Professional Documents
Culture Documents
AFFIDAVIT OF DESISTANCE
2. That after mature deliberation, I came into conclusion that the filing of
the instant case arose merely out of misapprehension of facts and
misunderstanding;
3. That in view of this, I am no longer interested in the further prosecution
of the case against accused MARILYN MANIEGO y BEO and I pray that
this case be dismissed;
5. That in executing this Affidavit I was not coerced, intimidated, paid nor
given any consideration by any person;
___________________________________________
Trial Prosecutor/Administering Officer
Copy furnished :
AFFIDAVIT OF DESISTANCE
SEVERINA O. MANHILOT
Private Complainant
____________________________________
Trial Prosecutor/Administering Officer
Copy furnished :
AFFIDAVIT OF DESISTANCE
We are the parents of the deceased minor Jaylord Jacla who died on September 30, 2007
at Provincial Hospital, Malolos City, Bulacan;
That our said child is a victim of vehicular accident which happened at Frances,
Calumpit, Bulacan on September 30, 2007 involving Reynaldo C. Viray., Sr., the owner –driver
of a Mitsubishi Adventure covered by Certificate of Registration No. -------- registered in the
name of Reynaldo C. Viray, Sr.;
That after evaluation the circumstances which resulted to the death of our said child, the
untimely death of our child was a result of an accident without any malice and criminal intention
on the part of Reynaldo C. Viray, Sr.;
That we are not coerced, intimidated or any manner forced in deciding to desist from the
filing and prosecution of any case against him;
That we are executing this affidavit of desistance voluntarily and freely on our part.
IN WITNESS WHEREOF, we have hereunto set our hands this 2 nd day of July, 2008, at
Malolos City, Bulacan.
__________________________ __________________________
Affiant Affiant
SUBSCRIBED AND SWORN to before me this 2 nd day of July, 2008 at Malolos City,
Bulacan, I hereby certify that I have personally examined the complainants and I am satisfied
that the AFFIDAVIT OF DESISTANCE is their true and voluntary act and deed.
__________________________
Asst. Provincial Prosecutor.
AFFIDAVIT OF DESISTANCE
We, MA CECILIA CRUZ ABAC, KENNETH CRUZ ABAC and REGIE CRUZ ABAC,
all of legal age, Filipinos and with postal address at Gatbuca, Calumpit, Bulacan, after having
been duly sworn to in accordance with law, do hereby depose and say:
1. – That we are the private complainants in I.S. No. 08-06-2951 for Grave Threath
against LYNDON CALMA pending before the Office of the Provincial Prosecutor, Malolos
City, Bulacan;
2. – That after careful study of the facts and circumstances surrounding the filing of the
present case, we came to realize and found that the same incident was the result of pure
misunderstanding and that respondent LYNDON CALMA has no criminal intention to do the
acts being complaint of;
3. – That for the foregoing reason we lost interest in the further prosecution of this case
against LYNDON CALMA and such being the case, express our voluntary desistance relative
thereto;
4. – That we were not offered any money or property and neither were we intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, we have hereunto set our hands this 2 nd day of July, 2008, at
Malolos City, Bulacan.
SUBSCRIBED AND SWORN to before me this 2 nd day of July, 2008 at Malolos City,
Bulacan, I hereby certify that I have personally examined the complainants and I am satisfied
that the AFFIDAVIT OF DESISTANCE is their true and voluntary act and deed.
__________________________
Asst. Provincial Prosecutor.
REPUBLIC OF THE PHILIPPINES )
MALOLOS CITY, BULACAN . . . . ) S.S.
AFFIDAVIT OF DESISTANCE
We, MA. CRISTINA MAGAT and KEITH MICHAEL S. MAGAT, both of legal age,
Filipinos and with postal address at Poblacion, Calumpit, Bulacan, after having been duly sworn
to in accordance with law, do hereby depose and say:
1. – That we are the private complainant in Crim Case No. 3704-M-07 for Attempted
Homicide against LARITO M. MELIS pending before the Regional Trial Court of Bulacan
Branch 16;
2. – That after careful study of the facts and circumstances surrounding the filing of the
present case, we came to realize and found that the same incident was the result of pure
misunderstanding and that respondent LARITO M. MELIS has no criminal intention to do the
acts being complained of;
3. – That for the foregoing reason we lost interest in the further prosecution of this case
against LARITO M. MELIS and such being the case, express our voluntary desistance relative
thereto;
4. – That we were not offered any money or property and neither were we intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, we have hereunto set my hand this 7 th day of July, 2008, at
Malolos City, Bulacan.
