang aking sasakyan. JUAN DELA CRUZ. Marahil ito ay “na-carnap” . Na matapos ang ilang oras na masusing paghahanap. binata at naninirahan sa Brgy. modelo 1999. Cainta Rizal. Na noong ika-12 ng Mayo. FURTHER AFFIANT SAYETH NAUGHT. 3. ay hindi ko natagpuan ang aking sasakyan. the plaintiff will pay to the said defendant all damages which he will sustain by reason of the appointment of receiver in case the plaintiff shall have procured such appointment without sufficient cause. removed or materially injured unless a receiver be appointed to guard and preserve the same. he is in control of the produce of the said property pending litigation. matapos makapanumpa ng ayon sa batas ay malaya at kusang loob na nagpapahayag ng mga sumusunod: 1. Na ako ang nagmamay-ari na isang Honda Civic na kotse. kulay pula. taong kasalukuyan. ______________________ (Affiant) JURAT SINUMPAANG SALAYSAY Republika ng Pilipinas ) Lalawigan ng Rizal ) Bayan ng Cainta ) s. and the defendant is not only hostile to the plaintiff but also shows his demands to exclude said plaintiff from all the products or proceeds coming from the said property. and such other bonds which this Honorable Court may require him to file hereafter. s. San Roque. That he is willing and ready to file a bond in the amount which this Honorable Court may fix in favor of the defendant against whom this receivership is presented to the effect that he.That he is the owner of the estate as pro-indiviso owner of the same with the defendant. That the defendant is in actual physical possession of the property in litigation and as such. 2.

(Signature of Drawer) TO: (Name of Drawee) Address . _____. and notice of non-payment of this note. 2000 For value received. Pasig City PTR No.2001 IBP No. May ______. to _____________________ or order the sum of _______________________PESOS.4. Philippine Currency. SA KATUNAYAN ay nilagdaan ko ito ngayong ika-15 ng Mayo. and charge the same to the account of. Philippines ________ months (or days) after date. for value received. _____________________ Maker BILLS OF EXCHANGE Manila. 2000. ____ Aklat Blg. ____ 1/15/2001. Pasig City Kasulatan Blg. dito sa Cainta Rizal. 1/2/2001. Na ginawa ko ang Sinumpaang Salaysay na ito upang aking patunayan ang buong katotohanan ng aking salaysay na nasa itaas at paninidigan ko ito saan man at kanino pa man. with interest at ______percent per annum after maturity until paid. NEGOTIABLE INSTRUMENTS PROMISSORY NOTE (Date) P_____________ ____________________. I promise to pay. _______________________ JUAN DELA CRUZ SINUMPAAN AT NILAGDAAN sa harap ko ngayong ika-15 ng Mayo. 2000 dito sa Cainta Rizal. The makers and indorsers severally waive presentment for payment. ______ Serye ng 20____ IV. pay to _________________________ or order the sum of ___________________(P__________) PESOS. _______________________ MARIA SANTOS Notaryo Publiko Hanggang Disyembre 31. protest. ____ Pahina Blg.

Do hereby SELL. Philippines Manila. however.. when the vendee assumes no obligation. to wit: (Description of property) of which I am the registered owner in fee simple in accordance with the Land Registration Act. he must sign both the deed and the acknowledgment. AND CONVEY. issued by the Register of Deeds of ___________. of legal age with residence and post-office address at _______________________. that certain parcel (or parcels of lands. CONTRACTS OR AGREEMENTS LEGAL (CONVEYANCING) FORMS (Note: if the deed/ contract is unilateral i. unto the said __________________ his/her heirs and assigns. filipino citizen. and province). It is hereby mutually agreed that the vendee shall bear all the expenses for the execution and registration of this deed of sale. my title thereto being evidenced by Transfer (or Original) Certificate of Title No. of legal age. . and more particularly described as follows. single/married to ___________________. together with the buildings and improvements thereon). 20______ at (city or municipality).e. I have hereunto signed this deed of sale. situated in (city or municipality. (Full name of vendor).) DEED OF SALE KNOW ALL MEN BY THESE PRESENTS: I. __________________ PHILIPPINE NATIONAL BANK Manila. Philippines ____________. if vendee is obliged to perform something. ________. IN WITNESSS WHEREOF.CHECK No. thee is no need for the vendee to sign the contract/ deed nor the acknowledgment. with residence and post office address at ______________. 2001 PAY to ______________________________ or order/bearer PESOS ______________________________ _____________________ (Signature) P __________________________ (Philippine Currency) V. TRANSFER. For and in consideration of the sum of __________________ PESOS (P_______). Philippine currency. Philippines. this _______day of _________. to in hand paid by (Full name of vendee) filipino citizen. absolutely and unconditionally.

without the necessity of drawing up a new deed of absolute sale. in accepting the same. that if the VENDOR shall fail to exercise his right to repurchase as herein granted within the period stipulated. with residence and post-office address at _______________________. a retro. Philippine currency. then this conveyance shall become absolute and irrevocable. subject to the requirements of the law regarding consolidation of ownership of real property. hereinafter called the VENDEE. hereby reserves the right to REPURCHASE and the VENDEE. to wit: (copy description stated in the certificate of title). his title being evidenced by Transfer (or Original) Certificate of Title (or TCT/OCT) No. Filipino. single (or married to _________________). of legal age._____________________ _________________ (Vendor) With my marital consent (if married): ________________ (Vendor’s wife) SIGNED IN THE PRESENCE OF: __________________________ _____________________________ (Witness) ACKNOWLEDGMENT (Vendee) (Witness) DEED OF SALE UNDER PACTO DE RETRO KNOW ALL MEN BY THESE PRESENTS: This Deed of Sale with Pacto de Retro made and executed by and between: (full name of vendor). Provided. with residence and post-office address at _______________________. ________ issued by the Register of Deeds of ____________________. hereinafter called the VENDOR. the property herein conveyed within the period of _______ years from and after the date of this instrument. situated in ____________________. in executing this conveyance. . however. of legal age. single (or married to _________________). hereby obligates himself to RESELL. and more particularly described as follows. for the same price of ________________________ PESOS (P________). and (full name of vendee). That the VENDOR. That the VENDOR is the absolute owner of a certain parcel with all the buildings and improvements thereon. Filipino .

of legal age. ______. Filipino. residing and with postal address at ________________ for and in consideration of the sum of P __________ receipt of which is hereby acknowledged have transferred and conveyed by way of absolute sale unto ___________ of legal age. ______. _______________ Seller WITNESSES: _____________________ _____________________ ACKNOWLEDGMENT CONTRACT OF SALE INVOLVING REAL PROPERTY KNOW ALL MEN BY THESE PRESENTS: That I. Philippines. single. residing and with postal address at ____________________ for and in consideration of the sum of P __________ have transferred and conveyed by way of absolute sale unto ________ Honda CRV car with plate No. ____________________________ __________________________ (Vendor) With my marital consent (If married): _____________________________ (Vendor’s wife) SIGNED IN THE PRESENCE OF: _____________________________ ____________________________ ACKNOWLEDGMENT (Vendee) DEED OF SALE OF PERSONAL PROPERTY KNOW ALL MEN BY THESE PRESENTS: That I. ______________. ________. ______________. Filipino. in ____________________. 2001. residing at and with postal address at ________________ that parcel of land with the improvements thereon whose technical description is as follows: (Copy of description) . of legal age. Chassis No. the parties hereto have hereunto set their hands this ______ day of _________________. Filipino. of which I am the absolute owner. free from all liens and encumbrances.IN WITNESS WHEREOF. Motor No.

which instrument consists of two (2) pages including the page on which this acknowledgment appears and signed on the left margin of each and every page by the party executing this instrument and his witnesses. IN WITNESS WHEREOF. 20_____. This agreement entered into by and between (state the parties: lessor and lessee) 2.R. my title thereto being evidenced by TCT No. NOTARY PUBLIC My Comission expires Dec. 2001 IBP No. however. ______.) ACKNOWLEDGMENT REPUBLIC OF THE PHILIPPINES) CITY OF MANILA ) S. Pasig City Doc. he must sign. In the City of Manila. 4. No. 5. _______ of the Register of Deeds of _____________ free from all liens and encumbrances. I have hereunto set my hand and affixed my notarial seal at the City of Manila on this _____ day of _____. 1/2/2001. ______. ________ on _____19 ____ issued at______ on ______. the LESSOR hereby leases to the LESSEE that the residential house located at ____________ belonging to the LESSOR and covered by TCT No.______. known to me to be the same person who executed the foregoing instrument of sale over one parcel of land. In consideration of the rent and other covenants hereinafter set forth. Pasig City P. 20____. 2/2/2001. Major and minor repairs shall be for the account of the LESSOR. Said party acknowledges to me that the same is his voluntary act and deed. Rent shall be paid at the rate of P______ per month within the first five (5) days of each month. ______. Book No. _____. Seller In the presence of:_____________________ __________________________ (NOTE: Unilateral – no need for the vendee to sign.S. this ____ day of ______.____. LEASE OF REAL PROPERTY 1. Series of 20____ .of which I am the absolute owner.2001. 3. The term of this lease shall be for a period of _________. Page No. if vendee is obliged to perform something. personally appeared before me _____________ with Community Tax Certificate No. .T. No. 31.

by way of MORTGAGE unto the said (full name of the mortgagee). his heirs or assigns. for and in consideration of a loan in the sum of ___________________ PESOS (P____________).6. situated in ____________________. who hereby accepts to lease above described motor vehicle.. Taxes and assessments shall be for the account of the LESSOR._________ of the Land Registry of _____________: PROVIDED. that if I the said (full name of mortgagor) shall pay or cause to be paid to said (Full name of mortgagee). to me in hand paid by (full name of the mortgagee). and with residence and post-office address at ___________________. married and residing in the City of Manila. Motor No. Filipino. water and other utilities shall be for the account of the LESSEE. particularly described as follows: (Description of property) of which real property I am the registered owner evidenced by Original/Transfer Certificate of Title No. married to ___________________. married and residing in the City of Manila. HOWEVER._______ to B. of legal age. single/married to ___________________. Philippines. the said sum of _________________ PESOS (P____________). _________and Chassisl No. together with all the buildings and improvements thereon._______. that certain parcel of land. of legal age. Philippine currency. within the period of ______________ (____) years from and after the execution of this MORTGAGE (Lessee) (Lessee) . do hereby convey. of legal age. and with residence and post-office address at ___________________. Filipino citizen. of legal age. subject to the following terms and conditions : (State terms and conditions) IN WITNESS WHEREOF ……… __________________ __________________ (Lessor ) ACKNOWLEDGMENT REAL ESTATE MORTGAGE KNOW ALL MEN BY THESE PRESENTS: I. (full name of mortgagor). while expenses for lights. hereby agrees to lease his Honda Civic car model 1999 with Plate No. his/her heirs and assigns. IN WITNESS WHEREOF…………. _____________________ _________________ (Lessor) ACKNOWLEDGMENT LEASE OF PERSONAL PROPERTY KNOW ALL MEN BY THESE PRESENTS: That A.

OTHERWISE. in favor of (full name of mortgagee). according to the terms thereof. I have hereunto set my hands this _____ day of ______________. made and executed by (Full name of mortgagor). Filipino. single (or married to mortgagor). Philippines. single (or married to ______________). his heirs. in _______________. executors. dated _____________ for the sum of ______________ PESOS (P________) with interest thereon at the rate of ___________ per centum (_____%) per annum. 20____.together with the interest thereon at the rate of _________ per centum (____%) per annum. situated and ordinarily presently in the possession of the said MORTGAGOR. That this CHATTEL MORTAGE is given as security for the payment of the MORTGAGEE. ________________ _________________ ( Mortgagor) (Mortgagee) With my marital consent (if married:) ____________________ (Wife of Mortgagor) SIGNED IN THE PRESENCE OF: __________________________ _____________________________ ACKNOWLEDGMENT CHATTEL MORTGAGE KNOW ALL MEN BY THESE PRESENTS: This CHATTEL MORTGAGE. it shall remain in full force and effect and shall be enforceable in the manner provided for by law. of a certain promissory note. this . of legal age. this MORTGAGE shall be discharged and of no effect. witnesseth: That the MORTGAGOR does hereby convey by way of chattel mortgage unto the MORTGAGEE. of legal age. to wit _____________________ (specify and describe the article or articles mortgaged). or administrators shall well and truly perform the full obligation above stated according to the terms thereof. with residence and post-office address at ___________________ hereinafter called the MORTGAGOR. Filipino. IN WITNESS WHEREOF. (copy of the promissory note) That the condition of this CHATTEL MORTGAGE is such that if the said MORTGAGOR. with residence and post-office address at ________________ hereinafter called the MORTGAGEE. the following described personal property.

