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Republic of the Philippines)


Municipality of Isulan ) S. S.
x===============x

AFFIDAVIT COMPLAINT

I, ZENAIDA M. WALING, of legal age, Filipino, married, and a


resident of Sitio Waling, Barangay Poblacion, Palimbang, Sultan Kudarat,
after having been duly sworn to in accordance with law, depose and say:

1. That I am filing this complaint against PCPL MAROUF AYOB


WALING, who is assigned at ;

2. That I am the wife of PCPL MAROUF AYOB WALING (PCpl


Waling for brevity) and we have four (4) children namely, MUIZZ
RYZEN MHAR M. WALING (11 years old), ZAHARRAH M.
WALING (10 years old), ALLAIHZA M. WALING (8 years old)
and ZAHER M. WALING (6 years old); Attached are the copies of
our children’s Certificates of Live Birth marked as ANNEXES “A”
and “A-1” to “D” and “D-1”;

3. That sometime in 2013, the respondent applied in the Philippine


National Police (PNP) and undergone six (6) months training at
General Santos City. While he was inside the barracks for training,
a girl called me and identified herself as the girlfriend of the
respondent. I just came from a hospital during that time because
my third (3rd) child got confined. Afterwards, the girl who was
eventually identified as Kristel Pitaka kept on badgering me. I
always kept my cool despite the heartbreaking things I knew
because I do not want to ruin my family even if it eventually ruin
me;

4. That couple of years had passed and I also found out couple of
mistresses as well. There was one girl named Hajarah whom the
respondent got married on but they eventually got divorced;

5. That the latest is his mistress named Irish Labonete whom she
impregnated. It is really devastating and I always cry my heart
out when I knew their relationship because the respondent
married her without my knowledge and consent. Worse is, the
respondent brought her to Palimbang where his family is. Because
of what I knew, I confronted him but he got mad and beaten me.
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He was still not satisfied with what he did so he handcuffed me to


one of our house’s column. When he saw my head was already
bleeding, he removed the handcuff and left me;

6. That 11 December 2019 around 4 in the afternoon, I arrived at our


house at Sitio Waling, Barangay Poblacion, Palimbang, Sultan
Kudarat. I wonder why our house was closed so I opened the door
but I was shocked when I saw Irish Labonete inside. I dragged her
outside our house but the respondent came and stopped me. after
a while, when Irish Labonete was already asked to leave, the
respondent got mad and beaten me again;

7. That on 16 September 2020 round 8 o’clock in the morning, I


checked his phone and I have read a message from Irish Labonete
which states that, “Andyan ka na naman sa bullshit mong asawa”
(You are with your bullshit wife again);

8. That in the morning of 18 September 2020, I heard that the


respondent went to the house located at Sitio Crismos, Barangay
Poblacion, Palimbang, Sultan Kudarat where he and Irish
Labonete stayed. Around 4 in the afternoon, I went there to check
the veracity of the news and there I saw with my own naked eyes
the respondent and Irish Labonete together in the house. I cannot
explain the feeling but I found myself rushed to Irish Labonete but
the respondent and a certain guy whose name I did not know
immediately prevented me to do something wrong. Afterwards, I
was fetched by my uncle and brought me to my house;

9. That around 1 in the afternoon of 20 September 2020, the


respondent went home in our house. He was busy looking for his
flashlight causing our things to clutter. I got mad and told him that
he had no maid to follow and clean his mess. When he finally
found his flashlight, he immediately left but our child, Zaharrah,
out of frustrations uttered “Baboy ka abie” (You are a pig father) the
respondent then returned to hit Zaharrah but I went to protect my
child causing him to hit me instead;

10. That however, from PCPL MAROUF AYOB


WALING refused to give support to our children. Because I was
already tired of understanding him, trying to mend our broken
relationship and enduring emotional, psychological and physical
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abuse, I decided to file a Criminal Case which is now pending


before the Regional Trial Court, Branch XIX, Isulan, Sultan
Kudarat. Attached herewith are the copies of the Information,
Resolution, Affidavit-Complaint and other attachments marked as
ANNEX “E”, ANNEX “F”, ANNEX “G” and series;

11.That PCPL MAROUF AYOB WALING is not fit to be a man in


uniform as he does not exemplify the virtues of the institution;
PCPL MAROUF AYOB WALING, who has the duty to protect
the people, is the one who oppresses his family and denies the
rights children for support;

12.That PCPL MAROUF AYOB WALING, is also an immoral


person for having relationships with women other than his wife;

13.That because of the foregoing PCPL MAROUF AYOB WALING


deserves to be dismissed from service;

14.That I am executing this affidavit to attest to the truthfulness and


the veracity of the above-facts and circumstances and to file this
compliant against PCPL MAROUF AYOB WALING.

IN WITNESS WHEREOF, I have hereunto set my hand this day


of 2021 in Isulan, Sultan Kudarat.
 

ZENAIDA M. WALING
Affiant
TIN 940-799-067
 
SUBSCRIBED AND SWORN to before me this day of
2020 in Isulan, Sultan Kudarat. This is to certify further that I have
personally examined the affiant and I am satisfied that she fully read and
understood the foregoing and attest to the truthfulness of what she has
stated.

