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REPUBLIC OF THE PHILIPPINES

DEPARTMENT OF JUSTICE
NATIONAL PROSECUTION SERVICE
OFFICE OF THE CITY PROSECUTOR
MANILA

NENITA VIJANDRE OCAMPO


Complainants,

- versus - NPS Docket No. ______________


For: Violation of R.A 8485
JOEMAX MAXIMIANO
Respondent,
x----------------------------------x

AFFIDAVIT-COMPLAINT

I, Nenita V. Ocampo, of legal age, Filipino, and a resident of 366 Lallana St Velasquez,
Tondo Manila after having been lawfully sworn to in accordance with law do hereby depose and
say:

1. That I am the complainant in the above-entitled case;

2. That I am formally charging respondent JOEMAX MAXIMIANO, of legal age,


Filipino, and a resident of _________________________________ for violation of
Section 6 of RA 8485, to wit:

a) THAT at about ___________________ of 6th March 2021, I received a call from


my daughter-in-law telling me “Mame, binaril si Kara, pumasok sa loob ng gate
ni Joemax”;

b) THAT upon hearing the terrible news about my dog, Kara, I immediately went
back home;

c) THAT when I got home, I saw our floor was covered with much blood while my
two grandchildren, Ashley and Ashkey were crying, and that Kara had already
been taken to the vet;

d) THAT when I inquired about what exactly happened to Kara, I learned that my
dog was shot by Joemax Maximiano as evidenced by the affidavits attached and
made an integral part of this Complaint as ANNEX “A” to “C”, which were
executed by my grandchild Ashley Ocampo, my son Alfredo Ocampo, and our
neighbor Julius Bernal, who saw Joemax shooting my dog, Kara;

e) THAT I immediately went to the barangay to complain about the criminal act
done against my dog together with Julius Bernal who voluntarily came to testify;

f) THAT at the barangay, I, together with ___________________________, were


able to affirm the statements given by my grandchild Ashley and Julius Bernal, in
relation to killing of my dog, Kara, as we watched the CCTV about the said
incident. Attached hereto and made an integral part of this complaint affidavit is
the flash drive with the faithful reproduction of the video as ANNEX “D”;

g) THAT when Joemax learned that Julius witnessed his criminal act of shooting my
dog, he was stuttering but instead of being repentant for his malicious act, showed
no remorse and even insulted me by saying “aso lang yan, eh di magreklamo
kayo!”;

h) THAT based on the Medical Certificate of Cause of Death issued by the


DAGUPAN ANIMAL CLINIC, attached and made an integral part hereto as
ANNEX “E” to series, my dog, Kara, died due to hypovolemic shock secondary
to profuse bleeding from a penetrating injury from a wound on the left hind leg of
Kara;

i) THAT on __________, the barangay has finally issued a Certificate to File Action
attached hereto as ANNEX “F”;

3. That I am executing this affidavit to attest to the truth of the foregoing statements, and for
the purpose of charging respondent JOEMAX MAXIMIANO for violation of Sec. 6 of
RA 8485.

IN WITNESS WHEREOF, I have hereunto affixed my signature this _________ day of


________________, in Manila.

NENITA V. OCAMPO
Complainant/Affiant

SUBSCRIBED AND SWORN TO before me this _____________ day of


____________________, in Manila.

City Prosecutor

CERTIFICATION
I hereby Certify that I personally examined the affiant and that I am satisfied that she
voluntarily executed and understood her complaint-affidavit.

City Prosecutor

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