owner of the servient estate. and a resident of ________________________ witnesseth: That “A” is the owner of a parcel of agricultural land located in the municipality of ________________. and more particularly described as follows. province of ________________. province of _______________. Philippines. single (or married to ____________________). of legal age. and for no other purpose. ________ of the Register of Deeds of ______________. to wit: . single (or married to ___________________) and a resident of _________________ and “B” . also of legal age. entered into this ______ day of ______________. the undersigned MORTGAGOR and MORTGAGEE.C. IN WITNESS WHEREOF.CHATTEL MORTGAGE shall be null and void. No. and more particularly described as follows. which lot is adjacent to “A’s” property.T. to wit: (Description of “A’s” property) which property is covered by T. 20____. __________________ _________________ (Mortgagor) (Mortgagee) SIGNED IN THE PRESENCE OF: __________________________ ____________________________ ACKNOWLEDGMENT AFFIDAVIT OF GOOD FAITH We. severally swear that the foregoing chattel mortgage is made and executed for the purpose of securing the obligation specified therein. it shall remain in full force and effect and shall be enforceable in the manner provided by law. and that the same is a just and valid obligation. otherwise. __________________________ _____________________________ (Mortgagor) JURAT (Mortgagee) EASEMENT OF RIGHT OF WAY KNOW ALL MEN BY THESE PRESENTS: This AGREEMENT OF EASEMENT OF RIGHT OF WAY. in _______________. and one not entered into for the purposes of fraud. the MORTGAGOR has hereunto set his hand this______ day of ________. 2001 by and between “A” owner of the dominant estate.

constitute . That “A” in order to have an access to and from. “Annex A’. and for this purpose. it would be necessary for him to pass through “B’s” property. WHEREFORE.T. and titles in relation to the servient estate in order to facilitate the registration of the above-mentioned right of way. and to cultivate the above-mentioned land.C. and assigns. That said path or passageway is particularly described in the attached plan. ___________________. This agreement shall be binding between the parties and upon all their heirs. No. resident of ________________. in the municipality of _______________. as “Annex A”. __________________________ (Signature of owner of the dominant estate) __________________________ (Signature of owner of servient estate) SIGNED IN THE PRESENCE OF: __________________________ ___________________________ ACKNOWLEDGMENT POWER OF ATTORNEY ACKNOWLEDGEMENT GENERAL POWER OF ATTORNEY KNOW ALL MEN BY THESE PRESENTS: I. which is the nearest public road and least burdensome to the servient estate and to third persons. a path or passageway of not less than two (2) meters wide through the whole length of the western side of “B’s” property is necessary for the use of “A” and for all his needs in cultivating his estate. IN WITNESS WHEREOF. and so as to have an outlet to ________________. successors. of legal age. the parties hereto have signed this agreement the day and the year first above written. Philippines. do hereby name.(Description of “B’s” property) which property is covered by T. in accordance with. for and in consideration of the sum of _____________________ PESOS (P_________) the receipt whereof is hereby acknowledged by “B”. _____________ of the Register of Deeds of the province of _____________________. the latter agrees and permits “A” to have a permanent easement of right of way over the above-mentioned property of said “B” limited to not more than two (2) meters wide throughout the whole length of the western side of said property and as specifically indicated in the attached plan which is made an integral part of this contract. It is further agreed that “B” shall deliver unto “A” all the necessary papers. single (or married to ______________). province of _______________. deed.

sign._________________. Motor No. of which I am the absolute owner. with full power of substitution or revocation . payable or belonging to me. IN WITNESS WHEREOF. and deliver contracts. for the price not less than ____________________PESOS (P___________). to be my true and lawful attorney. for me and in my name. and to have. execute. for me and in my name. and to take any and all lawful ways and means for the recovery thereof by suit. . single or married). and HEREBY GIVING AND GRANTING unto my said attorney full powers and authority to do and perform all and every act requisite or necessary to carry into effect the foregoing authority to sell. resident of _______________. To make. agreements. constitute and appoint __________________. and other writings of whatever nature. of legal age._____________. sue. in ________________. in_____________________. recover or collect any and all sums of money and other things of value of whatever nature or kind as may now be or hereafter become due. Philippines. to be my true and lawful attorney._________. owing . and Chasis No. with power of substitution and revocation. to whosoever may purchase or buy my Honda CRV car with plate No. as fully to all intents and purposes as I might or could lawfully do if personally present. place and stead within the period of_____ months (or years). _________________________. 2001.and appoint ___________________. Philippines. and hereby ratifying and confirming that all that my said attorney or his substitute shall lawfully do or cause to be done under and by virtue of these presents. HEREBY GIVING AND GRANTING unto my said Attorney full power and authority whatsoever requisite or necessary or proper to be done in and about the premises as fully to all intents and purposes as I might or could lawfully do if personally present. documents. I have se my hand this________ day of _____________________. _______________________ (Principal) SIGNED IN THE PRESENCE OF: _________________________ _______________________ ACKNOWLEDGMENT SPECIAL POWER OF ATTORNEY KNOW ALL MEN BY THESE PRESENTS: I. and hereby ratifying and confirming all that my said attorney or his substitute shall lawfully do or cause to be done by virtue hereof . do hereby name. IN WITNESS WHEREOF. of legal age. free from all liens and encumbrances. to SELL. 2001. demand. to wit: To ask. single (or married to _________________). resident of ____________________. TRANSFER and CONVEY. place and stead to do and perform the following acts and things. Philippine Currency. sue for. I have hereunto set my hand this _______ day of ________________.

of legal age. but in the effect that the donee should die . transfers. ACCEPTANCE That the Donee does hereby accepts the foregoing donation of the abovementioned described property for which he/she expresses his/her sincerest appreciation and gratitude for the kindness and liberty shown by the Donor. by ____________.favor of_______________________. for and in consideration of the love and affection of the Donor for the Donee (and for the faithful services the latter has rendered in the past to the former). single/married to _______________. the said Donor by these presents hereby cedes. State that the donation shall become effective upon the death upon the death of the donor.of legal age. the parties hereto have hereunto set their hands at the place first above written. Filipino citizen and with residence and postal address at _________________. Philippines.______________ ______ Principal Signed in the presence of: ____________________ ____________________ ACKNOWLEDGMENT VI. (NOTE:If inter vivos. (NOTE: In case of donation mortis causa. together with all the buildings and improvements existing thereon. state the following) “The donor hereby states that . WITNESSETH: That the Donor is the absolute owner of that certain real property situated at ____________ and more particularly described as follows: (description of the property) That. . Filipino citizen and with residence and postal address at _______________. an attestation clause is included and is signed by 3 witnesses. hereinafter called the DONEE. for the purpose of giving effect to the donation. single/married to ____________ . and conveys. he has reserved for himself in full ownership sufficient property to support him in a manner appropriate to his needs) IN WITNESS WHEREOF. by way of donation. free and clear of all liens and encumbrances. unto said Donee the real property above described. DONATIONS AND WILLS DONATION INTER VIVOS/MORTIS CAUSA KNOW ALL MEN BY THESE PRESENTS: This Deed of Donation made and executed in the _____________. 20__. on this _____ day of _____. hereinafter called the DONOR.

