You are on page 1of 9

REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT


PROVINCE OF NEGROS OCCIDENTAL
BACOLOD CITY, BRANCH IX

GABRIELLLA DUGUMANN
                             Petitioner,
 
          – versus –                            CIVIL CASE NO. ____________
                                            Declaration of Nullity o Marriage
GIORGIO MORODER
                             Respondent.
x———————————————x

JUDICIAL AFFIDAVIT OF
GABRIELLLA DUGUMANN

I, GABRIELLLA DUGUMANN, of legal age, married, and living


at Bacolod City, Negros Occidental, petitioner in this case, state
under oath as follows:

PRELIMINARY STATEMENT

The person examining me is Atty. Ferdinand Castro


Magallanes with address at Brgy. Handuman, Bacolod City,
Negros Occidental.The examination is being held at the same
address. I am answering his questions fully conscious that I do so
under oath and may face criminal liability for false testimony and
perjury.

PURPOSE: This affidavit/testimony of petitioner Gabriellla Dugumann


is being offered to prove that the respondent Giorgio Moroder
contracted marriage twice with Mary Go on June 6, 1987, and later
with the petitioner on December 2, 1988 while the respondent’s
previous marriage with Mary Go was still valid and has not yet been
legally dissolved. The petitioner’s testimony is also offered to prove
the legal basis for the declaration of nullity of the petitioner’s marriage
with the respondent, the same being bigamous.

1. Q. Please state your name and other personal circumstances for


the record.
A. Gabriellla Dugumann.
2. Q. Are you the same Gabriellla Dugumannn, the petitioner in this
case?
A. Yes sir.

3. Q. Do you know a certain Giorgio Moroder?


A. Yes sir. He was the man I married on December 2, 1988.

4. Q. How did you meet him?


A. He was my officemate in JP Morgan.

5. Q. Are you still living with Giorgio Moroder?


A. We have separated since June of 1996

6. Q. Do you have of proof your marriage with Giorgio?


A. Yes sir, I have a marriage contract (Exhibit “A”).

7. Q. Do you have children with the respondent?


A. We have one (1) child, Katrina, now 29 years old.

8. Q. What is the reason for your separation?


A. The respondent’s infidelity of and lack of sense
responsibility. He was also jobless, a sex maniac, and a pervert

9. Q. How about a certain Mary Go, do you know her?


A. Yes sir, he was the woman my husband previously married.

10. Q. Do you have proof of marriage between respondent and


Mary Go?
A. Yes sir, I have a marriage contract (Exhibit “B”).

11. Q. What was the status of the marriage between the


respondent and Mary Go when the former got married to you?

A. His marriage with Mary was still valid and has not yet
been legally dissolved when he married me.

12. Q. Aside from marriage contracts, do you have other


documents to prove the respondent married Mary Go and yourself?

A. Yes sir, I have a Certification (Exhibit “C”) from the


National Statistics Office (NSO) showing Giorgio’s record of having
two marriages, to Mary and myself.

13. Q. Do you have pre-nuptial agreement with the respondent


regarding your properties?

A. None Sir.
14. Q. Do you have common properties with the respondent?
A. None sir.

15. Q. Do you and the respondent have common creditors?


A. None sir.

IN WITNESS WHEREOF, I have hereunto set my hand this


th
13 day of February 2015 at Bacolod City.

Gabriellla Dugumann
Affiant

SUBSCRIBED AND SWORN TO BEFORE ME, a notary public


in and for Bacolod City, Negros Occidental this 14th day of February
2015. Affiant personally came and appeared with Driver’s License
issued by the Land Transportation Office on January 03, 2014 at
Bacolod City, Negros Occidental bearing his photograph and
signature, known to me as the same person who personally signed
the foregoing instrument before me and avowed under penalty of law
to the whole truth of the contents of said instrument.

ATTY. FERDINAND CASTRO MAGALLANES


Notary Public

Doc No. _______ Notary Public for Bacolod City, Negros Occidental
Book No. ______ Until December 31, 2015
Page No. ______ Office: NOBC Bldg., Gatuslao St., Bacolod City
Series of 2015 Roll No. 57202 – 03/22/2014
IBP Lifetime Roll No. 100293; 01/05/15
PTR No.023456; 01/05/15
MCLE Compliance Cert. No. 097654; 01/05/15

I, FERDINAND CASTRO MAGALLANES, of legal age, Filipino,


with postal address Brgy.Handumanan, Bacolod City after being
duly sworn depose and say:
1. I was the one who conducted the examination of witness,
Gabriellla Dugumann at my aforementioned office in NOBC
Bldg, Gatuslao St., Bacolod City;

2. I have faithfully recorded or caused to be recorded the


questions I asked and the corresponding answer that the
witness gave;

3. I nor any other person then present or assisting her coached


the witness regarding her answers;

IN WITNESS WHEREOF, I have hereunto set my hand this 13 th


day of February 2015 at Bacolod City

ATTY. FERDINAND CASTRO MAGALLANES


Affiant

SUBSCRIBED AND SWORN TO BEFORE ME, a notary public


in and for Bacolod City, Negros Occidental this 14th day of February
2015. Affiant personally came and appeared with Driver’s License
issued by the Land Transportation Office on January 03, 2014 at
Bacolod City, Negros Occidental bearing his photograph and
signature, known to me as the same person who personally signed
the foregoing instrument before me and avowed under penalty of law
to the whole truth of the contents of said instrument.
.

