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REPUBLIC OF THE PHILIPPINES)

PROVINCE OF BENGUET) S.S.


MUNICIPALITY OF TUBA)

AFFIDAVIT OF LOSS

I, ROI LESTER B. KEDATAN, of legal age, Filipino, student and residing at


Balding, Camp 3, Tuba, Benguet, under oath, state:

1. That on September 18, 2021 while riding on a jeepney going to Baguio


City, my wallet was pick-pocketed without my knowledge;

2. That my wallet contained my school ID, my Driver’s License, my credit


cards and some cash;

3. That I exerted diligent efforts to locate my wallet or to identify the culprit


or but to no avail and I therefore considered the same as lost and can no
longer be found;

4. That I am executing this Affidavit to attest to the truth of the foregoing


facts and to use the same for whatever legal purpose it may serve.

IN WITNESS WHEREOF, I hereunto affix my signature this September 18,


2021 at Municipality of Tuba, Benguet.

ROI LESTER B. KEDATAN


Affiant

SUBSCRIBED AND SWORN to before me this September 18, 2021 at


Municipality of Tuba, Benguet.
(AFFIDAVIT OF LOSS FIREARM)

REPUBLIC OF THE PHILIPPINES)


PROVINCE OF BENGUET) S.S.
MUNICIPALITY OF TUBA)

AFFIDAVIT OF LOSS

I, ROI LESTER B KEDATAN, Filipino, of legal age and a resident of Balding,


Camp 3, Tuba, Benguet, Philippines, after being duly sworn in accordance
with law, depose and state:

That I am the true and licensed owner of a one (1) unit golden Dessert Eagle
firearm with Serial No. N6484367R.

That on 24 of October 2021, when I’m on my way home, I was surprised to


see our gate open and when I went to close it, I discovered that my front
door was also opened. Then I rushed to my room and check my belongings;

I then discovered that my belt bag that I had left in my room was gone and
with it are the above-mentioned firearm, several rounds of ammunition, the
original copy of my License to carry the said firearm, some identification
cards, and other important documents;

That despite diligent search and efforts to locate said firearm, my belt bag
and its aforementioned contents, I could not find the same such that I now
believe that all the foregoing items were stolen and are now lost beyond
recovery.

As such, I am executing this Affidavit of Loss to attest to the truth of the


foregoing.

IN WITNESS WHEREOF, I have hereunto set my hand this October 24,


2021 at Municipality of Tuba, Philippines.

ROI LESTER B. KEDATAN

Affiant
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF BENGUET) S. S.
MUNICIPALITY OF TUBA)

AFFIDAVIT OF SUPPORT AND CONSENT

We, MR. ROI LESTER KEDATAN AND MRS. EMMA WHATSON, parents of
LANCE W. KEDATAN citizens of the Philippines, of legal ages, and residents
of Balding, Camp3, Tuba, Benguet, after having been duly sworn to in
accordance with law, do hereby depose and state:

1. That we are giving full consent and authority to our son LANCE W.
KEDATAN to apply for passport with the Office of Consular Affairs of the
Philippine Department of Foreign Affairs and to apply for appropriate visa
with the U.S. Embassy in Manila on behalf of our child:

2. That we are giving full consent to our son LANCE W. KEDATAN to travel
from the Philippines to United States and accompanied by his
grandfather;

3. That we are sponsoring their trip and we are financially capable to support
their needs in their stay abroad;

4. That we are willing and able to maintain and support our child financially
and guarantee that he will not become a public charge or burden during
his stay in United States.

IN WITNESS WHEREOF, we have hereunto set our hand this 25 th day of


October 2021 at the Municipality of Tuba.

Signature of Parent
Affiant
REPUBLICOFTHEPHILIPPINES
DEPARTMENTOFJUSTICE
NATIONALPROSECUTIONSERVICE
OFFICEOFTHECITYPROSECUTOR
PROVINCEOFBENGUET

EDIE GIRL DOMINGO


Complainant, IS. No. 231547

-Versus- For: Qualified Theft


Art. 310 Revised Penal
Code

BONIE DRAKE BEAN


Respondent.