SUBSCRIBED AND SWORN to before me this 7 th day of July, 2008 at Malolos City,
Bulacan, I hereby certify that I have personally examined the complainants and I am satisfied
that the AFFIDAVIT OF DESISTANCE is her true and voluntary act and deed.
__________________________
Asst. Provincial Prosecutor.
We, HONORATA DELA CRUZ, widow and LORENCE DELA CRUZ, minor,
Filipinos and residents of Sagrada Familia, Hagonoy, Bulacan after having been duly sworn to in
accordance with law, do hereby depose and say:
1. – That we are the private complainants in NPS No. III-04-INV-11D-00776 for Rape in
Relation to R.A. 7610 against RICARDO JAVIER pending before the Office of the Provincial
Prosecutor of Bulacan;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, we came to realize and found that the same incident was the result of pure
misunderstanding and that the accused have no criminal intention to do the acts being
complained of;
3. – That for the foregoing reason we lost interest in the further prosecution of this case
against all the accused and such being the case, express our voluntary desistance relative thereto;
4. – That we were not offered any money or property and neither were intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, we have hereunto set our hands this __day of __________,
2011 at Malolos City, Bulacan.
____________________________
Asst. Provincial Prosecutor
AFFIDAVIT OF DESISTANCE
I, RICKY DE CASTRO, of legal age, Filipino and with office address at CARE Multi
Purpose Cooperative, Calumpit Public Market, Calumpit, Bulacan, after having been duly sworn
to in accordance with law, do hereby depose and say:
1. – That I am the private complainant in Crim Case No. 7585 for Violation of B.P. 22
against Ma. Theresa L. Santos pending before the Municipal Trial Court of Calumpit, Bulacan;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of pure
misunderstanding and that all the accused has no criminal intention to do the acts being
complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, I have hereunto set my hand this __day of __________, 2010
at Malolos City, Bulacan.
RICKY DE CASTRO
Affiant
____________________________
Asst. Provincial Prosecutor.
AFFIDAVIT OF DESISTANCE
I, REDEL KARLO F. TANJUAN, of legal age, single, Filipino and resident of 058 Sta.
Lucia, Calumpit, Bulacan, after having been duly sworn to in accordance with law, do hereby
depose and say:
1. – That I am the private complainant in Crim. Case No. 117-M-2010 for Slight
Physical Injuries against Eddie Boy Esmas, et al., pending before the Regional Trial Court of
Bulacan;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of pure
misunderstanding and that all the accused has no criminal intention to do the acts being
complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, I have hereunto set my hand this __day of __________, 2011
at Malolos City, Bulacan.
____________________________
Asst. Provincial Prosecutor.
AFFIDAVIT OF DESISTANCE
I, VILMA SAN PEDRO, of legal age, Filipino and with residence and postal address at
Siksikan Matanda, Talavera, Nueva Ecija, after having been duly sworn to in accordance with
law, do hereby depose and say:
1. – That I am the private complainant in I.S. No. ___________ for Reckless Imprudence
Resulting to Homicide and Serious Physical Injuries against Carlo Sibal pending before the
Office of the Provincial Prosecutor, Nueva Ecija;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of acts without
fault from the accused and that the accused has no criminal intention to do the acts being
complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, I have hereunto set my hand this __day of __________, 2012
at Cabanatuan City, Nueva Ecija.
____________________________
Asst. Provincial Prosecutor.
AFFIDAVIT OF DESISTANCE
I, ANNA DECENA, of legal age, Filipino and with residence and postal address at Sta.
Maria, Licad, Nueva Ecija, after having been duly sworn to in accordance with law, do hereby
depose and say:
1. – That I am the private complainant in I.S. No. ___________ for Serious Physical
Injuries against Carlo Sibal pending before the Office of the Provincial Prosecutor, Nueva
Ecija;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of acts without
fault from the accused and that the accused has no criminal intention to do the acts being
complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, I have hereunto set my hand this __day of __________, 2012
at Cabanatuan City, Nueva Ecija.