before the donor. single (or married to_____________). a native of 20___. being of sound and disposing mind and memory. and not acting under influence. do by these presents declare this to be my Last Will and Testament which I have caused to be written in English. do hereby declare this to be my last will and testament which I have written in my own handwriting in English. I have hereunto set my hand this ______ day of ___________________. _____________________. and I hereby declare that all my properties shall upon my death be distributed to my wife __________________ and to my only child ____________________ share and share alike. And ________________. only 2 witnesses are needed to sign). ____________________ . The following are my children (Names) with their address I give and bequeath to my children _____________. now actually residing at ____________________. in equal shares. WILLS HOLOGRAPHIC WILL (NOTE: This should be handwritten) 15. real and personal. a language known to me. ________________. And I hereby declare that: I. ____________________. fraud or intimidation of whatever kind. in ______________. of legal age. Philippines. Juan Dela Cruz NOTARIAL WILL LAST WILL AND TESTAMENT Of __________________________ (Name of Testator) KNOW ALL MEN BY THESE PRESENTS: I. the present donation shall be deemed rescinded and of no further force and effect. IN WITNESS WHEREOF. In case of donation inter vivos. the language which is known to me. whatsoever and wheresoever located: (Description) II. I designate ________________ the sole executor of this my Last Will and Testament. 2001. the following properties. violence. May 2000 I. of _____________________ being of sound mind and disposing mind.

with C. in turn. with C. 2001. _____________ __________________ on ________________. including the page in which this acknowledgment is written. No. and has been signed on the left margin of each and every page thereof by the testator and his witnesses.T. issued at (Residence) ______________________ (Residence) (Residence) issued issued issued at at at all known to me to be the same persons who signed the foregoing Will. (Signature of at least three witnesses) ______________________ _____________________ (Witness) _____________________ (Witness) ___________________________ __________________________ (Witness) JOINT ACKNOWLEDGMENT BEFORE ME. _____________ __________________ on ________________. . ___________________.T. the first as testator and the last three as instrumental witnesses. in our joint presence and we. _____________ __________________ on ________________. the undersigned attesting witnesses. Philippines this ______ day of _________________. 2001. and they respectively acknowledge to me that they signed the same as their own free will and deed. as his/her Last Will and Testament and has signed the same and every page thereof. on the left margin. 2001. Witness. with C.C. whose residences are stated opposite our respective names. Notary Public for and in the City/Municipality of _________________. at his/her request have witnessed and signed the same and every page thereof.C. do hereby certify: That the testator. 2001.(Signature of Testator) ATTESTATION CLAUSE We. 2001. personally appeared: The testator.C. No. in the presence of the testator and in the presence of each and all of us. Witness. This Will consists of ______ pages.C. has published unto us the foregoing will consisting of _______ pages numbered correlatively in letters on the upper part of each page. No. on the margin. with C. and sealed with my notarial seal.T. No. Witness. _____________ _________________ on _________________.T.

Filipino citizen and resident of No. 4. That despite repeated demands. 1/2/2001. the plaintiff was compelled to institute this action engaging the services of counsel in the amount of P1. That said loan. 19 Dagupan Street. 1983. Special Civil Actions. 31. both written and oral. and Special Proceedings A. now overdue. Pasig City PTR No. year and place above written. 2/2/2001. 1.00 5. NOTARY PUBLIC My commission expires Dec. That on or about January 1. and to this Honorable Court. is evidenced by a promissory note signed by the defendant.000. I have hereunto set my hand the day. namely: Civil Actions. Manila where he may be served with summons. _____. ______ Book No. ______. by the undersigned counsel.000. defendant has failed and refused to apply said loan. That due to the unjust and unlawful act of the defendant to comply with the said demands. Pasig City Doc. . PLEADINGS Pleadings are filed in four (4) kinds of cases. 3. 2001 IBP No.7 Agoo Street. Filipino citizen and a resident of No. ______ Page No. No. 2. Quezon City and the defendant is also of legal age. a copy of which is hereto attached as “annex A” and made part of this complaint. ______ Series of 2000 VI. defendant obtained a loan of P20.IN WITNESS WHEREOF. Provisional Remedies. MISCELLANEOUS CIVIL PLEADINGS COMPLAINT BASED ON AN ACTIONABLE DOCUMENT (One Cause of Action) (Caption) COMPLAINT COMES NOW the plaintiff. respectfully alleges: That the plaintiff is of legal age.00 from the plaintiff payable within 90 days from date of receipt at 12% per annum. Tondo.

to wit: (insert copy of the promissory note or use as Annex) 3.00 plus interest of 12% from the date of the instrument until full amount is payed and attorney’s fees in the amount of P1. Plaintiff hereby incorporates the allegations of paragraph 1 of the first cause of action. 1983.T. No. nor any part thereof or interest thereon.R. Manila where he may be served with summons. and that defendant is a resident of 486 Tenesee.00 and costs of the suit.WHEREFORE. 2. in the following words and figures. That the plaintiff is a resident of the City of Manila. Malate. defendant executed and delivered to plaintiff a promissory note. That on the 19th of August 1983. Same as paragraph 3 of the first cause of action) WHEREFORE. 2. Quezon City. to wit: (insert copy of promissory note) 2.000.000. 1991._____ Date & Place of Issue_____ COMPLAINT (SEVERAL CAUSES OF ACTION) Plaintiff Alleges: First Cause of Action 1. it is respectfully prayed that judgment be rendered against the defendant to pay the plaintiff the sum of P20. Other equitable reliefs are likewise prayed for. No. That defendant has not paid promissory note.R. ___________________.______ Date & Place of Issue______ IBP O. That on the 11th day of June. defendant executed and delivered to the plaintiff his promissory note in the following words and figures. ________________________ Attorney for Plaintiff ________________________ Address P. As Second Cause of Action: 1. it is respectfully prayed that judgment be rendered in favor of .

