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LEGAL

FORMS
IN
PORTFOLIO
Submitted to: Ms. Ronica P. Mainit
Submitted by:Gio
Balute
LEGAL
FORMS
IN
PORTFOLIO
Submitted to: Ms. Ronica P. Mainit

Submitted by: Benigno P. Cerezo Jr.


AFFIDAVIT OF DESISTANCE

REPUBLIC OF THE PHILIPPINES


Philippine Nation Police
Dagupan City
I, Bonak Norbine, of legal age, single and a resident of # 333 Main St.,
Buenlag,
Mangaldan, after having duly sworn to in accordance with law hereby depose and
state:
1. I am the complaining witness for Serious Physical Injuries against
basketball
Santos in the case entitled “miya Vs Darna”,
Criminal Case No.2361, Metropolitan Trial Court, Batch No. 11, Dagupan City.
2. After my sober and soul searching assessment and analysis of the
incident, I have realized that because I was not wearing my eyeglasses and it was
dark, I cannot point out, without a doubt the accused or any other person/s who
inflicted harm against me.
3. Since I could not state with certainty and without a doubt the liability of
Lancelot, in fairness to him, I am permanently withdrawing my complaint
against him. I clear him of whatever responsibility or liability to me.
4.I hereby inform the City Prosecutor of DAGUPAN that I am withdrawing
my
complaint for Serious Physical Injuries in Criminal Case No. 2361 entitled “MIYA
vs DARNA
’, Metropolitan Trial Court, Branch No. 11,
City of Mangaldan.
5. I like wise request the Metropolitan Trial Court, Branch No, 11, City of
Mangaldan to dismiss with prejudice the said criminal case.
IN WITNESS WHEREOF, I hereby set hand this 3 day of September 2013 at
the Dagupan City
Bonak Norbine
Complaining Witness

SUBSCRIBED AND SWORN to before this 22md day of January 2013 at the City
of
Manila, Philippines.
Amumu
Public Prosecutor
Republic of the Philippines
Department of Justice
National Prosecution Service
OFFICE OF THE CITY PROSECUTOR
mapandanCity

AFFIDAVIT OF DESISTANCE

I,Bernado Olikba and Bernadet olikba, Filipinos, of legal ages, husband and wife,
respectively, and residents of 106 Sisa Street, Sampaloc, Manila after having been
duly sworn to in accordance with law, depose and state:
1. We are the private complainant in a criminal case for Reckless Imprudence
Resulting to Damage to Property against Joel O. Castillo docketed as IS No. XV-05-
INV-10G-01000 before the Office of the City Prosecutor, Mapadan City
2. In this regard, the accused has already paid the damage to our vehicle;
3. In view of the payment by the accused and considering that Rowena A. Castro
was not injured, we would like to manifest that we now completely and absolutely
exonerate the accused from any liability in connection with the above-mentioned
criminal case and that we are no longer interested, and we hereby desist, in
prosecuting the said criminal case;
4. As such, we respectfully pray that the aforementioned case against Joel O.
Castillo be withdrawn and/or dismissed.

IN WITNESS WHEREOF, I hereby set hand this 27th day of February 2015 at the
City of Manila.

Bernado Olikba and Bernadet olikba


Complaining Witnesses

SUBSCRIBED AND SWORN to before this 22nd day of March 2015 at the City of
Makati, Philippines.
Alucard cerezo
Public Prosecutor

