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Republic of the Philippines

National Capital Judicial Region


METROPOLITAN TRIAL COURT
Quezon City, Branch 32

Alabaster Graves,
Plaintiff-Appellant,
Criminal Case No. 01-975413
- versus Richter Belmont,
Defendant-Appellee,
x-----------------x

MOTION FOR BILL OF PARTICULARS


Defendant, through the undersigned counsel and unto this Honorable Court,
respectfully avers:
1. That the plaintiff's complaint in paragraph 5 alleges:
"From August 3 to December 2013, defendant never
paid anything to herein plaintiff. The check that he
issued as partial payment for the first month also
bounced. x x x"; (underscoring supplied)
2. The said allegation is not averred with sufficient definiteness and particularity,
specifically it does not mention the amount of the check therein mentioned, its
check number, date, and the drawee bank;
3. That a more definite statement on the matters as above-indicated is necessary in
order to enable the defendant to prepare its responsive pleading because from
the very onset of this controversy, the main dispute was on what was actually
and exactly agreed upon by the parties as the amount of monthly rentals on the
lease of plaintiff's property;
4. However, due to the fact that defendant corporation had to transfer its liaison
offices depending on its project sites, the check stub where the above-mentioned
check came from was probably misplaced and could no longer be found;
5. That a bill of particulars or a more definite statement as to particulars of the said
check which was allegedly issued by the defendants as partial payment for the
first month would definitely simplify the issues in this case, and hopefully simplify
the negotiations between the parties for an amicable settlement.

PRAYER
WHEREFORE, defendant most respectfully prays that an order be issued by this
Honorable Court requiring the plaintiff to make more definite statement as to the
particulars of the check mentioned in paragraph 5 of his complaint, particularly stating
its amount, check number, date, and the name of the drawee bank.
Quezon City, Philippines, January 23, 2014
ATTY. ROMMELITO FRANCISCO
MACARAYO
counsel for the defendant
13-69 Barracks Building, Marikina
IBP NO. 87123-7/19/12-AC
PTR NO. 669913/21/12-AC
Roll No. 99998
MCLE Exempt
(Admitted to the bar: April 6, 2012)
NOTICE OF HEARING
Atty. Ezekiel Razon
Counsel for the Plaintiff
12-26 Marina Arcade, Mabalacat City
Greetings! Please take notice that the foregoing Motion for Bill of Particulars shall
be submitted for the consideration and approval of the Honorable Court on Friday,
January 24, at 10:00 AM or as soon as counsel and matter may be heard.
Atty. Rommelito Francisco Macarayo
EXPLANATION
The foregoing Motion for a Bill of Particulars is being filed with this Honorable
Court and served on the opposing counsel by registered mail in view of the
impracticability of personal filing and service due to distance considering that the office
of this Honorable Court is at Quezon City and that of the opposing counsel is at
Mabalacat City, while undersigned counsel holds office in Marikina.
Atty. Rommelito Francisco Macarayo

COPY FURNISHED:
Atty. Ezekiel Razon
Counsel for the Plaintiff
12-26 Marina Arcade, Mabalacat City

Republic of the Philippines


MUNICIPAL TRIAL COURT IN CITIES
10th Judicial Region
Malaybalay City
PEOPLE OF THE PHILIPPINES,
Plaintiff,

Criminal Case No. 100


FOR: THEFT

-versusPEDRO CRUZ,
Accused.
x----------------------------------------------------x
URGENT MOTION FOR POSTPONEMENT
COMES NOW, the undersigned counsel for the defendant and unto this
Honorable Court, most respectfully manifests:
1.
That a notice of hearing for the above titled case was received by the
undersigned last November 7, 2007 informing the undersigned for the scheduled
hearing on November 21, 2007, 8:30 oclock in the morning. (Machine copy of the
notice duly received by the undersigned is hereto attached and marked as
annexA);
2.
That on November 6, 2007, a day prior to the date when the
abovementioned notice was received, the undersigned counsel also received a another
notice of hearing scheduled on the same date, November 21, 2007, 8:30 oclock in the
morning in a case for Theft entitled People of the Philippines vs. John Doe filed by
the City Prosecutor of Valencia City docketed as Criminal Case No. 001, for which case
the undersigned is a counsel for the defendant. (Machine copy of the notice of
hearing duly received by the undersigned is hereto attached and marked as
annex B);
3.
That there is therefore a conflict of schedule for the hearing scheduled on
November 21, 2007, 8:30 oclock in the morning, for the two (2) cases handled by the
undersigned counsel ;
4.
That the undersigned counsel is constrained to appear on the case cited
in paragraph 2 of this motion, the notice of which was received by the undersigned
ahead of the notice of the above titled case, on November 6, 2007.
WHEREFORE, premises considered, it is most respectfully prayed to this
Honorable Court that the scheduled hearing pf the above-entitled Criminal case on

