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Sample Judicial-Affidavit For Unlawful-Detainer
Sample Judicial-Affidavit For Unlawful-Detainer
ABC COMPANY
Plaintiff,
XYZ PAWNSHOP
Defendants.
x- - - - -- - - - - - - - - - - - - - - - - - - x
JUDICIAL AFFIDAVIT
(Pursuant to SC A.M. No. 12-8-8-SC)
Q: After your father died, was the defendant in continued possession of the subject
property?
A: Yes.
Q: What did you do after defendant’s failure to pay the supposed rental fees?
A: I gave them a demand letter saying that they must pay the back rentals and vacate
the premises within 30 days from receipt of the letter.
Q: For how long did the defendant fail to pay rental fees?
A: Five months.
Q: What did you do after defendant’s failure to vacate the property upon your demand?
A: I visited and informed the defendant that they must vacate the property because I
have the intention to sell it and the defendant promised that they would leave as soon
as possible. For their failure to comply with the promise, I have posted a Demand to
Vacate on September 28, 2017, in conspicuous places within the leased premises as a
notice to defendant to vacate said premises.
Q: What is your proof that you posted a notice to vacate on September 28, 2017 upon
the defendants?
A: I have here a copy of the Notice to vacate.
Q: What was the action of defendant after posting the notice to vacate?
A: None. The defendant refused to vacate and surrender possession of my property.
Q: On January 15, 2018, you sold the subject property to ABC Company, is that
correct?
A: Yes.
Q: What is your proof that a contract of sale has transpired between you and the
plaintiff?
A: I have here a copy of the deed of absolute sale.
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 prove the cause of action for unlawful detainer against the defendant in the
above entitled case.
WINNINE QUILANG
Affiant
ATTESTATION
I hereby attest that on this 13 th day of March 2018, I have personally examined
the plaintiff WINNIE QUILANG; and that I have faithfully recorded or caused to be
recorded the questions asked and the corresponding answers thereto made by him. I
further attest that I nor any other person herein present, or assisting me, never coached
WINNIE QUILANG regarding his answers.
CHEENEE C. VEHEMENTE
Lawyer- affiant
Counsel for Plaintiff
Purok 7, Caggay, Tuguegarao City, Cagayan
Contact No. 3696891
ROLL No. 03270228
P.T.R. NO. A-07100715-1/3-8-2020
Tuguegarao City
WITNESS MY HAND AND SEAL on the date and at the place first above-written.
Copy Furnished: