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REPUBLIC OF THE PHILIPPNES

)
City of Bacolod
) S.c.
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JUDICIAL AFFIDAVIT
I, ISIDRO VILLAROSA, of legal age, Filipino, married,a
resident of Bacolod City, Philippines, after having been sworn in
accordance with law, hereby depose and state that:
I am submitting this Judicial Affidavit as the Plaintiff in the case
entitled, NEW VITA SECURITY AND HUMAN RESOURCE AGENCY
AND JJL SECURITY & INTEGRATED SERVICES, INC. VS.
CENTRAL NEGROS ELECTRIC COOPERATIVE (CENECO) Civil
Case No. 12-13885, now pending before theRegional Trial Court,
Branch 44, Bacolod City, and pursuant to A.M. No. 12-8-8-SC
(Judicial Affidavit Rule) of the Supreme Court.
The name of the lawyer who conducted or supervised my
examination is Atty. Pacifico M. Maghari III, with office address
located at c/o AMEGO &Associates Law Office, G/F CIT Building,
Lacson-LuzuriagaSts., Bacolod City.Such examination was
conducted in the same office address on March 25, 2014.
I am filing this Judicial Affidavit for the purpose of presenting my
claims for damages and answering the material allegations stated in
the verified answer with counter claim filed by the defendant
CENECO.
I answered the questions asked herein fully conscious that I do
so under oath and that I may face criminal liability for false testimony
or perjury, to wit:
Q1: Please state your name and other personal circumstances for
the record.
A1: My name is ISIDRO VILLAROSA, of legal age, Filipino,
married, a resident of Bacolod City, Philippines. I am the plaintiff in
this case representing the New Vita Security and Human Resource
(New Vita for brevity) as I am its General Manager.
Q2: Do you know the defendant?
A2:

Yes, Sir.

Q3: How do you know the defendant?
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Q7: What was the effect of the termination of services by Ceneco to your security agency? A7: Our security agency suffered serious losses and extreme cash flow shortage thereby hampering our operations. I am pursuing however the remaining issue left to be resolved in this case which is for payment of damages. 9143.00 as exemplary damages and to reimburse New Vita the amount of P150. Thus we were left with no other choice but to hire the services of counsel to file this case in court concerning this issue. Moreover. Plaintiff reserves the right to re-direct as allowed by the rules. Page 2 of 4 . several of our security guards lost their jobs despite having been posted for work at defendant Ceneco’s premises for many years already.00 as Litigation Expenses. Q4: What happened to your relationship with the defendant CENECO? A4: Defendant Ceneco terminated our security services justifying that Board Resolution No.000. Q8: So what do you now specifically ask of this Honorable Court? A8: I most respectfully pray before this Honorable Court to order the defendant Ceneco to pay New Vita the amount of P600. Q6: What happened to this case? A6: A Temporary Restraining Order was issued in our favor by the court but our prayed for issuance of a preliminary injunction order was denied.2 A3: We previously provided security services to the defendant Central Negros Electric Cooperative (CENECO).000. thus our security guards were eventually relieved by defendant Ceneco. Q5: What did you do thereafter? A5: Our Security Agency aIong with JJL Security Services filed this case before this Honorable Court against defendant Ceneco. Series of 2011 has accepted the bid of four (4) security agencies as the winning bids. thus I am adopting the proceedings and the evidences introduced during the preliminary injunction hearing of this case and I am now submitting this judicial affidavit for the appreciation of the Honorable Court. AFFIANT FURTHER SAYETH NAUGHT.

as contained in this Judicial Affidavit.3 IN WITNESS WHEREOF. Notary Public Doc. ___ Book No. Philippines. IN WITNESS WHEREOF. 2014. I have hereunto affixed my signature this ___ day of May. PACIFICO MAGHARI III. _________ issued at _____________ on ____________. 2014 at the City of Bacolod. ATTY. VILLAROSA Plaintiff JURAT SUBSCRIBED AND SWORN to before me this ___ day of May. and that no other person assisted him in his declaration neither was he coached with answers. ISIDRO I. Attestation I. by the Affiant whom I have identified through competent evidence of identity who exhibited his ____________________ with ID No. with his signature and picture appearing thereon. I have hereunto affixed my signature this ____ day of May. ___ Series of 2014. depose and state that: I am the legal counsel who conducted the foregoing examination of Plaintiff. under oath. Philippines.Isidro Villarosa. Page 3 of 4 . 2014 at the City of Bacolod. I faithfully recorded or caused to be recorded the questions asked of the said plaintiff and the answers he gave thereto. No. ___ Page No.

SARIL and ANDREI NORMAN G. ___ Page No. 929226/12.02. 5430608/1. 2014 by the Affiant who exhibited to me his IBP ID bearing his Roll No. Bacolod City Page 4 of 4 . Galo St. SARIL Counsel for the Defendant TAN LO SI GIDOR SARIL AND SARIL LAW OFFICES Rms. ___ Series of 2014. Philamlife Bldg. III Affiant PTR No. No. IV-0022024/9-24-13 SC Roll No. JAN ANTHONY G.14/Bacolod City IBP No. MAGHARI.4 PACIFICO M. Copy Furnished: ATTYS. ______________ with his signature affixed thereon and likewise his picture appearing thereon.13/Bacolod City MCLE Compliance No.19. ___ Book No. 44869 SUBSCRIBED AND SWORN to before me this ___ day of March. 6 & 7 Medical Annex.. Notary Public Doc.