November 21, 2007, 8:30 o clock in the morning be please cancelled and reset to
December 10, 2007 at 10:00 oclock in the morning.
Respectfully prayed for.
Malaybalay City, October 30, 2007
JENNY U. SALE, CPA
Counsel for the Defendant
Zone 4, Kalasungay, Malaybalay City
PTR No. 888888 - January 4, 2007
IBP No. 666666 - January 4, 2007
Roll No. 8080808
TIN 928-274-578
THE CLERK OF COURT
Municipal Trial Court in Cities
10th Judicial Region
Malaybalay City
Greetings:
Kindly submit the foregoing Motion for Postponement to the honorable Presiding
Judge immediately upon receipt hereof for the resolution of the same, sans oral
argument.
JENNY U. SALE, CPA
Notary Public
Zone 4, Kalasungay, Malaybalay City
PTR No. 888888 - January 4, 2007
IBP No. 666666 - January 4, 2007
Roll No. 8080808
TIN 928-274-578
Copy furnished:
ATTY. JAIME GARCI
City Prosecutors Office
Malaybalay City

Republic of the Philippines


REGIONAL TRIAL COURT
National Capital Judicial Region
Branch 85, Quezon City
Juan Dela Cruz y Mabini
Petitioner
x-----------------------------x

Sp. Proc. No. 12345


FOR: Adoption

JUDICIAL AFFIDAVIT OF PETITIONER


JUAN DELA CRUZ y MABINI
I, Juan Dela Cruz y Mabini, Filipino, of Legal Age, single, and a resident of No. 1,
Kalayaan Avenue, Quezon City, adopter in this case, states under oath that:
PRELIMINARY STATEMENT
The person examining me is ATTY. KEVIN JOHN DL. AMPUAN, with address at
1234, BonBon St., Quezon City Philippines, the examination is being held in the same
address. I am answering his questions voluntarily to the best of my knowledge and fully
conscious that I do under oath and may face criminal liability for false testimony and
perjury.
PURPOSE
This affidavit and/or testimony of Petitioner Juan Dela Cruz y Mabini is being
offered to prove that he has all the qualifications and none of the disqualifications for the
adoption of Juancho Magnolia. The petitioners testimony is also offered to prove the
grounds invoked which will suffice for his adoption:
1. Q: Please state your name and your other circumstances for the record.
A: I am Juan Dela Cruz y Mabini, of legal age, Filipino and single and a resident
of No. 1, Kalayaan Avenue, Quezon City, Philippines.
2. Q: Are you the same Juan dela Cruz y Mabini, the petitioner in this case?
A: Yes, sir.
3. Q: How are you related to Juancho Magnolia?
A: He is my nephew.
4. Q: What is your reason for wanting to adopt Juancho Magnolia?
A: I am his only living relative and I cared for him ever since his mother is still
alive.
5. Q: Are you in possession of your full civil capacity and legal rights?
A: Yes, Sir.

6. Q: Have you been convicted of any crime involving moral turpitude?


A: No, Sir.
7. Q: Do you have a job?
A: Yes, Sir. I am a Surgeon.
8. Q: Do you have children?
A: None, Sir.
9. Q: Do you attest to the truth of the foregoing answers, and if any be proven to be
false, you may be criminally charged for false statement?
A: Yes, Sir.
Further Affiant Sayeth None.
IN WITNESS WHEREOF, I have hereunto affixed my signature this 13th day of
December, 2016, at Manila City, Philippines.
Juan Dela Cruz y Mabini
Affiant
SUBSCRIBED AND SWORN to before me this 13th day of December, 2016, at
the City of Manila, Philippines.
THIAGO SILVA
NOTARY PUBLIC
Until December 31, 2013
PTR No. 906760 - Jan. 3, 2013
IBP No. 918300
Roll No. 13466
SWORN ATTESTATION
The undersigned hereby attests that, as counsel of the witness, he faithfully
recorded the questions he asked and the corresponding answer of the witness and that
he did not coached the witness answers to the questions propounded.
Lito E. Palito
Counsel for the Plaintiff
Roll of Attorneys No. 512345
PTR No. 26-26-0-10, 04/23/2013
IBP No. 910205, 4/11/09, Cebu
Admitted to the Philippine Bar - April 11, 2009

SUBSCRIBED AND SWORN to this _____ day of ___________, 2013, at the


City of Cebu, Philippines.

