Professional Documents
Culture Documents
ELSA FROST,
Plaintiff,
For: Forcible Entry with prayer for
issuance of writ of preliminary
mandatory injunction
ANNA FROST,
Defendant.
x-----------------------------------------x
JUDICIAL AFFIDAVIT
PRELIMINARY STATEMENT
That the person examining me is ATTY. DUKE O. WESELTON with law office
address 123 Concepcion Aguila, Brgy. 456, San Miguel, Manila. My Judicial Affidavit is
being taken at the abovementioned place in the presence of Anna Snow and my companions. The
questions are asked in the English Language but are translated into Tagalog dialect which I speak
and fully understand and I am giving my answers fully conscious that I do so under oath and I
am aware that I may face criminal liability for false testimony or perjury for false statements
made or given by me.
The testimony of the witness Olaf Frost is being offered to prove that he is not cutting the main
pipe of the plaintiff through the instruction of the defendant hence the defendant is not
chargeable of the allegation of the crime of Forcible Entry. He will testify on the alleged act
committed by him with regards to the main pipe of the plaintiff.
OFFER OF TESTIMONY
Q: Where were you during the conversation about the installation of water pipes?
A: I was at the sala, eating my merienda.
Q: What did you exactly hear from the conversation?
A: I just heard that my mom asked Aunt Elsa if she can repair the water pipes and the latter just
told my mom to just do something about it since she was busy at that time.
Q: Finally, do you know why you are executing the foregoing sworn statement in this case?
A: Yes, I am executing this sworn statement to be adapted as my direct examination in this case
to negate the alleged act that was imputed to my mother Anna Frost by the plaintiff in this case
for unlawful detainer against the defendant in the above entitled case, and this judicial affidavit
be marked as ANNEX “2”
KRISTOFF SNOW
AFFIANT
ATTESTATION
I hereby attest that on this 30th day of January 2020, I have personally examined, Olaf
Frost; and that I have faithfully recorded or caused to be recorded the questions asked and the
corresponding answers made thereto by his. I further attest that I nor any other person herein
present, or assisting me, never coached Olaf Frost regarding his answers.
IN WITNESS WHEREOF, I have hereunto set my hand this 30th day of January 2020
at Manila, Philippines.
DUKE O. WESELTON
Counsel for the Defendant
123 Concepcion Aguila, Brgy. 456
San Miguel, Manila
Roll of Attorneys No. 42274
IBP No.952192/01.06.14/PPLM
PTR No. 1479316/01.06.14/Manila City
MCLE Compliance No. IV-00102020/12.11.19