AFFIDAVIT ARREST
Republic of the Philippines )
Pangasinan CITY
x-------------------------------------------x
I SPO2 NARDO MAGTANGOL, member of the
Philippine National Police, presently assigned at the Dagupan City Police Station, do
hereby depose and state THAT:
01.That on or about 7 ’clock in the evening November 29, 2022, I, affiant
received a report thru a phone call from Sheryl Pelingon, The victim of robbery in
SanFabian.
02.That immediately after receiving the report, I proceeded in the reported
place and that threat, we saw the persons of Shasha Pelingon and Juan Luna.
03.That upon interview on Shasha Pelingon – she alleges that Rudolf Prado
committed and act of Robbery , by threating her if she fights back the suspect will
stab her
04. That we invited Rudolf Prado to go with us in the Police Station to clarify
things which he readily acceded.
05.That we informed Rudolf Prado that he is being held for allegedly
committing acts of Robbery and apprised him of his Constitutional
Rights as stated in the Miranda Doctrine. We then brought and endorsed the
case for proper investigation.
06. IN TRUTH TO THESE WE HEREUNTO affixed our signatures below to the
truthfulness of the foregoing.
Alberto Magalong
Affiant

SUBSCRIBED AND SWORN to before me this 3 of January, 2023 at


panagsinan
City, Philippines.
Nardi Magtangol
Police Inspector
Oath Administering Officer
REPUBLIC OF THE PHILIPPINES
DEPARTMENT OF JUSTICE
OFFICE OF THE CITY PROSECUTOR
MANILA

I, PCpl Norberto S. Dela Cruz, of legal age, bonafide member of the Philippine
National Police and presently assigned with Manila Police Department Police
Station-2 after having been duly sworn to in accordance with law, hereby depose
and declare the following:
That I am the police officer tasked to patrol in the area of Bagong Bayan Street in
Tondo, Manila. That on June 12, 2019 at around eight o’clock in the evening
, I was with Ms. Anna Santos, the niece of the victim and I accompanied her home
coming from a birthday party. I was off-duty at that time from my work. Ms. Anna
noticed that the front door of their house is not locked.
That when Ms. Anna A. Santos opened their front door, we saw the victim, her
aunt, Teodora Santos, who appeared to be stabbed in the chest and arms, lying on
the floor while the accused is holding a knife.
That the accused hurriedly ran towards the broken glass window in the kitchen
which I noticed when I followed him in his attempt of escaping. I was able stop him
and put him down towards the ground.
Thereafter, I confiscated from him the knife that he used to stab the victim and
effected a warrantless arrest and stated to him his constitutional rights. Upon
inquiry on his identity, said person revealed his name as Rodolfo B. Perez, 19 years
old, single and a resident of Barangay Bagong Bato Tondo Manila.
After duly marking the confiscated knife, I brought said Rodolfo B. Perez to the
Police station of Tondo Manila. Pieces of jewelry and money amounting to twenty
thousand pesos were also retrieved from him.
That this affidavit is executed to attest to the truth of all the foregoing and to
support the filing of a formal charge/s in court against said person.
IN WITNESS WHEREOF,I hereunto set my hands this 13th day of June 2019 at
Tondo Manila, Philippines.
(Sgd.) Norberto S. Dela Cruz
Affiant
SUBSCRIBED AND SWORN to before me this 15th day of June at Manila City
Philippines and further certify that I have examined the affiant and that I am
satisfied that they fully understood the contents thereof.

(Sgd.) Julie Diane A. Artienda


Administering Officer
AFFIDAVIT OF WITNESS
Republic of the Philippines
Department of Justice
OFFICE OF THE CITY PROSECUTOR
NARBACAN City

AQUINI DEVELOPMENTCORPORATION,
Complainant, I.S. No.514753.
- versus –
MARI JOY TAN,
Respondent
x-------------------------------x
AFFIDAVIT OF WITNESS

I, CHERYL MAY A. SERISOLA, of legal age, Filipino, with officeaddress at 3rd Flr.
St. Therese Bldg., Rizal St., Bacolod City, after being duly sworn in accordance with
law, hereby depose and state that:

1. I am the internal auditor of GONZAGA REALTY DEVELOPMENT


CORPORATION (hereinafter referred to as “GRDC” or the “Corporation”), a
corporation duly organized and existing under and by virtue of the laws of the
Republic of the Philippines with principal address at St. Therese Bldg., Rizal St.
Bacolod City, which is the private complainant in the above-entitled case.
2. I am executing this affidavit as witness and in support of the criminal complaint
filed by GRDC against Respondent GINA MARIE A. MIAG-AO, charging said
respondent with the crime of ESTAFA WITH ABUSE OF CONFIDENCE defined
and punished under Art. 315(1)(b) of the Revised Penal Code.
3. GRDC is engaged in the business of real estate development, and is the developer
of Maryville Subdivision located at Barangay Granada, Bacolod City.
4. As part of her duties as Documentation and Processing Clerk, Respondent
MIAG-AO was entrusted with the task of processing various transactions related to
the real estate business of GRDC, such as but not limited to, the transfer of titles to
properties sold by the Corporation before the Register of Deeds, payment of taxes
and fees before the Bureau of Internal Revenue and the Local Assessor’s Office,
payment of installation fees for water and electrical utilities for the housing units
sold by GRDC with BACIWA and CENECO, and the like. In line with her work
and in the course of her employment with GRDC, Respondent MIAG-AO received
in trust from GRDC various amounts of cash on several occasions, under the
Gonzaga Realty Dev. Corp. vs. Miag-ao Affidavit- Serisola obligation and duty to
deliver and pay such amounts to designated payees on behalf of GRDC.
5. On October 27, 2015, I was directed by GRDC’s President, Mr. Alexander J.
Gonzaga, to conduct an audit of all disbursements released to Respondent MIAG-
AO for the processing and documentation tasks that were entrusted to her.
6. Among the vouchers I examined as part of the audit include the following:
(a) Check Voucher No. 32857 dated September 4, 2015, showing that Respondent
MIAG-AO received the amount of P20,292.00 from GRDC, for the specific purpose
of paying the said amount to BACIWA on behalf of GRDC’s clients as installation
fees for water connection in the houses the clients purchased from GRDC at
Marville Subdivision. A copy of Check Voucher No.32857 is attached as Annex “B”
to the Complaint-Affidavit executed by the GRDC’s Sales and Marketing Officer
Ms. Marissa M. Sondon.
(b) Check Voucher No. 32858 dated September 4, 2015, showing that Respondent
MIAG-AO received an amount of P13,200.00 from GRDC, with the specific
directive to pay the said amount to CENECO for the application for electrical
connection of several houses in Marville Subdivision purchased by certain buyers
from GRDC. A copy of Check Voucher No. 32858 is hereto attached as Annex
“C” to the Complaint-Affidavit executed by Ms. Sondon.
7. Based on my audit of corporate records, total disbursements amounting to
P97,101.42 were received by Respondent MIAG-AO but were not accounted for
with covering official receipts documenting the payments of said disbursements to
the designated payees. I submitted partial auditresults I prepared to Mr. Gonzaga
after the same was checked by Ms. Sondon. Copy of the partial audit results I
prepared is attached as Annex “F” to the Complaint-Affidavit executed by Ms.
Sondon.
SUBSCRIBED AND SWORN TO before me this 17th day of AUGUST, 2018 in
Narbacan City.

TOPER MAGSAYO
Investigating Prosecutor
Republic of the Philippines )
Dagupan City, Pangasinan
x------------------------------------------x
AFFIDAVIT OF WITNESS
I Helario Narvasa, 23 Years old, Single, resident of lucao, Dagupan city hereby
depose and state
THAT:
1.I was present and personally saw that accused, Eugene Aquino, committed
the crime of Robbery against the victim Ronalyn Magalong;
2. Ronalyn Magalong was walking in the street of Mc Arthur Highway along
with her shoulder bag;
03. Eugene Aquinl suddenly hardassed Ronalyn and threaten her that he will stab
her if she don’t give her shoulder bag.
3.I the witness didn’t do anything because I think it’s good so it won’t add
more conflict;
I executed affidavit to attest the truthfulness of the foregoing facts and to
support the filing of Criminal Cases against EUGENE AQUINO for violations of
ROBBERY

AFFIANTS SAYETH NAUGHT.


IN WITNESS WHEREOF, I hereunto affixed my signature this 29th day of
September at
Dagupan city, Pangasinan.