ATTY. WILMAN PENALOSO ANG


Notary Public

Doc No. _______ Notary Public for Bacolod City, Negros Occidental
Book No. ______ Until December 31, 2015
Page No. ______ Office: Sweet City Captel Bldg., Gatuslao St., Bacolod City
Series of 2015 Roll No. 57202 – 03/22/2014
IBP Lifetime Roll No. 100293; 01/05/15
PTR No.026456; 01/05/15
MCLE Compliance Cert. No. 097854; 01/05/15
REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
NATIONAL CAPITAL JUDICIAL REGION
MAKATI CITY, BRANCH IX

MARIA CLARA MERCADO-RIZAL

                             Petitioner,

          – versus –                                      CIVIL CASE NO. ____________

                                                                     Declaration of Nullity of


                                                                     Marriage
FELIX P. RIZAL

                             Respondent.

x———————————————x

JUDICIAL AFFIDAVIT

OF

MARIA CLARA MERCADO-RIZAL

This Judicial Affidavit of Maria Clara Mercado-Rizal, the Petitioner,


is executed to serve as her direct testimony in the instant case.

This Judicial Affidavit is being offered to prove:

A)                 All the allegations in the Petition including all


annexes appended thereto and which were already marked as
exhibits during the Pre-Trial of this case;

B)                 All other related matters, facts and circumstances


relevant and material to this case.

This Judicial Affidavit was taken at the office of Atty. Josefino S. Enrile  at
Unit 7827,  RCB Tower, 108 Legaspi St., Legaspi Village, Makati City.

Questions were propounded by Atty. Josefino S. Enrile  and these questions


are numbered consecutively and each question is followed by the answer of
the witness.

1.     Do you swear to tell the truth and nothing but the truth?

I do.
2.       Are you aware that you may face criminal liability for false
testimony or perjury if you will not tell the truth?

I am.

3.       Please state your name, age address and occupation?

I am Maria Clara Rizal Mercado, 51 years old, married, and


residing at 313 Santol Road, Makati City.

4.    Are you the same Maria Clara Rizal Mercado,  the Petitioner in
this case?

Yes.

5.       Do you know the Respondent in this case, Mr. Felix P. Rizal?

Yes, he is my husband.

...............

Affiant further sayeth naught.

MARIA CLARA MERCADO-RIZAL


Affiant

SUBSCRIBED AND SWORN to before me this _______________


at _______________, Affiant exhibiting to me her Passport bearing No.
SS12345678 issued on 8/9/12 and expiring on 8/8/17.

Doc No. ________;


Page No. _______ ;
Book No. _______;
Series of ________.

ATTESTATION

I hereby state, under oath, that I faithfully recorded the questions I


asked and the corresponding answers that the witness gave and that neither I
nor any other person present or assisting me has coached the witness
regarding the latter’s statement.

                                                          
ATTY. JOSEFINO S.
ENRILE
SUBSCRIBED AND SWORN to before me this _______________
at Makati City, Affiant exhibiting to me his driver’s license bearing No.
N11-82-030573 expiring on 09/08/2013.

Doc No. ________;


Page No. _______ ;
Book No. _______;
Series of ________.

Copy Furnished:

Office of the City Public Prosecutor


Makati City
REPUBLIC OF THE PHILIPPINES
DEPARTMENT OF JUSTICE
NATIONAL BUREAU OF INVESTIGATION
Bacolod District Office
Bacolod City

PEOPLE OF THE PHILIPPINES

                             Plaintiff,

          – versus –                                      CIVIL CASE NO. ____________

                                                                     Theft

MATTHEW DAVIS

                             Accused.

x———————————————x

JUDICIAL AFFIDAVIT
OF
MELROSE PLACE

I, MELROSE PLACE, of legal age, married, with address at 1224


Pugad Lawin St., Bacolod City, after having been duly sworn in accordance
with law, do hereby

Depose and state that:

1Q: Are you willing to give a free, voluntary and under oath
statement and do you swear to tell the truth in this
investigation?
A: Yes, Sir.

2Q: Then please state you name, address and other personal
cicumstances?
A: I am MELROSE PLACE, Filipino, married, 36 years old, born
on March 07, 1979, in Bacolod City and residing at Manville
Royale Subdivision Bacolod City
I am presently employed with the Department of Agrarian
Reform Bacolod City Chapter

3Q: How long have you been employed on the said office?
A: Since 2013

4Q: Where were you on July 25, 2013, if you can recall?
A: I reported for work on that date.

5Q: during that day, did you notice something unusual or missing?
A: I notice that my drawer of my table was open. One item was
missing, my Samsung Galaxy Tablet.

6Q: What did you do next?


A: I asked the staff in charge if someone have borrowed or seen
my laptop but all of them said they neither did seen nor
borrowed my laptop. That when, I reported it to the authorities.

7Q: How much was the estimated cost of the item stolen?
A: P46,000.00

8Q: Do you remember of similar incident in the past?


A. None that I can think of.

9Q: For the meantime I have no more questions to ask you. Do you
have something more to add to your statement?
A: No more.

10Q: Are you willing to sign your statement under oath?


A: Yes sir.

x--------------------end of statement--------------------x

Melrose Place
Affiant

SUBSCRIBED AND SWORN to before me this 5th day of


September 2014 at the office of the National Bureau of Investigation,
Bacolod District Office, Bacolod City.

XAVIER JIMENEZ
By Authority of RA 157

You might also like