Doc. No.
:
Page No.
:
Book No.
:
Series of 2013

THIAGO SILVA
NOTARY PUBLIC
Until December 31, 2013
PTR No. 906760 - Jan. 3, 2013
IBP No. 918300
Roll No. 13466

SPECIAL POWER OF ATTORNEY


KNOW ALL MEN BY THESE PRESENTS:
I, JUNELYN R. BUNDA, of legal age, Filipino, with residence address at Block
106 Lot 11 Phase 2 C II Karangalan Village, Pasig City, and after being duly sworn in
accordance with law, do hereby NAME, CONSTITUTE AND APPOINT ATTY. JINGJING S. ROMERO to be my true and lawful attorney-in-fact, to appear for and on behalf
of me and/or represent me at the Preliminary Conference and all other proceedings in
the following case: Junelyn R. Bunda vs. Thomas Jefferson Go docketed as
___________, which is pending before Regional Trial Court Branch ___, Pasig City with
full and special power to do and perform any of the following:
1. To negotiate, conclude enter into and execute a compromise or amicable
settlement of the case under such terms and conditions as the law firm or any
of its lawyers may deem just and reasonable;
2. To agree on the simplification of the issues;
3. To amend the pleadings;
4. To obtain stipulations or admissions of facts and of documents to avoid
unnecessary proof;
5. To limit the number of witnesses;
6. To do and agree on such other matters as may aid in the prompt disposition
of the action; and
7. To perform any act or sign, execute, make and convey any document
necessary to give effect to the foregoing.
HEREBY GIVING AND GRANTING unto said attorney-in-fact full powers and
authority to do and perform every act and thing of whatever requisite and necessary to
be done in and about the premises, and hereby ratifying and confirming all that the said
attorney-in-fact shall do or cause to be done under and by virtue of these presents.
IN WITNESS WHEREOF, I have hereunto set my hand this ____________ at
____________.
JUNELYN R. BUNDA
Affiant
SUBSCRIBED AND SWORN to before me this ______________, affiant
exhibiting to me her _________________.
Doc. No. ___;
Page No. __;
Book No. __;
Series of 2014.

VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING


I, Juan Dela Cruz, of legal age, Filipino, single, and a resident of 123 Brgy. Juan
Luna, Manila, Philippines, on oath, state:
1. That I am the plaintiff in the above-entitled case;
2. That I have caused the preparation of the foregoing complaint and have read the
allegations contained therein;
3. The allegations in the said complaint are true and correct of my own knowledge and
authentic records;
4. I hereby certify that I have not commenced any other action or proceeding involving
the same issues in any court, tribunal or quasi-judicial agency and, to the best of my
knowledge, no such other action or claim is pending therein;
5. That if I should learn thereafter that a similar action or proceeding has been filed or is
pending, I hereby undertake to report that fact within five (5) days therefrom to the court
or agency where the original pleading and sworn certification contemplated herein have
been filed.
IN WITNESS WHEREOF, I have hereunto set my hand this 14th day of
December, 2016, at the City of Manila, Philippines.
Juan Dela Cruz
Affiant
SUBSCRIBED AND SWORN to before me this 14th day of December, 2016.

Doc No. 123;


Page No. 111;
Book No. VII;
Series of 2016.