AFFIDAVIT OF COMPLAINT

I, EDIE GIRL DOMINGO, of legal age, Filipino, a business man, residing at


Lakandula, Baguio City, after having sworn in accordance with law, hereby
states:

1. I am filing a complaint under Article 308 of the Revised Penal Code for
Theft against Mr. BONIE DRAKE BEAN, hereafter referred to as
respondent, of legal age, and with residence at Rosario, La Bawang.
2. The respondent was referred to me by my friend Mr. Alucard Argus,
After I mentioned that I needed a driver for a duration of six months.
The respondent was likely informed that I needed a driver, and
through Mr. Alucard, we exchange phone numbers and agreed on a
day in which the respondent will start with his duties.
3. On September 18th, 2021, the respondent arrived at around 5 AM. I
oriented him to her duties and showed her the garage, the cars and
give him the key.
4. The following day he waked up early and cleaned and prepare the car.
After that he drive me to my office and went back to my house as I
ordered. At 4PM in the afternoon of that the same day he already
arrived at my office earlier before I get out my office.
5. We followed the same routine for one week, On September 31, 2021,
when respondent was out on a day off, I was going through my garage,
checking for my supplies of gasoline for my generator, I noticed that
my generator was missing and decided to ask respondent through text
message. He replied that he didn’t notice that there is a generator in
the garage and volunteer to look for it when his back. However, I had
forgotten to inquire about it the following day.
6. After one week when I noticed that something was missing. On
October 8, 2021 when I let him to rest and may not come to work
because I will not go out to work, I noticed that my chainsaw and
other equipment’s in the garage is missing.
7. I decided to go to my brother’s house to ask if he borrowed my
equipment’s, but before I leave my house, my neighbor Mr. Terizla
Fusion, approached me and said that she kept seeing the respondent
taking home my equipment’s. On October 5, 2021 between 10-11 AM
he saw the respondent putting chainsaw in my car then drive away.
8. I reported the incident on that the same day and tried to contact the
respondent, but he could not be reached and never showed up for
work thereafter.
9. His acts are clearly within the purview of the Article 310 of the
Revised Penal Code, as she had taken personal belongings without
consent and without employing violence, intimidation and threat upon
the rightful owner, with grave abuse of confidence.

PRAYER

Wherefore premises considered, it is respectfully prayed after notice and


hearing that the respondent be:

1. Indicted with the violation of Article 310 of the Revised Penal Code
2. Such other remedies that may arise from the complaint.

SUBSCRIBE AND SWORN to before me this 5th day of October 2021 in


Baguio City, Philippines, I hereby certify that I have personally examined
the herein affiant and I am satisfied that they voluntary executed and
understood their given affidavit.

HON. LUGAW LLANG


Assistance City Prosecutor
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF BENGUET) S.S.
MUNICIPALITY OF TUBA)

AFFIDAVIT OF WITNESS

I, TERIZLA FUSION, of legal age, Filipino, single and a resident of


Lakandula Baguio City, after having been duly sworn to in accordance with
law, depose and state:

1. That I was present and personally saw that accused, BONIE DRAKE BEAN,
committed the crime of Qualified Theft against the victim EDIE GIRL
DOMINGO;

2. That I am a neighbor of the victim;

3. That I kept seeing the accused getting equipment’s in the garage of the
victim after he drive him to his office. (State the details of the acts committed
by the accused against the victim);

4. That On October 5, 2021 between 10-11 AM i saw BONIE DRAKE BEAN


putting chainsaw in the car of EDIE GIRL DOMINGO then drive away;

5. That I executed this affidavit to attest the truthfulness of the foregoing facts
and to support the filing of criminal case against BONIE DRAKE BEAN for
violation of Article 10 of the Revised Penal Code.

IN WITNESS WHEREOF, I hereby affixed my signature this 9th day of


October 2021 in Baguio City, Philippines.

TERIZLA FUSION
Affiant
SUBCRIBED AND SWORN TO before me this October 9, 2021 in
Baguio City, Philippines. I hereby certify that I have personally examined
the herein affiant and I am satisfied that they voluntary executed and
understood their given affidavit.

HON. LUGAW LLANG


Assistance City Prosecutor
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF BENGUET) S.S.
MUNICIPALITY OF TUBA)

AFFIDAVIT OF DESISTANCE

I, EDIE GIRL DOMINGO, of legal age, Filipino, a business man, residing at


Lakandula, Baguio City, after having sworn in accordance with law, hereby
states;

1. I am the complainant for Qualified Theft against BONIE DRAKE BEAN


in the case entitled “PEOPLE OF THE PHILIPPINES Vs. BONIE DRAKE
BEAN” criminal case No. 231547, BAGUIO CITY, BENGUET, MTCC
Br. 3

2. After knowing the reason of the of the accused in executing his acts;

3. I am no longer interested in the further prosecution of the case


against the said accused considering that he already accepted my
offer that he will return all the things he steals from my garage;

4. I am requesting this honorable office that the above-mentioned case


be dismissed.

5. I fully understand the legal consequence of this affidavit of desistance;

IN WITNESS WHEROF, I have hereunto set my hand this 13th day of October
2021 at Baguio City, Philippines.

EDIE GIRL DOMINGO


Affiant

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