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- versus MARIA ROSA PARRNO Defendant. X------------------------------X

COMPLAINT COMES NOW, the Plaintiff, by the undersigned counsel and unto this Honorable Court, most respectfully avers that: 1. The Plaintiff, NEVIE DE LA ROSA LLAMADO, of legal age, married, and a resident of _______________; 2. Plaintiff may be served with copies of notices and orders of the Honorable Court at the office address of the undersigned counsel indicated below; 3. The Defendant, MARIA ROSA PARRENO, still has a pending account with the Plaintiff in the principal amount of FOURTEEN THOUSAND FIVE HUNDERED (P14,500) as of July 18, 2013. A copy of the Statement of Account is hereto attached as Annex “A”; 4. The Plaintiff has extended her forbearance to the Defendant for not being able to settle all accounts which the latter acknowledged by receiving the Demand Letter dated ____ which she herself signed on ___. A copy of the Demand Letter dated is hereto attached as Annex “B”; 5. Despite repeated demands, the Defendant continued to fail in paying his accounts with the Plaintiff; 6. The Plaintiff is entitled to demand for payments of sum of money not exceeding P100,000 pursuant to the Supreme Court Rule of Procedure for Small Claims (A.M. No. 08-8-7-SC).

QUIACHON Counsel for the Plaintiff AMEGO & Associates Law Office c/o Ground Floor. MANUEL T. _________ MCLE Compliance No. premises considered. Philippines. 2013 Bar Passer SC ROLL NO.PRAYER WHEREFORE. Bacolod City. on oath. Lacson-Luzuriaga Sts. state that: 2 . CIT Bldg. PARROCO president IMC or SHIELA P. Bacolod City PTR No. NEA CECILLE V. 5054090 B. the Plaintiff respectfully prays of this Honorable Court that judgment be rendered against the Defendants as follows: a. 889816 B. of legal age. 61777 VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING I. Philippines. C. Filipino.C. 2013. Ordering Defendant to pay the Plaintiff the sum of ______ b.. married. Ordering the Defendant to pay the Plaintiff the amount of P_____ as Attorney’s Fees and Litigation Costs.. and a resident of Bacolod City. Plaintiff further prays for such other relief and remedies as this Honorable Court may deem just and equitable under the premises._________ IBP No. GOMEZ (Accounting and Control Manager). January __.

I hereby undertake to report such fact within (5)days from my knowledge thereof. with his name. 2013 at the City of Bacolod. the Court of Appeals or other tribunal or agency. administrative body or in the Supreme Court . Should I thereafter learn that a similar action or proceeding had been filed or is pending before any court. 2. ____ Book No. ____ Series of 2013. 3. 4. Philippines. MANUEL T.___________. PARROCO Affiant SUBSCRIBED AND SWORN to before me this ____ day of December. administrative body or in the Supreme Court. Doc. 3 . ____ Page No. IN WITNESS WHEREOF. I have hereunto affixed my signature this ___ day of December. the affiant exhibiting to me his Government Issued ID No. the Court of Appeals or other tribunal or agency. Philippines. I have read the same and the contents therein are true and correct to my own personal knowledge and based on authentic documents.1. I have not initiated or commenced any similar action or proceeding involving the same issue and the same parties before any court. 2013 in the City of Bacolod. and picture appearing thereon. I am the president of ISLAND MERCHANT CORPORATION and I have caused the preparation of the foregoing Complaint. signature. No.