NOTARY PUBLIC
Commission Serial No. 12345
IBP No. 11111/01-04-16/Manila
PTR No. 22222/02-14-16/Manila
Roll of Attorneys No. XVII 123456
MCLE Compliance No. V 6789101
kevinjohnampuan@yahoo.com
No. 123, Brgy. Bon Bon St., Manila
0977-123-4567/ 02-123-4567

COMPLAINT FOR FORECLOSURE OF REAL ESTATE MORTGAGE


Republic of the Philippines
National Capital Judicial Region
METROPOLITAN TRIAL COURT
Manila, Branch 85
Mr. X,
Plaintiff,

Civil Case No. 12345


FOR: Foreclosure of Real Estate
Mortgage

-versusMr. Y,
Defendant.
x---------------------x
COMPLAINT

COMES NOW, the plaintiff by the undersigned attorney, and unto this Honorable
Court, respectfully states:
1. That both the plaintiff and the defendant are of age, and residents of
_____________________;
2. That on _____________, the defendant, in order to secure the payment of the sum of
______________, acknowledged to have been received by him on said date, executed
in favor of the plaintiff a first mortgage on certain real property located in
________________________, a true copy of said mortgage contract is hereto attached
as Exh. A, and made an integral part of this complaint.
3. That the condition of said mortgage, as stated therein, is such, that if within the period
of _______________ from and after the execution of same, the defendant shall pay or
cause to be paid to the plaintiff, his heirs or assigns, the said sum of
________________ together with the stipulated interest of ________% per annum, then
the said mortgage shall be discharged; otherwise, it shall remain in full force and effect,
to be enforceable in the manner prescribed by law;
4. That the defendant has not paid or caused to be paid the mortgage debt of
_________ or any part thereof, in spite of the lapse of the stipulated period;
5. That the plaintiff has demanded of the defendant to pay the above sum of
_____________, plus the stipulated interest, but said defendant has failed to pay the
same;
6. That the defendant has also agreed in the mortgage contract that should the plaintiff
foreclose the mortgage, the latter is entitled to receive the further sum of __________%
of the total amount due as attorneys fees, expenses and costs.

7. That there are no other persons having or claiming an interest in the mortgaged
property.
WHEREFORE, it is respectfully prayed:
(a) That, upon due hearing, judgment be rendered:
(1) ordering the defendant to pay unto the court within the reglementary period of
ninety days the sum of _____________ together with the stipulated interest at
_______% per annum from and after _______________, plus the additional
sum of ______% of the total amount due as attorneys fees, expenses and
costs;
(2) and that in default of such payment, the above-mentioned property be
ordered sold to pay off the mortgage debt and its accumulated interest, plus
_____% of the total amount due as attorneys fees, expenses and costs,
(b) That plaintiff be granted such other relief in law and equity.
City of Manila, December 14, 2016.
__________________
(Attorney for the Plaintiff)
________________
(Address)
VERIFICATION AND CERTIFICATION FOR NON-FORUM SHOPPING
JURAT

COMPLAINT FOR UD/FE


Republic of the Philippines
National Capital Judicial Region
METROPOLITAN TRIAL COURT
City of Manila, Branch 1
KRUL ACOSTA,
Plaintiff,
CIVIL CASE No. 98765
FOR: Unlawful Detainer

-versusMEGAN VITUG,
Defendant.
x-----------------------------------x
COMPLAINT

COMES NOW, the plaintiff, through the undersigned counsel and unto this
Honorable Court, most respectfully avers:
1. That the plaintiff, KRUL ACOSTA, is of legal age, Filipino citizen, single, with
residence and postal address at 123 Benitez Street, Manila;
2. That the defendant, MEGAN VITUG, is of legal age, Filipino citizen, single, with
residence and postal address at 456 Modesto Street, Manila, where they may be served
with summons and other court processes;
3. The plaintiff is the owner of a land over which an apartment had been constructed
located 654 San Pedro Street, Manila;
4. By virtue of a contract of lease, the plaintiff leased unto the defendant the aforesaid
apartment for a consideration of P5,000.00 a month as rental to be paid within the first
ten (10) days of each month starting November 3, 2011;
5. The defendant failed to pay the agreed rental for several months starting February
19, 2012 up to the present;
6. On May 3, 2012, the plaintiff sent a letter of demand to vacate the apartment which
was received by the defendant as shown in the registry return receipt hereto attached
as Annex A;
7. Despite said letter of demand which was repeated by oral demands, the defendant
failed and still refused to pay the agreed amount of rentals and to vacated the
apartment;