HELARIO nARVASA
Affiant

SUBSCRIBED AND SWORN to before me this 29th day of September at Dagupan


city
GIO BALUTE. I HEREBY CERTIFY that I have personally examined the herein
affiants
and I am satisfied that they voluntarily executed and understood their given
affidavit.
Bert Berting
Notary Public
LETTER OF THE INQUEST PROSECUTOR
PHILIPPINE NATIONAL POLICE
Camp Crame, Dagupan City)

Date: December 05, 2018


The Honorable City Prosecutor
Pangasinan
Sir:
I have the honor to send you herewith a case of Murder (DOA) for inquest
only, wherein the victim was one Dennis Galman, 25 years old,
single, Construction worker, and lastly resident at Sobol Dagupan city Pangasinan
The accused is
JOEY NABARSO , 28 years old, single, vendor, residing in Mangaldan
Pangasianan.
(UNDER ARREST)
ENCLOSURES:
1. Crime report dated No. 19, 2021;
2. Booking sheet and arrest report of accused;
3. Sworn statement of Xian Galman, Son of deceased;
4. Sworn statement of witness, Edward Nabua
5. Death certificate of deceased and
6. Necropsy report from the Medico-Legal Office
WITNESSES:
1. Xian Galman Sobol Dagupan city Pangasinan,
2. Edward Nabua Sobol Dagupan City
3. Dr. Imelda Prado c/o Medico-Legal Office, Manila
4. Dr. Leo Mendoza c/o JRRMH, Pangasinan
5. SPO2 Bernardo Carpio SIG, CISC, PNP, Camp crame, DAGUPAN CITY
FACTS OF THE CASE:
Investigation disclosed that the victim and the suspect was long friends Dennis
Galman invited Noel AGULTO for celebrating his birthday had a drinking spree
inside the house of the victim. After consuming several bottles of beer, Dennis
accompanied the suspect in the exit of their compound when Dennis turned back the
suspect suddenly stabbed the victim to death. The victim was conveyed to the
Region1 in Pangasinan, but was
pronounced DOA by the attending SOD. The suspect, who was apprehended by the
responding officers, was turned over to this office for investigation.
On the account of the foregoing, the suspect was placed under arrest and
the charge of Murder against him will be brought to the attention of an inquest
fiscal for proper disposition and recommendation.
This case will be brought to you by SPO2 BERNARDO CARPIO of this command.
Very Respectfully,
Bernardo Carpio
Chief Inspector, PNP Investigation Chief
RECOMMENDATION:
Bernadet Buga
(Inquest Prosecutor)
Republic of the Philippines
Philippine National Police
Mapandan, Philippines

January 15, 2008


Sir:
I have the honor to send you herewith a case of HOMICIDE (DOA) for
inquest only, wherein the victim was one jack solomon , 27 years old, single, jobless,
and lastly resident at No. 234 Miguelin St., Sampaloc, Manila. The accused is
Bong BONA, 34 Years Old, Single, vendor, resident at no. 34 Mapandan City
ENCLOSURES:
1. Crime report dated No. 20, 2000;
2. Sworn statement of ALUCARD SOLOMON , father of deceased
4. Sworn statement of witness, JOHN VILLA;
5. Death certificate of deceased
Witness:
1.Gusion cruz Mapanda City
2. Jhay Villa MapndanCity
FACTS OF THE CASE:
Investigation disclosed that the victim and the suspect were long-time friends. On
January 05 , 2008, at around 7:30pm, two men together with several others had a
drinking spree inside the house of the victim. After consuming several bottles of
beer, a heated altercation ensued between one of the victim’s guests and the suspect
which eventually led to a fistfight. The victim intervened but was stabbed by the
suspect. The victim was conveyed to the JRRMH in Manila, but was pronounced
DOA by the attending SOD. The suspect, who was apprehended by the responding
officers, was turned over to this office for investigation.
On the account of the foregoing, the suspect was placed under arrest and the charge
of HOMICIDE against him will be brought to the attention of an inquest fiscal for
proper disposition and recommendation.
This case will be brought to you by SPO2 Curry Steph of this command
Very Respectfully
MARGARITO
Chief Inspector