ANNA DECENA
Affiant
____________________________
Asst. Provincial Prosecutor
AFFIDAVIT OF DESISTANCE
I, JOSELITO F. NAGUIT, of legal age, Filipino and with office address at 111 Panay
Avenue, Quezon City, after having been duly sworn to in accordance with law, do hereby depose
and say:
1. – That I am the private complainant in Crim. Case No. 13-01143 for Violation of BP
22 against ROSANNA A. SEPNIO pending before the Metropolitan Trial Court, Branch 43-
Quezon City involving the amount of P172,000.00;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of acts without
fault from the accused and that the accused has no criminal intention to do the acts being
complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
JOSELITO F. NAGUIT
Affiant
TIN 209-167-224
SUBSCRIBED AND SWORN to before me this ___ day of ___________ at Quezon
City, I hereby certify that I have personally examined the complainant and I am satisfied that the
AFFIDAVIT OF DESISTANCE is his true and voluntary act and deed.
____________________________
Asst. City Prosecutor
AFFIDAVIT OF DESISTANCE
I, JOSELITO F. NAGUIT, of legal age, Filipino and with office address at 111 Panay
Avenue, Quezon City, after having been duly sworn to in accordance with law, do hereby depose
and say:
1. – That I am the private complainant in Crim. Case No. 86-M-2012 for “Qualified
Theft” against JERICO VALENZUELA y MANGOMA and JAYSON AMAR y ESOGA
pending before the Regional Trial Court of Bulacan, Branch 78;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of acts without
fault from the accused and that the accused JAYSON AMAR y ESOGA has no criminal
intention to do the acts being complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused JAYSON AMAR y ESOGA and such being the case, express my voluntary
desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, I have hereunto set my hand this __ day of October, 2013 at
Malolos City, Bulacan.
JOSELITO F. NAGUIT
Affiant
TIN 209-167-224
SUBSCRIBED AND SWORN to before me this ___ day of October, 2013 at Malolos
City, Bulacan, I hereby certify that I have personally examined the complainant and I am
satisfied that the AFFIDAVIT OF DESISTANCE is his true and voluntary act and deed.
____________________________
Asst. Provincial Prosecutor
REPUBLIC OF THE PHILIPPINES )
MALOLOS CITY, BULACAN ) S.S.
AFFIDAVIT OF DESISTANCE
I, JOSELITO F. NAGUIT, of legal age, Filipino and with office address at 111 Panay
Avenue, Quezon City, after having been duly sworn to in accordance with law, do hereby depose
and say:
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of acts without
fault from the accused RICARTE A. PEDRO and that the accused has no criminal intention to
do the acts being complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
JOSELITO F. NAGUIT
Affiant
TIN 209-167-224
____________________________
Asst. Provincial Prosecutor
I, ADAM D. MIRABEL, of legal age, Filipino and resident of Bliss Tabe, Guiguinto,
Bulacan, after having been duly sworn to in accordance with law, do hereby depose and say:
1. – That I am the private complainant in Crim. Case No. __________ for Violation of
BP 22 against GERARDO R. CRUZ pending before the Municipal Trial Court, Baliuag, Bulacan
involving the amount of Php2,392,251.00;
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of acts without
fault from the accused and that the accused has no criminal intention to do the acts being
complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the accused and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, I have hereunto set my hand this __ day of January, 2014 at
Malolos City, Bulacan.
ADAM D. MIRABEL
Affiant
Postal ID No. 4304453
SUBSCRIBED AND SWORN to before me this ___ day of January, 2014 at Malolos
City, Bulacan I hereby certify that I have personally examined the complainant and I am satisfied
that the AFFIDAVIT OF DESISTANCE is his true and voluntary act and deed.
____________________________
Asst. Provincial Prosecutor
AFFIDAVIT OF DESISTANCE
2. – That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, I came to realize and found that the same incident was the result of acts without
fault from the respondent and that the respondent did not commit the acts being complained of;
3. – That for the foregoing reason I lost interest in the further prosecution of this case
against the respondent and such being the case, express my voluntary desistance relative thereto;
4. – That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
CONSTANTINO V. POLLOSO
Affiant
Valid ID No. _______
____________________________
Asst. Provincial Prosecutor
AFFIDAVIT OF DESISTANCE
I, GLADINA PAGTALUNAN, of legal age, married, Filipino and resident of #001 Sto.
