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LEZAMA AND UMADHAY LAW OFFICE

ATTORNEY-AT-LAW AND NOTARY PUBLIC


Door 10, Laguda Building, Locsin St.,
San Carlos City, Negros Occidental

February 5, 2020

TERESA N. DOLINO
Lot 1, 2, 3 and 4, Block 20,
St. Vincent Subd
Brgy. 1, San Carlos City
Negros Occidental

DEMAND TO VACATE

Ms. Dolino,

I am writing in behalf of my client, ELENITA P. OLAGUER, who has a pending


concern with you.

At the onset, you were allowed to occupy a portion of my client’s property, located
in Lot 1-4, Block 20, St. Vincent Subdivision, Brgy Palampas (presently Brgy. 1) San Carlos
City (Attached is TCT no. 090-2019000419, . 090-2019000420, 090-2019000421
and090-2019000422) . Through the liberality of my client, you were allowed to stay in
the said real property owned by my client until December 2019. (Attached is the
Agreement that you have signed with conformity)

However, after the lapse of the date agreed you have not vacated the said
property. Repeated demands were made upon you by my client to leave the premises of
his real property, but you failed and refused and still fails and refuses to do the same
to the damage and prejudice of my client.

It is now at this juncture, that I, on behalf of my client, hereby demand


for you to vacate the premises of my client’s property which you are occupying
ten (15) days from receipt of this notice.

It is incumbent upon you to GIVE PREFERABLE ATTENTION and


SERIOUS CONSIDERATION to this Demand. Should you choose to ignore this
letter by failing to vacate the premises of my client’s property ten (15) days
from receipt of this notice, my client will immediately FILE THE APPROPRIATE
CIVIL CASE against you.

If in case you have decided to vacate the real property owned by our clients, you
may notify our client or inform our office. Thank you.

Yours truly,

ATTY. JUNIVEN REY S UMADHAY


Attorney-at-Law

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