JOEL MESES
Inquest Prosecutor\
COMPLAINT AFFIDAVIT

REPUBLIC OF THE PHILIPPINES


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

THE PEOPLE OF THE PHILIPPINES


Complainant,
-vs- I.S. No. 51354
GUEVARa SISON,
Respondent. For: Bigamy (Art. 349,
Revised Penal Code)
X-----------------------------------------X

COMPLAINT-AFFIDAVIT

I, guevara sison, of legal age, married and a resident of 123 Malate,


Manila after being sworn in accordance with law depose and say that:
1. That the respondent Victor Guevarra and I met sometime in January 2012 while
being schoolmates at San Beda College In Alabang and became sweethearts after a
short courtship;
2. As we were both too much in love, we hastily got married on November 25,
2012 in civil wedding ceremony solemnized by the Mayor of the City of
Manila. Copy of the Certificate of Marriage dated May 25, 2013 issued by the
NSO is hereto attached as Annex ‘A”;
3. After our wedding, we lived together as husband and wife in our conjugal
dwelling in Sierra Subdivision, Manila City;
4. Several months into our marriage, respondent began to exhibit his
irresponsibility and no caring attitude. He would leave the house and would come
back only after several days. Such behaviour on the part of respondent resulted in
our quarrels and verbal altercations;
5. Sometime in June 2013, we had a violent quarrel brought about by his rude
behavior and his expression of animositytoward my parents. He did not
approve of their frequent visits in our house;
6. After our quarrel, he left our conjugal dwelling and this was the last time I ever
saw him. Since then, I had not seen, communicated nor heard anything from
him or about his whereabouts. So I returned to my parents' abode at Las Piñas
and stayed there for about two months;
7. To cope with the sudden turn of events in my life, I went abroad to Washington
D.C., U.S.A., on September 06, 2013 to unwind and for employment purposes
as well, and came home after almost two years.
8. Sometime in August 2015, a relative who works in the City of Muntinlupa
informed me that my husband, respondent Victor Guevarra has gotten married
to another woman, a certain Janine Arguello, in a religious ceremony
solemnized by Fr. Ramonito Sequitur at the Jerome Emiliani Church in the
City of Muntinlupa, on February 14, 2015. A copy of their Certificate of Marriage
is hereto attached as Annex “B”;
9. My marriage with respondent Victor Guevarra is still subsisting and
has not been annulled or dissolved. His act of contracting a second
marriage to Janine Arguello despite the subsistence of our marriage
constitutes the crime of bigamy punishable under Article 349 of the Revised
Penal Code. I executed the foregoing Complaint-Affidavit to attest to the truth of
the facts stated and for the purpose of charging respondent, whose last
known address is at 1525 Acacia Street, Ayala, Alabang Village, Muntinlupa City
with the crime of bigamy.