Tomas St., Santolan, Pasig City, after having been duly sworn to in accordance with law, do
hereby depose and say:
3. That for the foregoing reason I lost interest in the further prosecution of this case
against the respondent and such being the case, express my voluntary desistance relative thereto;
4. That I was not offered any money or property and neither was I intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, I have hereunto set my hand this 1 st day of December, 2015
at Malolos City, Bulacan.
GLADINA PAGTALUNAN
Affiant
UMID 0033-7675416-8
____________________________
Asst. Provincial Prosecutor
AFFIDAVIT OF DESISTANCE
I, ANTONIO R. ADRANEDA, JR., of legal age, single, Filipino and resident of Blk. 1
Lot 7 Sec. 16 Phase 2, Pabahay 2000, Muzon, City of San Jose del Monte, Bulacan, after having
been duly sworn to in accordance with law, do hereby depose and say:
2. That I am no longer interested to further prosecute the said case for humanitarian
purposes, peace of mind as the respondent is also my neighbor;
3. That the filing of the case was done in good faith and that when this case is dismissed
I could no longer re-file the same in Court;
4. That my withdrawal of the case does not involve monetary considerations and/or
financial matters but only fore the reasons mentioned above;
5. That I am executing this affidavit to attest the truthfulness of the above quoted
circumstances and for whatever legal intent and purposes it is deemed proper.
IN WITNESS WHEREOF, I have hereunto set my hand this 1 st day of December, 2015
at Malolos City, Bulacan.
____________________________
Asst. Provincial Prosecutor
REPUBLIKA NG PILIPINAS )
LALAWIGAN NG BULACAN ) S.S.
SINUMPAANG SALAYSAY
(PAG-UURONG NG SAKDAL)
1. Na, kami ang nagsakdal laban kina FRANKLINE CLEMENTE, VIRGILIO TELAN,
JIMMY SALAZAR, FRED CIERVO, ERSON MORALES, CESAR VILLAFUERTE, JR.,
RONALD ORTIZ, JR., at isang alyas “OQUE”, ng Riverside Brgy. Tikay, Malolos City,
Bulacan, ng kasong “Malicious Mischief at Physical Injury” at kasalukuyang dinidinig sa Office
of the Provincial Prosecutor, Malolos City, Bulacan, na may NPS No. III-04-INV-14G-01694;
2. Na, matapos naming pagbalik isipan ang mga pangyayari na aming naging batayan ng
pasampa ng nasabing usapin, kami ay lubos na naniniwala na ang lahat ay bunga lamang ng
hindi pagkakaunawaan ng lahat ng mga taong sangkot dito, at walang sinumang dapat
papanagutin sa pangyayari;
4. Na, dahil dito, kami ay hindi na nagnanais na ipagpatuloy pa ang aming pag-uusig
laban kina FRANKLINE CLEMENTE, VIRGILIO TELAN, JIMMY SALAZAR, FRED
CIERVO, ERSON MORALES, CESAR VILLAFUERTE, JR., RONALD ORTIZ, JR., at isang
alyas “OQUE” sa nasabing usapin;
5. Na, dahil sa kapasyahan naming ito, aming hinihiling sa Kagalang-galang na Taga-
usig na ipawalang saysay ang usapin na ito laban kina FRANKLINE CLEMENTE, VIRGILIO
TELAN, JIMMY SALAZAR, FRED CIERVO, ERSON MORALES, CESAR VILLAFUERTE,
JR., RONALD ORTIZ, JR., at isang alyas “OQUE”;
6. Na, ito ay sarili naming kapasyahan, walang sinumang taong tumakot, namilit o dili
kaya ay nagbayad, nagbigay ng pabuya o nangako ng anumang kapalit;
7. Na, ganap ang aming kaalaman na sakaling ang usapin na ito ay mapapawalang
saysay, ito ay hindi na maaari pang buksang muli;
8. Na, kung ang usapin ay mapawalang saysay, wala kaming dapat sisihin maliban sa
aming sarili dahil sa kapasiyahan naming ito.