Manila P. Manila. __ CERTIFICATION OF NON-FORUM SHOPPING ANSWER WITH SPECIAL AND AFFIRMATIVE DEFENSES AND COUNTERCLAIM JUAN DELA CRUZ Plaintiff.2 and 3 of the complaint. and to this Honorable Court most respectfully alleges: 1. until paid. 2. By way of special and affirmative defenses. 3. defendant avers: . JOSE CRUZ Attorney for the Plaintiff 311 Regina Building.T.R. No. Defendant specifically denies the allegation in paragraph 4 of the complaint. ( State here the fact being claimed by the defendant as the true state of facts or the truth being those stated in the special and affirmative defenses herein set forth) Defendant has no knowledge or information to form a belief as to the truth of the averment in paragraphs 5. Philippines. the truth being that…. 1987. Defendant admits the averment in paragraph 1. x------------------------------------------x ANSWER WITH SPECIAL AND AFFIRMATIVE DEFENSES AND COUNTERCLAIM NOW COMES the defendant in the above entitled case. October 10.6.7 and 8 of the complaint. further prays for such other relief as this Honrable Court may deem just and equitable in the premises.__ & IBP Receipt No. PLAINTIFF. CIVIL CASE NO. 12368 -versusPEDRO SANTOS Defendant. interest at the legal rate on the interest due from the time of the filing of the complaint and attorney’s fees plus costs.Plaintiff and against defendant for the sum of (the total amount of the promissory notes) with interest at the rate of six percentum per annum on each of the aforesaid notes.

That the obligation has been paid.) (Copy furnished with Proof of Service and Explanation) ANSWER WITH SPECIFIC DENIAL OF DOCUMENT UNDER OATH THAT Defendant specifically denies under oath the genuiness and due execution of the instrument a copy of which is attached to Plaintiff’s complaint as Annex “A”.T. No. Philippines.T. 2000. defendant alleges: 1.R. That the defendant had purchases said land from plaintiff and paid said promissory notes.00.000. ______ Date & Pace of Issue________ . That the cause of action has prescribed. That by virtue of this unwarranted and malicious act initiated by the plaintiff.000. Manila. No. 3. ________ Date & Place of Issue________ IBP O. May 27. By way of counterclaim. WHEREFORE.______ Date & Place of IBP O. ERNESTO FLORES Attorney for the Defendant _______________________ Address Issue______ Place of Issue_____ P. it is respectfully prayed that the complaint be dismissed and defendant be awarded the amount of P5. the truth being that his signature thereon is forged and that he did not in fact sign the said instrument.R. No.R. defendant was forced to engage counsel in the sum of P10.R> No.1.00 Other equitable reliefs are likewise prayed for._____ Date & (Under oath if document is denied. ERNESTO FLORES Attorney for the Defendant _________________________ Address P. 2.

it is respectfully prayed that X be allowed to intervene as party plaintiff (or defendant) and the attached complaint be admitted and served on the defendant (or answer be admitted and X be allowed to serve copy of the same to the Plaintiff). by his under signed counsel. through his undersigned attorney and respectfully moves to quash the information filed against him on the ground that: 1.VERIFICATION (Or Oath of the Defendant) ______________________ Defendant JURAT MOTIONS (NOTE: All motions must be addressed to the other/adverse party. and that he may be adversely affected in these proceedings as shown in the attached Complaint-in-Intervention ( or answer in intervention). Prescription 3. etc. Atty. ( notice of hearing) MOTION TO DISMISS NOW COMES Defendant. to this Honorable Court respectfully prays that he be permitted to intervene in this case as a party plaintiff (or as a party defendant) on the ground that he has legal interest in the matter under litigation. to this Honorable Court and respectfully moves that the complaint be dismissed on the following grounds: . Lack of jurisdiction 2. accused in the above titled case. Y Counsel for X (With Notice of Hearing. it must contain a notice of hearing and proof of service or an explanation why personal service was not resorted to. it is respectfully prayed that the information filed against the accused be dismissed. ARGUMENTS ( here set forth the reasons in support of the motion to quash) WHEREFORE. WHEREFORE. Proof of Service and Explanation) MOTION TO QUASH COMES NOW X. Facts alleged do not constitute an offense. MOTION TO INTERVENE COMES NOW X. by his undersigned attorney.

Manila. Sampaloc. 7 Sta. BFG whose services have been engaged by defendant hereby enters his appearance as counsel for defendant. it is respectfully prayed that the decision of this Honorable Court be set aside and new trial be granted. Counsel on record for the defendant and to this Honorable Court respectfully moves to withdraw as counsel of said defendant with the express consent of said defendant as shown in this motion. Proof of Service and Explanation) MOTION TO WITHDRAW WITH SUBSTITUTION OF COUNSEL COMES NOW. all pleadings. That upon approval of this Honorable Court. No. 4. Atty. ARGUMENTS ( here set forth the reasons in support of the grounds mentioned) WHEREFORE. Lack of capacity. Proof of Service and Explanation) MOTION FOR NEW TRIAL NOW COMES Defendant (or plaintiff) by his undersigned attorney to this Honorable Court and respectfully moves that the decision of this Honorable Court dated March 1. JRC. Prescription. it is respectfully prayed that the complaint be dismissed. 5. or newly discovered evidence or excessive damages awarded) ARGUMENTS (here se forth the reasons in support of the ground/s mentioned) WHEREFORE. With my consent: ___________________________ BFG New counsel ________________________ Address P. (With Notice of Hearing. 2. Payment. (With Notice of Hearing. 3. That in the substitution thereof. Catalina.R. mistake. such as fraud.( here mention one or more grounds provided for in Rule 16. 1987 and received on March 7. Novation. Rules of Court. Lack of Jurisdiction.______ Date & Place of Issue______ . notices. Rules of Court) 1.T. 1988 be set aside and new trial be granted on the following grounds: (here give the grounds provided for in Rule 37. and papers in connection with this case be addressed to new counsel BFG with address at No. accident.

it is respectfully prayed that the hearing set on July 7. 1988. PTB. That in the answer of defendant filed on July 1. Proof of Service and Explanation) . ALC Counsel for defendant (Notice of Hearing) (Proof of Service and Explanation) MOTION FOR JUDGMENT ON THE PLEADINGS COMES NOW. July 5. WHEREFORE. 1988 be admitted having signed the promissory note and merely interposed defense that he was asking for time within which to pay the obligation. A copy of the physician’s certificate under is hereto attached.IBP O. Manila. Sgd. XYZ Counsel for Plaintiff (With Notice of Hearing. 1988. July 2. Manila. Philippines. 2. it is respectfully prayed that this Honorable Court render judgement on the pleadings. That counsel for defendant is afflicted with influenza and is now under the medical care of Dr. the Plaintiff through the undersigned counsel and to this Honorable Court respectfully alleged: 1. That said answer does not tender any issue and in fact it can be read therefrom that defendant admitted his obligation. No. Philippines. 1988 be reset to another day preferably on the first week of August 1988 or at the convenience of this Honorable Court._____ Date & Place of Issue_____ (copy furnished: adverse counsel) (Proof of Service and Explanation) MOTION FOR POSTPONEMENT OF HEARING COMES NOW Defendant through undersigned counsel unto this Honorable Court respectfully states: That the above entitled case is set for hearing on July 7.R. 1988. WHEREFORE.