BAI ALEFHA HANNAH M. MUSA-ABUBACAR


Public Attorney II
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Republic of the Philippines)


Municipality of Isulan ) S. S.
x===============x
AFFIDAVIT COMPLAINT

I, LEALYN B. CERBAS of legal age, Filipino, single, and a resident of Bambad,


Isulan, Sultan Kudarat, after having been duly sworn to in accordance with law, depose
and say:

1. That I am filing this complaint against PFC JESSIEBEL GARCIA, who is


assigned at 73rd Infantry Battalion in Maleta, Davao Occidental;

2. That I was previously in a relationship with PFC JESSIEBEL GARCIA and


we have one (1) common child, KHYZZY LOUBELLE (9-month old) who
was born on March 28, 2020;

3. That while I was still pregnant with our child, PFC JESSIEBEL GARCIA
would sometimes give support until he stopped giving around September 2020;
That I was then compelled to sought the assistance of the Public Attorney’s
Office (PAO) in Isulan, Sultan Kudarat

4. That during our Mediation before the PAO, PFC JESSIEBEL GARCIA and I
agreed that he will give support; a copy of the Record of Mediation is hereto
attached as ANNEX “A”;

5. That despite our agreement however, PFC JESSIEBEL GARCIA refused and
still does not acknowledge the fraternity of our child hence, making it hard for
me to claim the support intended for our daughter;

6. That our daughter’s birth has not yet been registered because of PFC
JESSIEBEL GARCIA’s failure to acknowledge her;

7. That I am executing this affidavit to attest to the truthfulness and the veracity
of the above-facts and circumstances and to file this compliant against PFC
JESSIEBEL GARCIA to acknowledge our child and subsequently to
claim support for the latter.

IN WITNESS WHEREOF, I have hereunto set my hand this 11 th day of January


2021 in Isulan, Sultan Kudarat.
 
LEALYN B. CERBAS
Affiant
TIN 378-901-610-000

SUBSCRIBED AND SWORN to before me this 11th day of January 2021 in


Isulan, Sultan Kudarat. This is to certify further that I have personally examined the
affiant and I am satisfied that she fully read and understood the foregoing and attest to the
truthfulness of what she has stated.

SHEENA LORRAINE O. ARDINA-LLORADA


Public Attorney II
(Pursuant to RA 9406)
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Republic of the Philippines)


Municipality of Isulan ) S. S.
x===============x
AFFIDAVIT COMPLAINT

I, HAZEL MAE C. FABRO of legal age, Filipino, single, and a resident of


Poblacion, Esperanza, Sultan Kudarat, after having been duly sworn to in
accordance with law, depose and say:

8. That I am filing this complaint against CPL JOHN JAY HUSAIN, who
as far as my knowledge is assigned at 7th Field Artillery Battalion,
Kauran, Maguindanao;

9. That I was impregnated by CPL JOHN JAY HUSAIN and we have one
(1) common child, CYLE ANDERSON FABRO; Attached is the copy
of our child’s Certificates of Birth as ANNEXES;

10.That sometime in 2017, he was referred to me by a friend as a “textmate”


and CPL JOHN JAY HUSAIN introduced himself by the name Jeric
Tuan;

11.That we continued our communication via cellphone and eventually he


became my boyfriend until we personally met on September 4, 2018;
That on that same day, something happened to us and I got pregnant;

12.That on May 18, 2019, our son CYLE ANDERSON was born;

13.That after I gave birth, CPL JOHN JAY HUSAIN made many excuses
in order not to acknowledge our child;

14.That on several occasions I asked for child support but CPL JOHN JAY
HUSAIN refused to provide it and even claimed that I cannot file a
complaint against him because I have no personal information of him;

15.That when our child was about four (4) months old, he no longer
communicated with me;

16.That it was only recently that I found out that Jeric Tuan’s true name is
CPL JOHN JAY HUSAIN through the help of my cousin who is also in
the military;

17.That CPL JOHN JAY HUSAIN also used the name Esmael Osman in
his Messenger Account; That during our conversations, he acknowledged
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our child as his own; a copy of our conversation is hereto attached as


ANNEXES “B” to “E” to form an integral part hereof;

18.That the only instance when CPL JOHN JAY HUSAIN gave support
was when I was about to give birth; a copy of the Receipt is hereto
attached as ANNEX “F” to form an integral part hereof;

19.That I am executing this affidavit to attest to the truthfulness and the


veracity of the above-facts and circumstances and to file this compliant
for Support against CPL JOHN JAY HUSAIN.

IN WITNESS WHEREOF, I have hereunto set my hand this 8th day of


January 2021 in Isulan, Sultan Kudarat.
 

HAZEL MAE C. FABRO


Affiant
VIN 3801-0011B-I1099HCF20000-4
 

SUBSCRIBED AND SWORN to before me this 8th day of January 2021 in


Isulan, Sultan Kudarat. This is to certify further that I have personally examined
the affiant and I am satisfied that she fully read and understood the foregoing and
attest to the truthfulness of what she has stated.