Pah. 2 –
__________________________
Asst. Provincial Prosecutor
REPUBLIKA NG PILIPINAS )
LALAWIGAN NG BULACAN ) S.S.
SINUMPAANG SALAYSAY
(PAG-UURONG NG SAKDAL)
Kami, BEA BIANCA S. CRUZ, 14 tagong gulang, at GLENDA S. CRUZ, nasa hustong
gulang, Pilipino at naninirahan sa Brgy. San Pascual, Hagonoy, Bulacan, na matapos
makapanumpa sa ilalim ng batas ay malaya at kusang loob na nagpapahayag ng mga sumusunod:
2. Na, matapos naming pagbalik isipan ang mga pangyayari na aming naging batayan ng
pasampa ng nasabing usapin, kami ay lubos na naniniwala na ang lahat ay bunga lamang ng
hindi pagkakaunawaan ng lahat ng mga taong sangkot dito, at walang sinumang dapat
papanagutin sa pangyayari;
4. Na, dahil dito, kami ay hindi na nagnanais na ipagpatuloy pa ang aming pag-uusig
laban kina RCIN S. MEDINA at CHRISTIAN S. MANSILUNGAN sa nasabing usapin;
6. Na, ito ay sarili naming kapasyahan, walang sinumang taong tumakot, namilit o dili
kaya ay nagbayad, nagbigay ng pabuya o nangako ng anumang kapalit;
7. Na, ganap ang aming kaalaman na sakaling ang usapin na ito ay mapapawalang
saysay, ito ay hindi na maaari pang buksang muli;
8. Na, kung ang usapin ay mapawalang saysay, wala kaming dapat sisihin maliban sa
aming sarili dahil sa kapasiyahan naming ito.
Pah. 2 –
Sa Gabay ni:
GLENDA S. CRUZ
Ina ng Nagsalaysay
DSWD ID Blg. 031409016-5151-00031
__________________________
Asst. Provincial Prosecutor
REPUBLIC OF THE PHILIPPINES
DEPARTMENT OF JUSTICE
OFFICE OF THE PROVINCIAL PROSECUTOR
CITY OF SAN FERNANDO, PAMPANGA
AFFIDAVIT OF DESISTANCE
We, MIGUELA F. CAPILI and MARIEFEL F. CAPILI, both of legal ages, Filipinos
and residents of #349 Pena Francia St., Perpetual Heights Subd., Apalit, Pampanga, after having
been duly sworn to in accordance with law, do hereby depose and say:
2. That after careful evaluation of the facts and circumstances surrounding the filing of
the present case, we came to realize and found that the same incident was the result of
acts without fault from the respondents and that the respondents did not commit the
acts being complained of;
3. That for the foregoing reason we lost interest in the further prosecution of this case
against the respondents and such being the case, express our voluntary desistance
relative thereto;
4. That we were not offered any money or property and neither were intimidated or
threatened by any person in executing this desistance.
IN WITNESS WHEREOF, we have hereunto set our hands this __ day of April 2016 at
San Fernando, Pampanga, Bulacan.
Page 2 –
SUBSCRIBED AND SWORN to before me this __ day of April, 2016 at San Fernando,
Pampanga, I hereby certify that I have personally examined the affiants and that I am satisfied
that they voluntarily executed and understood their Affidavit.
____________________________
Asst. Provincial Prosecutor
REPUBLIKA NG PILIPINAS )
LALAWIGAN NG BULACAN ) S.S.
SINUMPAANG SALAYSAY
(Affidavit of Desistance)
4. NA, siya ay nangako na hindi na mauulit sa kahit kaninong bata o estudyante ang
ganitong insidenteng dulot ng hindi pagkakaunawaan;
5. NA, ganap ang aming kaalaman na sakaling ang usapin na ito ay mapapawalang
saysay, ito ay hindi na maaari pang buksang muli;
6. NA, ito ay sarili naming kapasyahan, walang sinumang taong tumakot, namilit o dili
kaya ay nagbayad, nagbigay ng pabuya o nangako ng anumang kapalit.