1988. Metro Manila GREETINGS: Considering the urgency and non-litigious nature of the above motion. PROVISIONAL REMEDIES PETITION FOR INJUNCTION (NOTE: Must allege acts that should be enjoined and the basis for petitioners claim why they should be enjoined. That up to the present. __________________ _____ (Counsel for the Defendant) B. 2. 4. XYZ Counsel for Plaintiff (With Notice of Hearing. 3.) THAT the continuance of the acts aforementioned during the present litigation will not only cause great and irreparable injury but will also work injustice to the plaintiff. 1988. Proof of Service and Explanation) NOTICE OF HEARING IN EX-PARTE AND NON-LITIGOUS MOTION The Branch Clerk of court RegionalTrial Court National Capital Judicial Region Branch______. . 1988 as shown in the registry return card. Manila. Makati. That judgment was rendered by this Honorable Court in favor of the plaintiff on June 1.MOTION FOR EXECUTION OF JUDGMENT COMES NOW. July 5. hence the decision has become final and executory. the Plaintiff through undersigned counsel and to this Honorable Court respectfully alleged: 1. Philippines. That said judgment was duly received by the defendant on June 5. the defendant had not filed any motion for reconsideration or had appealed from said decision. please submit the same forthwith upon receipt for the consideration and approval of the Honorable Court. WHEREFORE. it is respectfully prayed that an order be issued by this Honorable Court for a writ of execution of said judgment.

That said property has not been taken from the said plaintiff for tax assessment or fine pursuant to law. Plaintiff prays for judgment: . that it is exempted from such seizure). 6. the herein Plaintiff demanded for the return of the said property but despite repeated demands. for the return of the property to the Defendant if the return thereof be adjudged. That on April 1. through the undersigned counsel in the above entitled case and to this Honorable Court alleges: 1. 4. That on or about the 1st day of March 1988. through counsel alleges: 1. or seized under an execution. and for 10 days thereafter. (State in logical order the facts of plaintiff’s complaint stating the grounds for the issuance of preliminary injunction) PRAYER Attorney for Plaintiff Address VERIFICATION & CERTIFICATION OF NON-FORUM SHOPPING (NOTE: The form for Affidavit in support of Injunction) JURAT COMPLAINT FOR RECOVERY OF PERSONAL PROPERTY (Replevin) (CAPTION AND TITLE) COMES NOW. 3. 2. That said plaintiff is the lawful owner of the following described personal property. That the actual value of the said personal property is P10. WHEREFORE. or attachment against the property of the Plaintiff (or if so seized.00. 000. 1988. That the herein plaintiff is ready and willing to file a bond. 5. said Defendant refused and still refuses to return the said property claiming that the same belongs to him. the Plaintiff.PETITION FOR INJUNCTION (Caption and Title) PETITION Plaintiff. herein defendant borrowed said property from Plaintiff promising to return the same the next day. (Averment of names and residences) 2. and for the payment to the Defendant of such sum as he may recover from the Plaintiff in the auction. executed to the defendant in double the value of the property stated above.

_________________________ Counsel VERIFICATION & CERTIFICATION ON NON-FORUM SHOPPING JURAT C. and to this Honorable Court alleges. Manila and may be served with summons at said address.1. x---------------------------x COMPLAINT COMES NOW the Plaintiff in the above entitled case. residing at No. attaching as annexes to the first original copy of the petition certified true copies of the orders complained of. Ordering the defendant to pay the costs of this suit. insert allegations that the lower court or tribunal acted in excess of jurisdiction. that defendant is likewise of legal age. 2 Cruz Street. and mandamus. through counsel. PROHIBITION & (NOTE: In petitions for certiorari. 3. COMPLAINT FOR EJECTMENT XYZ Plaintiff. adjudging that the Plaintiff has the right to the possession of said personal property and rendering judgment in the alternative against the Defendant for the delivery thereof to the Plaintiff of the value thereof in case delivery cannot be made. I That the plaintiff is of legal age and a resident of the City of Manila. . prohibition. SPECIAL CIVIL ACTIONS REQUIREMENTS MANDAMUS IN PETITION FOR CERTIORARI. Ordering the sheriff or other officer of the Court forthwith to take such property into his custody and to dispose of it in accordance with the Rules of Court. Mandamus requires the allegation that the remedy sought for is immaterial. adequate remedy in the ordinary course of law. and then these three must always state that petitioner has no other plain. CIVIL _______________ -versusABC Defendant. After trial of the issues. 2. CASE NO. or with grave abuse of discretion amounting to lack of or in excess of jurisdiction. All three petitions must be verified in accordance with the new SC Circular and with Certification on Non-Forum Shopping). or without jurisdiction. and for such other equitable relief in the premises.

To vacate the premises leased by him. Manila. defendant failed to pay the aforesaid monthly rentals on their due dates. plaintiff was constrained to institute this case. 2. but despite said demands. written and oral. such that as of the date hereof. To pay the monthly sum of P1. demands was made on defendant to pay his rental in arrears and vacate the premises.00 beginning with the month of __________. DEFG Attorney for the Plaintiff _________________________________ Address P. 7 Cruz Street. his arrearages have accumulated up to P_____________.R. defendant failed and refused to pay the rentals in arrears and vacate the premises leased by him. with interest thereon at the legal rate until fully paid until the defendant vacates said premises.R.T. 000._____ Date & Place of No. Issue_____ IBP Issue_____ VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING O. 000. May 1. No. 2001. leased from the plaintiff the premises located at No._______ Date & Place of . 2001. V As a result.II That defendant on January 7. 2001. incurring in the process obligations for litigation expenses and attorney’s fess in the amount of _______________ PRAYER WHEREFORE. agreeing to pay monthly rental of P 1. Manila.00 III However. Philippines. To pay the sum of P_________ as litigation expenses and attorney’s fees. it is respectfully prayed that judgment be rendered against the defendant ordering him: 1. IV That on March 7. 3. Plaintiff further prays for such other reliefs as this Court may deem just and equitable. 2001.