AFFIANT SAYETH NAUGHT

GUEVARA SISON
Complainant-Affiant

OATH AND CERTIFICATION

SUBSCRIBED AND SWORN to before me, the undersigned prosecutor, this 18th
day of December, 2015 in the City of Muntinlupa.
I hereby certify that I have personally examined the affiant and that I am
convinced that she voluntarily executed the foregoing affidavit and that she
understood the contents thereof.
ATTY. BENIGNO MAKALOK
Assistant City Prosecutor
REPUBLIC THE PHILIPPINES
REGION 1 TRIAL COURT
NINTH JUDICIAL REGION
DAGUPAN CITY
BRANCH 8
JOVEN FLORES
Complainant,
-versus-
Criminal Case No. 143222
For: Adultery
Kai Mortar and Hilario Nara,
Respondents,
x--------------------------------------x
COMPAINT AFFIDAVIT
I, Joven Florese, 35 years old, married, and resident of Sobol, Dagupan city,
Pangasinan
after having been duly sworn to according to law depose an say:
THAT I am married to Boa Hancock. I build a house for our permanent residence
and as our
conjugal home in Dagupan City and furnished it with all the comforts well
within my means;
At the start of our marriage, I was led to believe by my wife of her total
concern, love and devotion to me valid in turn I lavished her with all the material
comfort at my command. As a token of my love and unfailing trust, we went
sightseeing and on second honeymoon to Boracay only last month.
But she committed adultery to me and lied to me that she loves me.
That I am formally charging the accused Boa Hancock and Sabo Kun,, in the crime
of Adultery against them.
CONTRARY TO LAW.
City of Dagupan, Philippines, June 8, 2021
JOVEN FLORES
Complainant
SUBSCRIBED and SWORN to before me, the undersigned prosecutor, this
8th day of June, 2021 in the City of Dagupan, Philippines. I hereby certify that I
have
personally examined the above-named affiant and that I am satisfied that the
foregoing statements were given by him voluntarily and of his own free will.

Atty. BONG BERTING


Assistant City Prosecutor
INFORMATION

Republic of the Philippines


REGIONAL TRIAL COURT
Branch 34
San JACINTO, Philippines

BENIG PALABOY
Plaintiff,
-versus- Criminal Case No. 432342
HAZEL NABAT For: MURDER
Accused.
X--------------------------------------x

INFORMATION
The undersigned Assistant City Prosecutor hereby accuses of the crime of
MURDER committed as follows: That on or about FEBRUARY 12, 2016, San
Fabian within the jurisdiction of this court, the said accused, armed with the bladed
weapon, and want to kill, did then and there unlawfully and feloniously attack,
assault and stab one victim, thereby inflicting upon him a fatal wound which
directly caused to his death, contrary to law.

San Fabian, Philippines, FEBRUARY 22, 2005.


ATTY. BAN KING
Private Prosecutor
WITNESSES:
MARIA MAKILING
JUAN TAMAD
CERTIFICATION

I Hereby that a preliminary investigation was conducted in the above-entitled case,


and there is prima facie evidence that the crime Homicide has been committed and
that the accused is probably guilty thereof.
ATTY. BAN KING
Private Prosecutor

Republic of the Philippines


National Capital Judicial Region
REGIONAL TRIAL COURT
Branch 23
Dagupan City
PEOPLE OF THE PHILIPPINES
Plaintiff,
-versus-
Criminal Case No. 321234
For
Murder
TALORAY DUWA,
Accused.
X--------------------------------------x
INFORMATION
The undersigned Assistant City Prosecutor hereby accuses Bente Pesos of
the crime of Murder committed as follows:
That on or about December 28,2021, Dagupan City within the jurisdiction of
this
court, the said accused, armed with gun, with intent to kill, did then
and there unlawfully and feloniously Shoot to death Wantawsan Bentemil, thereby
inflicting upon him a shot wound which directly caused to his death, contrary to
law.
Dagupan city, Philippines, December 28, 2021.
ATTY. ZAPNU
Private Prosecutor
WITNESSES:
WRECKER
CHOOXZ

CERTIFICATION

I Hereby that a preliminary investigation was conducted in the above-entitled case,

And there is prima facie evidence that the crime Homicide has been committed and

That the accused is probably guilty thereof.


ATTY. ZAPNU
Private Prosecutor
DEPOSITION

Republic of the Philippines


REGIONAL TRIAL COURT
BRANCH 87, BINMALEY CITY

MARIA TRESS
Plaintiff SEARCH WARRANT NO. 84743
Versus FOR: THEFT
RISA MACAPAGAL
Respondent
x-------------------------------------------------------------x

DEPOSITION OF WITNESS

I, MARIA TRESS after having been duly sword to testifies as follows:

Q- what is your name and other personal circumstances?


A-I MARIA TRESS, single, 28 years old, and Resident of 23 of brgy Capit
binmaley

Q-Do you know the application for search warrant?