SHEENA LORRAINE O. ARDINA-LLORADA


Public Attorney II
(Pursuant to RA 9406)
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Republic of the Philippines)


Municipality of Isulan ) S. S.
x===============x
AFFIDAVIT COMPLAINT

I, APRIL JOY P. QUILLA of legal age, Filipino, single, and a resident of


Crossing Laud, Kalawag II, Isulan, Sultan Kudarat, after having been duly sworn
to in accordance with law, depose and say:

15.That I am filing this complaint against PCL JAMES PATRICK Y.


CASTILLO, who as far as my knowledge was previously assigned at
Police Station 5, Quezon City;

16.That I am the former partner of PCL JAMES PATRICK Y.


CASTILLO and we have two (2) common children namely, PRINCE
MYZER Q. CASTILLO (8 years old) and ZION BENDRIE Q.
CASTILLO (2 years old); Attached are the copies of our children’s
Certificates of Birth as ANNEXES “A” and “B”;

17.That sometime August 2017, we applied for marriage license while I was
5 months pregnant with our second child but the wedding did not push
through because he reasoned he could not go to Mindanao due to work;
copies of our requested CENOMAR and Application For Marriage
License are hereto attached as ANNEXES “C”, “D”, and “E”,
respectively;

18.That on December 16, 2017, PCL JAMES PATRICK Y. CASTILLO


got married to Hazel Lumentigar without my knowledge and while
we were still in a relationship;

19.That on December 31, 2017, our youngest child was born in Isulan,
Sultan Kudarat;

20.That sometime on August 3, 2018, he went here in Mindanao because it


was the birthday of our eldest child and even though he was already
married, he cohabited with me until he returned to Luzon about a week
after;

21.That on September 2018, I together with our two sons, his mother and his
brother went to Luzon because of the death of his biological father; That
during this time, we cohabited there again until November 1, 2018; That
up until this time, his family and I still did not know he was already
married;
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22.That on December 2018, I found out PCL JAMES PATRICK Y.


CASTILLO was already married when his other woman by the name of
Lorena Dabajo, an OFW from Zamboanga, sent me a picture of his
wedding;

23.That since he denied the marriage and I could not ascertain the truth to
the allegation, we still continued our relationship; That he even promised
he will go home to us in Mindanao;

24.That our relationship only ended last June 2019 because his niece Jubilee
Leighann C. Duran, who was staying with him in Luzon, confided to me
that PCL JAMES PATRICK Y. CASTILLO had a wife and was
already staying with them; That I was already scared of PCL JAMES
PATRICK Y. CASTILLO as he shot his niece with a gun but
fortunately, she was not hit as his wife tried to parry the gun;

25.That sometime March 2020, PCL JAMES PATRICK Y. CASTILLO


did not give support to our children and when I confronted him, he was
able to give in the months of April and May;

26.That however, from June 2020 up until the present PCL JAMES
PATRICK Y. CASTILLO refused to give support to our children
alleging that he would rather lose his money paying for a lawyer than
to give it to me for our children;

27.That on several occasions during our relationship, I have acquired loans


through his order/instruction amounting to about Fifty Thousand Pesos
(P50,000.00); That he refused to pay them alleging that he had no
obligation to pay since he did not sign anything;

28.That during the birth of our second child, he also did not give me a single
cent for my caesarian operation;

29. That PCL JAMES PATRICK Y. CASTILLO also mentioned in our


conversation that I could no longer go after him for support because he
already exhausted his salary through acquisition of loans; Further he
stated that he is not afraid to be dismissed from the service because he no
longer wants to be in it; copies of our text messages are hereto attached
and marked as ANNEXES “F” to “K” to form an integral part hereof;

30.That PCL JAMES PATRICK Y. CASTILLO is not fit to be a man in


uniform as he does not exemplify the virtues of the institution; PCL
JAMES PATRICK Y. CASTILLO, who has the duty to protect the
people, is the one who oppresses and denies the rights of his children
for support;

31.That PCL JAMES PATRICK Y. CASTILLO, is also an immoral


person for having relationships with women other than his wife;
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32.That because of the foregoing PCL JAMES PATRICK Y.


CASTILLO deserves to be dismissed from service;

33.That I am executing this affidavit to attest to the truthfulness and the


veracity of the above-facts and circumstances and to file this compliant
against PCL JAMES PATRICK Y. CASTILLO.

IN WITNESS WHEREOF, I have hereunto set my hand this 18 th day of


August 2020 in Isulan, Sultan Kudarat.
 

APRIL JOY P. QUILLA


Affiant
VIN 6504-0033BD1488APQ20000
 

SUBSCRIBED AND SWORN to before me this 18th day of August 2020 in


Isulan, Sultan Kudarat. This is to certify further that I have personally examined
the affiant and I am satisfied that she fully read and understood the foregoing and
attest to the truthfulness of what she has stated.

SHEENA LORRAINE O. ARDINA-LLORADA


Public Attorney I I
(Pursuant to RA 9406)

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