That said mortgage was registered with the Office of the Registrar of Deeds of Quezon City on March 2. respectfully alleges: That on March 6. 2.R. ordering the defendant to pay: 1._____ Date & Place of No. defendant executed on March 1. 1988.00 until fully paid. No. The principal sum of P50._______________________ Plaintiff JURAT COMPLAINT FOR FORECLOSURE OF MORTGAGE COMPLAINT NOW COMES plaintiff to this Honorable Court and for cause of action against the defendant.000.R.T. WHEREFORE. DEFG Attorney for the Plaintiff ________________________________________ Address P. That the aforementioned parcel of land be sold at a public auction should the defendant fail to pay the sums set forth in this complaint and apply the proceeds thereof in accordance with the dispositions of law._______ Date & Place of . 1988. Issue_____ IBP Issue_____ O. it is respectfully prayed that judgment be issued in favor of the plaintiff. That payment of said promissory note is long overdue and defendant has failed to pay the same despite repeated demands. defendant executed a promissory note (Annex A hereof) in favor of the plaintiff in terms and conditions as follows: (COPY) That to secure the payment of the said promissory note. marked annex “B” and made as integral part of this complaint. 1988 a Deed of Mortgage in favor of plaintiff over a parcel of land whose technical description is as follows: (COPY DESCRIPTION) Copy of said Deed of Mortgage is attached hereto.

VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING _______________________ Plaintiff JURAT VERIFICATION D. maternal grandmother of Y. upon being duly sworn deposes and says: That I am the petitioner in the above entitled case. to this Honorable Court and respectfully represents: That he is the father of the minor Y. by his undersigned attorney. That despite demands. Z refuses to turn over the custody of Y to your petitioner. it is respectfully prayed that an order be issued to Z to bring the minor to this Honorable Court at the hour and date to be set by this Honorable Court. . who (Z) forcibly abducted him (Y) and up to now actually restrains him (Y) of his liberty. and thereafter that the custody of the minor Y be turned over to your petitioner. that I have read the contents of the said petition and that said contents are true and correct of my own personal knowledge. ________________________ Petitioner JURAT PETITION FOR GUARDIANSHIP NOW COMES X. who is presently in the custody of Z. by his undersigned attorney. the petitioner. SPECIAL PROCEEDINGS PETITION FOR HABEAS CORPUS NOW COMES X. _________________________ Counsel VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING (by Petitioner) X. WHEREFORE. to this Honorable Court and respectfully represents: That he is the father of Y. That Y is presently a resident of the City of Manila.

NO. as above stated. through counsel. SPL. if it exceeds P50. That. x-----------------------------------------------------x PETITION PETITIONER. ages and residences) 2. unto this Honorable Court respectfully alleges: 1.That Y is the owner of a parcel of land located in the City of Manila valued at P50. That the nearest of kin of Y are the following: (here mention the nearest kin and their address) That due to the minority of the said ___________________. it is respectfully prayed that after due notice and hearing your petitioner be appointed guardian over the estate of Y. it is necessary and convenient that a guardian of his person and property be appointed. (Averment of names. . (Furnish a bond of not less than 10% of the value of the property or annual income. and that he possesses all qualifications to whom letters of guardianship should issue. PETER DOE died without leaving any will in the City of ______________________ which was his residence at the time of his death. ____________________ is the person having the said minor in his care.000 and as such minor can make no transactions regarding the same. Petitioner. ________________________ Counsel VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING _______________________ Petitioner JURAT PETITION FOR APPOINTMENT OF ADMINISTRATOR (Caption and Title) In the Matter of the Intestate Estate of PETER DOE JOSE DOE.000) WHEREFORE. PROC. That on ___________________.

3. Caption 2. That the names. the following are the names of the creditors of the decedent. and petitioner. are the following to wi: Names Ages Relation Residence 4. leaving no descendants nor ascendants whether legitimate or otherwise. Place. 9. 4. 7. as far as petitioner knows. 5. That decedent died a bachelor. ages. PRAYER WHEREFORE. 3. 2. That. Caption Heading Opening sentence Body alleging acts or omissions constituting a crime Contrary to law Certification of Preliminary Investigation Jurat List of Witnesses Bail Recommended ESSENTIAL PARTS OF A COMPLAINT 1. Heading . it is prayed that. to wit: Names Address Amount of Credit 6. Date and Signature _____________________ Counsel _____________________ Address VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING _______________________ Petitioner JURAT E. 6. is the only surviving brother of said decedent. 8. and residences of the surviving heirs of the aforementioned deceased. after due notice and hearing letters of administration of the estate of the deceased PETER DOE be issued to petitioner. CRIMINAL PROCEEDINGS ESSENTIAL PARTS OF AN INFORMATION 1. That the deceased left the following real and personal properties: Character Location Probable Value 5.

7. 6. 3. Opening sentence Body alleging facts or omissions constituting a crime Contrary to law Oath of Complaint with his/her signature Certification of Prosecutor Jurat DIRECT FILING OF COMPLAINT 1. this __________ day of __________________. actuated by lust. and by means of force. 2001. of _________________________ Municipal Judge of __________ WITNESSES: ____________________________ ____________________________ INFORMATION . 8. 4. commit an act of lasciviousness upon the undersigned by then and there embracing and kissing her and touching her breasts and sexual organs. 5. in the Municipality of ______________. committed as follows. Province of ______________. __________. Philippines. to wit: That on or about _______________. unlawfully. willfully. offended party. 5. the said accused. 4. did then and there. by _____________________.3. and feloniously. within the jurisdiction of this Court. against her will. 6. ________________________ Offended Party Subscribed and sworn to before me this______ day ________________. 2001. 2. _______________. Caption Heading Opening sentence Body alleging facts or omissions constituting a crime Signature Jurat COMPLAINT COMPLAINT FILED BY OFFENDED PARTY BEFORE MUNICIPAL JUDGE ACTS OF LASCIVIOUSNESS (Caption and Title) COMPLAINT The undersigned. accuses _______________ of the crime of an ACT OF LASCIVIOUSNESS.

911.D. accuses ______________ of the crime of Abduction with Consent. of Justice Circular No. 5180. ___________ NOTE: The “OK” or approval by the City or Provincial Prosecutor is also required by law before any information may be filed by any assistant fiscal.6. Contrary to law: ____. 74. and feloniously removed. from her dwelling with her consent and with lewd designs.2000 _______________________ (Provincial Prosecutor) WITNESSES: ______________________ ______________________ CERTIFICATION NOTE: All informations. series of 1967 and Circular No.ABDUCTION WITH CONSENT (Caption and Title) INFORMATION The undersigned. upon sworn complaint originally filed by the offended party. Such a certification under oath may be stated substantially as follows: A preliminary investigation has previously been conducted in this case under my direction. committed as follows: That on or about ______________ in the Municipality of ____________.D. Philippines. ______________________ Assistant Prosecutor SUBSCRIBED AND SWORN to before me this _____ day of ____________. 1972 and P. within the jurisdiction of this court. by _________________. a virgin over twelve and under eighteen years of age. as amended by P. Philippines. for offenses filed by the city or provincial prosecutors must contain a certification under oath by the investigating fiscal that before filing the case he had previously conducted a preliminary investigation wherein the accused was given a chance to appear. took and carried away _________. having examined the witnesses in accordance with the provisions of R. Dec. No. series of 1975. provincial fiscal. _______________________ Judge. province of _____________. No. unlawfully. 77. 23. assistant fiscal of _______________. 1976 and as implemented by Dept. 2000 in the city/municipality of ___________.A. SERIOUS ILLEGAL DETENTION/KIDNAPPING (Caption and Title) RTC of . ___________. March 23. the said accused willfully.