8. By reason of failure of the defendant to vacate the premises and to pay the unpaid
rentals, the plaintiff was compelled to file this complaint engaging the services of
counsel in the amount of P10,000.00.
WHEREFORE, premises considered, it is most respectfully prayed unto this
Honorable Court that, after hearing, judgment be rendered ordering the defendant:
1. To vacate the subject premises;
2. To pay the amount of P5,000.00 per month as compensation for the reasonable use
of the subject premises until they finally vacate the said premises;
3. To pay the plaintiff the cost of the suit.
City of Manila, September 24, 2012.
REYES, TOLENTINO AND CRUZ LAW OFFICE
Counsel for the Plaintiff
Unit 123, Victoria Tower I
Taft Avenue, Manila
By:
Louise Reyes
Roll of Attorney No. 98765
IBP No. 12345/2-5-12/Manila
PTR No. 87654/12-22-11/Manila
VERIFICATION/CERTIFICATION OF FORUM SHOPPING
Republic of the Philippines )
City of Manila
) S.S.
I, KRUL ACOSTA, of legal age, Filipino citizen, single and resident of 123
Benitez Street, Manila, after having been duly sworn to in accord Nance with law do
hereby depose and say:
1. That I am the plaintiff in the above-entitled case;
2. That I have caused the preparation of the foregoing complaint and have read the
allegations contained therein;
3. The allegations in the said complaint are true and correct of my own knowledge and
authentic records;
4. I hereby certify that I have not commenced any other action or proceeding involving
the same issues in any court, tribunal or quasi-judicial agency and, to the best of my
knowledge, no such other action or claim is pending therein;
5. That if I should learn thereafter that a similar action or proceeding has been filed or is
pending, I hereby undertake to report that fact within five (5) days therefrom to the court
or agency where the original pleading and sworn certification contemplated herein have
been filed.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 24th of September


2012, in the City of Manila.
KRUL ACOSTA
SUBSCRIBED AND SWORN to before me this _______ day of September,
2012, in the City of Manila, affiant exhibiting to me his Drivers License No. 12345
issued by the Land Transportation Office on April 8, 2012 at the City of Manila.

Doc. No. 345;


Page No. 123;
Book No. XVII;
Series of 2016.

ATTY. NO CASE
Notary Public
My Commission Expires Dec. 31, 2012
Roll of Attorney No. 34567
IBP No. 12345/2-5-12/Manila
PTR No. 87654/12-22-11/Manila

Motion for Leave of Court To Serve Summons by Publication Sample


REPUBLIC OF THE PHILIPPINES
National Capital Judicial Region
METROPOLITAN TRIAL COURT
City of Manila, Branch 1
JOHN DUMAS,
Plaintiff,
CIVIL CASE No. 23456
FOR: Recovery of Possession
with Damages

-versusVAN SHELDON,
Defendant.
x-----------------------------------------x

MOTION FOR LEAVE OF COURT


TO SERVE SUMMONS BY PUBLICATION
COMES NOW, the plaintiff, through the undersigned counsel and unto this
Honorable Court, most respectfully avers:
1. That on August 25, 2012, copy of the summons was served by the process server of
this Honorable Court to the defendant on his given address, but defendant is no longer
residing on his given address;
2. That considering that the whereabouts of the defendant is unknown and this case
affects the property of the defendant, plaintiff most respectfully move with leave of court
to serve summons by publication.
WHEREFORE, plaintiff prays that the summons be served by publication based
on the above reasons.
Such other relief and remedies as may be deemed just and equitable under the
premises are likewise prayed for.
City of Manila, August 29, 2012.
ARUM AND SYQUIA LAW OFFICE
Counsel for the Plaintiff
Unit 314 The Tower
Taft Avenue, Manila
By: CHARLES ARUM
Roll No. 45678
IBP No. 23456/1-3-12/Manila
PTR No. 87654/1-3-12/Manila

NOTICE OF HEARING
VAN SHELDON
Defendant
GREETINGS:
Please submit the foregoing motion for the consideration and approval of the
Honorable Court on September 9, 2012 at 2:00 PM.
CHARLES ARUM
Copy furnished:
VAN SHELDON
345 Nakpil Street, Manila
EXPLANATION
Copy of the Motion to Serve Summons by Publication was served to defendant by
registered mail due to time and distance constraints, and for lack of the undersigneds
staff who can serve the same in person.