That I am the private complainant in the above-stated criminal case and is presently being tried
in MTC-Malolos City Branch __;
That after mature deliberation, I came into conclusion that the filing of the instant case arose
merely out of misapprehension of facts and misunderstanding;
That in view of this, I am no longer interested in the further prosecution of the case against
accused _________ and I pray that this case be dismissed;
That I understand that once the instant case is dismissed it can no longer be revived;
That in executing this Affidavit I was not coerced, intimidated, paid nor given any consideration
by any person;
That I voluntarily execute this Affidavit for the above-stated purpose of and further, to attest the
truth of all foregoing and for other legal intents and purposes it may serve.
AFFIDAVIT OF DESISTANCE
1. That my minor child Jhudelle Riane Ferrer Salonga and I are the
private complainants in the above-stated criminal case and is
presently being tried in RTC-Malolos City Branch 10;
______________________________
Trial Prosecutor/Administering Officer
Copy furnished :
PAMELA P. CALMA,
Respondent.
x-----------------------x
AFFIDAVIT OF DESISTANCE
2. That after mature deliberation, I came into conclusion that the filing of
the instant case arose merely out of misapprehension of facts and
misunderstanding;
LYNDON CALMA
Private Complainant
___________________________________
Trial Prosecutor/Administering Officer
Na ako ang siyang Private Complainant sa isang usaping criminal(Violation of RA 7610)
na may pamagat na “People of the Philippines vs. ADRIAN DAVID” na kasalukuyang
nakabinbin sa RTC-Malolos City, Branch 79at may Crim. Case No. 3943-M-2017;
Na matapos kong pagbalik isipan ang mga pangyayari, ako ay lubos na naniniwala na ang
lahat ay bunga lamang ng hindi pagkakaunawaan at kawalang ng tamang pag-iintindi sa
mga pangyayari at bagay-bagay sa taong sangkot ditto;
Na dahil dito, ako ay hindi na nagnanais na ipagpatuloy pa ang aking pag-uusig laban kay
ADRIAN DAVID sa nabanggit na dahilan;
Na ito ay sarili kong kapasyahan, walang sinumang taong tumakot, namilit, o dili kaya ay
nagbayad, nagbigay pabuya o nangako ng anumang kapalit;
Na ganap ang aking kaalaman na sakaling ang usaping ito ay mapawalang saysay, ito ay
hindi na paaari pang buksang muli.
SINUMPAANG SALAYSAY
(PAG-UURONG NG SAKDAL)
______________________________
Trial Prosecutor/Administering Officer
SINUMPAANG SALAYSAY
(PAG-UURONG NG SAKDAL)
ADRIAN DAVID,
Accused.
x--------------------x
SINUMPAANG SALAYSAY
(PAG-UURONG NG SAKDAL)
Sa aking pag-gabay:
GEMMA E. MALLARI
Ina
___________________________________
Trial Prosecutor/Administering Officer
_________________________)
_________________________) S.S.
AFFIDAVIT OF DESISTANCE
5. That in executing this Affidavit I was not coerced, intimidated, paid nor
given any consideration by any person;
______________________________________
Administering Officer
Copy furnished :
AFFIDAVIT OF DESISTANCE
2. That after mature deliberation, I came into conclusion that the filing of
the instant case arose merely out of misapprehension of facts and
misunderstanding;
3. That in view of this, I am no longer interested in the further prosecution
of the case against accused LUISITO F. AGAPITO and I pray that this
case be dismissed;
5. That in executing this Affidavit I was not coerced, intimidated, paid nor
given any consideration by any person;
_________________________________
Trial Prosecutor/Administering Officer
Copy furnished:
AKO PO si ___________, nasa hustong taong gulang, naninirahan sa Brgy. _____, matapos na
makapanumpa sa ilalim ng batas ay malaya at kusang loob na nagpapahayag ng mga sumusunod:
Na ako ang siyang Private Complainant sa kasong “People of the Philippines vs. ______” sa
kasong ____ na kasalukuyang binibista sa RTC-Malolos Branch ___ (Crim. Case No. _______);
Na matapos ko pong pagbalik isipan ang mga pangyayari, ako ay lubos na naniniwala na ang
lahat ay bunga lamang ng hindi pagkakaunawaan at kawalan ng tamang pag-intindi sa mga
pangyayari at bagay-bagay sa taong sangkot dito;
Na ang lahat po ng aking testimonya (direct testimony at cross examination) RTC-Malolos Br.