The undersigned accuses X of the crime of SERIOUS ILLEGAL DETENTION ( or KIDNAPPING). 2. 2000. _______________. or a period of _______days. take said Z. _____. province of _______________. maltreat and refuse to release said Z until the sister of the accused was found. and unless this fact is satisfactorily shown. That the burden of showing that evidence of guilt is strong is on the prosecution. and within the jurisdiction of this Honorable Court. whom said accused detained and kept locked room in his room from _______________ to _______________. in the municipality of ________________. while the latter was walking in ________________. did then and there willfully. under restraint and against the will of the said Z. 2000. Contrary to law. suspecting that one Z had knowledge of the elopement of her sister . committed as follows: That about and during the period beginning the _____ day of ________________. That no bail has been recommended for his temporary release. 3. the defendant may be bailed at the court’s discretion. _______________________ Prosecutor MISCELLANEOUS CRIMINAL PROCEEDINGS PETITION FOR BAIL (Caption and Title) PETITION FOR BAIL COMES NOW the defendant in the above-titled case by his undersigned attorney and respectfully states: 1. a man 50 years of age. Philippines. upon prior notice and hearing. feloniously and by force. 2000. during said period of detention. That the defendant is in the custody for the alleged commission of a capital offense. it is respectfully prayed that the defendant be admitted to bail in such amount as this Honorable Court may fix. unlawfully. _______________________ (Attorney Defendant) _______________________ (Address) (With Notice of Hearing and Proof of Service) for the . and said accused did. said X. WHEREFORE. on the assumption that the evidence of guilt is strong.

shall be directed to the person whose attendance is required. and if subpoena duces tecum. and hereby files notice of appeal from the judgment of this Honorable Court in the above-entitled case.NOTICE OF APPEAL (Caption and Title) NOTICE OF APPEAL COMES NOW the defendant (or plaintiff as the case maybe) by the undersigned attorney. SUBPOENA To: _____________________ _____________________ You are hereby commanded to appear before the Regional Trial Court of _________________. _______________________ (Attorney Petitioner) _______________________ (Address) SUBPOENA (NOTE : A subpoena shall be signed by the clerk. _____. or by the judge if his court has no clerk. It shall state the name of the court and the title of the action or investigation. then and there to testify in the action of X against Y (here set the number of the case). at _________ o’clock A. on the _____ day of ________________. dated ____________ a copy of which was received by him on _______________. judge of said court. it shall also contain a reasonble description of the things demanded which must appear to the court prima facie relevant). M. _______________.. this ______ day of _________________. Witness the Honorable ______________. and appeals the same to the Court of Appeals. under the seal of the court. 2000. 2000 for the _______________________ (Clerk) SUBPOENA DUCES TECUM (Caption and Title) To: _____________________ _____________________ . 2000.

wherein _________________ is the plaintiff and _________________ is defendant.You are hereby required to appear before the Regional Trial Court of ________________ on the ______ day of _______________. RTC of _______ ORDER OF ARREST (Caption) Case No. _____ day of _______________. ______________________ Judge X. writing. 2000 at _________ o’clock and to bring with you into the court the following (describe book. _______________________ Judge X.X Criminal Case No. and to bring him before me as soon as possible to be dealt with as the Rules of Court direct. deed. Philippines. 2000. _______ For ______________________ (State nature of offense) } . TO ANY OFFICER OF THE LAW: You are hereby commanded to arrest _________________________ who is said to be at ________________________________ and who stands __________ charged before me of the crime of ___________________. or other documents). it being necessary to use the same as testimony in the cause there pending. ____________ REPUBLIC OF THE PHILIPPINES. RTC ________ SEARCH WARRANT (Caption) THE PEOPLE OF THE PHILIPPINES Plaintiff. -versus________________________ Defendant. ___________________. X ---------------------------------------------. -versus} ORDER OF ARREST ___________________________ Accused. Plaintiff.

to wit: (give complete and detailed description of the ________________________________________________________________ ______ property to be seized) and bring said property to the undersigned to be dealt with as the law directs. Given under my hand this ______ day of ________________. Property offense Subject of the offense Stolen or embezzled and other proceeds or fruits of the Used or intended to be used as the means of committing an offense which should be seized and brought to the undersigned. __________ RTC of DEMURRER TO EVIDENCE (Caption and Title) MOTION TO DISMISS BY WAY OF DEMURRER TO EVIDENCE Accused JUAN DELA CRUZ.SEARCH WARRANT TO ANY PEACE OFFICER: Greetings: It appearing to the satisfaction of the undersigned. through counsel. respectfully submits this motion to dismiss by way of demurrer to evidence and alleges that: The Indictment The Evidence for the Prosecution . Philippines. _______ in (name of street). and pursuant to leave granted by this Honorable Court in its order dated 20 May 2000. ______________________ Judge. at _________________. You are hereby commanded to make immediate search at any time in the day/night of the premises above described and forthwith seize and take possession of the following personal property. after examining under oath (name of applicant) and his witness (name of witness) that there are good and sufficient reasons to believe that (name of person or persons to be searched) has in his control in premises No. district of _______________.

at ________ A. who when on earth did obtain from God the grace to be asked in the examinations only questions you knew. and Explanation) APPLICATION FOR COMPULSORY PROCESS TO SECURE ATTENDANCE OF WITNESS (Caption and Title) The Clerk of Regional Trial Court _______________________________ Sir: Please cause a subpoena to be issued to the following persons in order that they may appear to testify in behalf of the defendant in the trial of this case which shall take place before this court on _____________ . JOSEPH OF CUPERTINO O Great St. Obtain for me the same favor in this examinations which I am now preparing for.Arguments (why the case should be dismissed. Proof of Service. ______________________ (Attorney Defendant) _______________________ (Address) PRAYER TO ST. 2000. our Lord. this _________ day of ______________. showing why the same is insufficient) Prayer (With Notice of Hearing. In return I promise to make you known and cause to be invoked through Christ. Amen for the THAT IN ALL THINGS GOD MAY BE GLORIFIED!!! .M: ____________________________ _________________________ (Name) ____________________________ _________________________ (Name) (Address) (Address) __________. insufficiency of evidence should be among those enumerated. Joseph of Cupertino.

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