A-Yes

Q-Do you have personal knowledge that in said premises the following properties
are being kept being used for intended to be used without proper documents
A-Yes

Q-Do you know who is the persons who have or have control above describe
properties
A-Yes

Q-How did you know that the said properties are kept in his/her premises which are
subject of the offense?
A-we conducted discreet surveillance and it was that in keeping in his/her
premises/residence.
MARIA TRESS
Affiant
SUBSCRIBED and SWORN to before me this 13RD DAY of JULY 2009 at
BOLINAO CITY, Philippines.

MARTER BONIFACIO
Judge

SUBPOENA

REPUBLIC OF THE PHILIPPINES


REGIONAL TRIAL COURT
24 TH JUDICIAL
BRANCH 89
BULACAN

BEN TONG
Plaintiff Crim Case no514557
Versus For: Murder
DELFEN BAROK
Accused
x------------------------------------------------------------x

SUBPOENA

TO: MARK MAGSAYO

GREETINGS:

You are hereby commanded to appear before this Court of the 8th of January
2008 at 9:00 in the Morning then and here to testify in the above entitled case (s).

Fail not, under the penalty of the law.


WITNESS the Hon Ben Tong, Judge of this Curt, this 15th day of February 2008.

HERNY SEE
Branch Clerk of Court
REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
24 TH JUDICIAL
BRANCH 23
MAKATI

MARGARITO DOON
Plaintiff Crim Case no54155
Versus For: Murder
HATTON BERTING
Accused
x------------------------------------------------------------x

SUBPOENA

TO: MIGUEL COTTO

GREETINGS:

You are hereby commanded to appear before this Court of the 8th of January
2008 at 9:00 in the Morning then and here to testify in the above entitled case (s).

Fail not, under the penalty of the law.


WITNESS the Hon Ben Tong, Judge of this Curt, this 15th day of February 2008.

MANY PANGILINAN
Branch Clerk of Court
WARRANT OF ARREST

REPUBLIC OF THE PHILIPPINES


REGIONAL TRIAOL COURT
9TH JUDICIAL REGION
BRANCH 45
DAGUPAN CITY

PEOPLE OF THE PHILIPPINES


Complainant Criminal Case No. 13-5463-5
-vs-
JAPOY DELA CUADRA
Accused

TO ANY OFFICER OF THE LAW:

You are hereby commanded to arrest JAPOY DELA CUADRA to be found at Brgy.
TAPUAC, DAGUPAN City or anywhere in the Philippines and who have been
accused before this court with the crime of MURDER and deliver them for forth
with to the nearest police station or jail.

You are enjoined to execute this warrant of arrest within TEN (10) days receipt
hereof. Within ten (10) days after the expiration of such period, you are directed to
make report thereon to this court and in case of your failure to execute the same, to
state the reason therefore

There was NO BAIL, RECOMMENDED for the provisional liberty of the accuse in
this case.
Dagupan City, Philippines, this 25rd day of April 2005.

GERLIE MAGALONG
Judge
SEACH WARRANT

PEOPLE OF THE PHILIPPINES


Versus Criminal Case No. 56546
BAKI MAKOTCHI For: Theft

The undersigned Gilbert Gubatan after having been duly sworn, state:

1.That BAKI who may be found at 564 brgy. Tocok, Mapandan is in possession or
has his control two Cellphone Color blue with a brand name OPPO A3S and VIVO
Y15, One laptop, One silver necklace, one gold ring that he stolen at my house
which he is keeping and concealing in premises above described.

2. That a search should be issued to enable any agent of the law to take possession
and v=bring to this court, the following described property: two Cellphone Color
blue with a brand name OPPO A3S and VIVO Y15, One laptop, One silver necklace,
one gold ring that he stolen at my house.

Wherefore, the undersigned prays this honorable court to issue a search warrant
authorizing any agent of the Law to search the premises above described and to
seize and surrender to this Honorable Court the personal property mentioned above
to be dealt with as the law directs.

Mapandan, Philipines
26th of July, 2019

GELBERT DEGUSMAN
applicant

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