___ at ang aking
___________________________________
Trial Prosecutor/Administering Officer
JUANITO P. BELARMINO,
JAMES MELVIN S. RAMIREZ
and EDWIN A. MENES,
Respondents.
x-----------------------x
AFFIDAVIT OF DESISTANCE
I, BRENDA D. PINEDA, of legal age, married, Filipino and resident of
Hangga St., Brgy. Longos, Malolos City, Bulacan, after having been duly sworn to in
accordance with the law hereby avers:
2. That after mature deliberation, I came into conclusion that the filing of the
instant case arose merely out of misapprehension of facts and misunderstanding;
4. That I understand that once the instant case is dismissed it can no longer be
revived;
5. That in executing this Affidavit I was not coerced, intimidated, paid nor given
any consideration by any person;
6. That I voluntarily execute this Affidavit for the above-stated purpose of and
further, to attest the truth of all foregoing and for other legal intents and purposes it
may serve.
BRENDA D. PINEDA
Affiant
UMID CRN 0111-0227610-0
_____________________________
Trial Prosecutor/Administering Officer
Republic of the Philippines
MUNICIPAL TRIAL COURT
Marilao, Bulacan
AFFIDAVIT OF DESISTANCE
I, YIPING LIU, of legal age, Filipino and with postal address at SMDC
Breeze Residence, Pasay City, after having been duly sworn to in accordance
with the law hereby avers:
2. That after mature deliberation, I came into conclusion that the filing
of the instant case arose merely out of misapprehension of facts and
misunderstanding;
YIPING LIU
Affiant
Assisted by: SSRN 18101YL1123154615
___________________________________________
Trial Prosecutor/Administering Officer
REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
THIRD JUDICIAL REGION
Malolos City, Bulacan
Branch 85
MICHAEL GREGORIO,
Accused.
x---------------------x
SINUMPAANG SALAYSAY
(PAG-UURONG NG SAKDAL)
CRIZALY V. MANCILLA
Nagsalaysay
Postal ID No. PRNE30180532494
Sa aking pag-gabay:
HELEN V. MANCILLA
Ina
___________________________________
Trial Prosecutor/Administering Officer
LILIA P. ELMAN
Nagsalaysay
ID No. __________
___________________________
Trial Prosecutor/Administering Officer
5. Na ito ay sarili kong kapasyahan, walang sinumang taong tumakot, namilit, o dili
kaya ay nagbayad, nagbigay pabuya o nangako ng anumang kapalit;
MICHAEL P. MENDOZA
Nagsalaysay
ID No. __________
2. That after mature deliberation, I came into conclusion that the filing of the
instant case arose merely out of misapprehension of facts and misunderstanding;
4. That I understand that once the instant case is dismissed it can no longer be
revived;
5. That in executing this Affidavit I was not coerced, intimidated, paid nor given any
consideration by any person;
6. That I voluntarily execute this Affidavit for the above-stated purpose of and
further, to attest the truth of all foregoing and for other legal intents and
purposes it may serve.
ARNOLD S. ANDRES
Private Complainant
Driver’s License ID No. N25-97-026538
_____________________________
Trial Prosecutor/Administering Officer
AFFIDAVIT OF DESISTANCE
(PAG-UURONG NG SAKDAL)
JOCHELLE BATALLA
Nagsalaysay
Ginabayan ni:
CAROLINA BATALLA
Lola ni Jochelle Batalla
___________________________________
Trial Prosecutor/Administering Officer
2. That after mature deliberation, I came into conclusion that the filing of the
instant case arose merely out of misapprehension of facts and misunderstanding;
4. That I understand that once the instant case is dismissed it can no longer be
revived;
5. That in executing this Affidavit I was not coerced, intimidated, paid nor given any
consideration by any person;
6. That I voluntarily execute this Affidavit for the above-stated purpose of and
further, to attest the truth of all foregoing and for other legal intents and
purposes it may serve.
RENZEN S. MONTALBAN
Private Complainant
LRN ID No. 1053 4112 0101
Assisted by:
ZENAIDA M. SARMIENTO
Mother