CHARLES ARUM

Petition for a Writ of Habeas Corpus for Custody of Minor Child


Republic of the Philippines
National Capital Judicial Region
REGIONAL TRIAL COURT
Quezon City, Branch 25
XXX,
Petitioner,
- versus -

G.R. No. __________


FOR: Writ of Habeas Corpus

YYY,
Respondent.
x -----------------------------x

PETITION
NOW COMES, ____________, the Petitioner, by the undersigned counsel, to
this Honorable Court and respectfully represents:
That he is the mother of X, who is presently in the custody of Y, the maternal
grandmother of X, who forcibly abducted X and until now actually restraints him of his
liberty;
That despite demands, Y refuses to turn over the custody of X to the petitioner;
WHEREFORE, it is respectfully prayed that an order be issued to Y to bring the minor X
to this Honorable Court at the hour and date to be set by this Honorable court, and
thereafter that the custody of the minor X be turned over to the petitioner.
Quezon City, Philippines, this ___ day of March 2013.
NAME OF COUNSEL
Verification
Certification of Non-Forum Shopping

Republic of the Philippines


National Capital Judicial Region
METROPOLITAN TRIAL COURT
Branch LXII (62)
Makati City

STERLING BANK OF ASIA,


Plaintiff,
- versus -

Civil Case

No. 111222
ELLA CORPUZ MAPA,
Defendant.
x-------------------------------------------x
MOTION FOR JUDGMENT ON THE PLEADINGS
Plaintiff, by counsel, respectfully alleges that:
1. On May 5, 2013, plaintiff sued defendant for a sum of money in the amount of
Two Hundred Thousand Pesos (P200,000.00);
2. In his Answer, defendant admitted the obligation and merely stated that he was
asking to be given an extension of time to pay his obligation but that plaintiff instead
filed the Complaint;
3. Said Answer has not tendered any issue and in fact it can be read therefrom
that defendant admitted the obligation; consequently, a judgment on the pleadings
may be rendered.
WHEREFORE, it is respectfully prayed that this Honorable Court render
a judgment on the pleadings.
Makati City, Philippines. August 5, 2013.
ATTY. VX YZ
Counsel for Plaintiff

NOTICE OF HEARING
THE BRANCH CLERK OF COURT
MeTC - Branch 62
Makati City

ATTY. AB CD
Counsel for the Defendant
1234 Zamora Street, Pasay City
Greetings!
Please take notice that the undersigned counsel will submit the foregoing Motion
to the Honorable Court on August 27, 2013 at 8:30 in the morning for its favorable
consideration and approval.
VX YZ
Copy furnished by registered mail:
ATTY. AB CD
Counsel for the Defendant
2233 Zamora Street, Pasay City
EXPLANATION
Due to lack of messengerial services to effect personal service, a copy of the
foregoing motion was sent to defendant's counsel through registered mail.
VX YZ

Republic of the Philippines


National Capital Judicial Region
REGIONAL TRIAL COURT
Branch 1, Manila
AAA,
Plaintiff,
-versus-

Civil Case No.______


For __________________

BBB,
Defendant.
x------------------x
MOTION TO DISMISS
Defendant, by his undersigned attorney, respectfully moves that the complaint be
dismissed on the following grounds:
(state one or more grounds provided for in Rule 16, Rules of Court)
ARGUMENTS
(state the reasons in support of the ground/s mentioned)

WHEREFORE, it is respectfully prayed that the complaint be dismissed.


Other just and equitable reliefs are also prayed for.
Manila, 29 November 2013

Atty. Y
Counsel for Defendant

(With Notice of Hearing, Proof of Service and Explanation)

REPUBLIC OF THE PHILIPPINES


_____________________________________
_____________________________________
_____________________________________
AAA,
Plaintiff/s,
-versus-

Civil Case No. __________


For: _____________________

BBB,
Defendant/s,
x--------------------x
MOTION FOR APPROVAL OF
COMPROMISE AGREEMENT
The parties respectfully allege that:
1. Plaintiff filed this claim against defendant for:
_____________ collection of sum of money
_____________ liquidated damages
_____________ enforcement of barangay agreement
2. The parties have come to an amicable settlement and have executed a
compromise agreement with the following terms and conditions.)
(copy terms and condition here)
The parties agree that the approval of this agreement by the Court shall put an end
to this litigation, except for purposes of execution in case of default.
WHEREFORE, premises considered, the parties respectfully pray that the court
approve this agreement and render judgment on the basis thereof.
SO ORDERED.
(place)

(date)

AAA

BBB

Plaintiff

Defendant