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Republic of the Philippines)

City of Lucena ) S.S.


Quezon Province )
x-----------------------------------------x

JOINT COMPLAINT-AFFIDAVIT

The undersigned Complaints, PT Mike Jay R Viaña, PT Ralph Carl S


Tero, PT Joey M Quimo, PT R-jay P Tagnong, PT John-John S Samole, PT
Rainer S Villena, PT Diether M Sabado and PT John Bryan C Pidlaon, all of legal
age, Filipinos, NCRTC police trainees after having been sworn in accordance
with law, hereby depose and state that:

This Joint Complaint-Affidavit is being filed to hold into account PT Benzon


C Sindac, police trainee in NCRTC Campsite Brgy Domoit, Lucena City, Quezon
Province.

BRIEF STATEMENTS OF RELEVANT FACTS AND CIRCUMSTANCES

The plaintiff PT Mike Jay R Viaña, PT Ralph Carl S Tero, PT Joey M


Quimo, PT R-jay P Tagnong, PT John-John S Samole, PT Rainexr S Villena, PT
Diether M Sabado and PT John Bryan C Pidlaon, all of them are members of
Class Hawk, police trainees of PSBRC Batch 2022-02 “MAHIRANG” submitted
complaints against the respondent PT Benzon C Sindac of same class and batch
allegedly threatening to do physical harm, threatening his tentmate to RTU –
Return to Unit with the use of his connections, asking for fist fight without prove
through by means of conclusion and judgement by his connections.

STATEMENT OF FACTS AND CIRCUMSTANCES ON THE BASIS OF THE


PERSONAL KNOWLEDGE OF COMPLAINANT PT DIETHER M SABADO

On December 18, 2022, I was still member of the battalion staff when PT
Benzon C Sindac on the time is having an argument with a fellow tentmate
during Personal Necessity, I was in proper authority to do actions to stop the
commotion, during the argument I voluntarily mediate and stop the heated
conversation with good faith in order to prevent future harm. The respondent
immediately cursed on me and told me that I will be endorsed to be RTU while I
am here inside the training center and I was also told to be “Pass the word”
through his connections after the PSBRC.

On January 29, 2023 the respondent still threatening my personal life


verbally while I was in the formation without any reason.

STATEMENT OF FACTS AND CIRCUMSTANCES ON THE BASIS OF THE


PERSONAL KNOWLEDGE OF COMPLAINANT PT MIKE JAY R VIAÑA,
PT RALPH CARL S TERO, PT JOEY M QUIMO, PT R-JAY P TAGNONG, PT
JOHN-JOHN S SAMOLE, PT RAINER S VILLENA, PT JOHN BRYAN C
PIDLAON AS PROVIDED IN THE ATTACHED SWORN JOINT AFFIDAVIT OF
THE AFORE-CITED PERSONS.

On January 29, 2023, while preparing for the formation, and making a
conversation to each other, police trainees of Tent 5 and PT Benzon C Sindac of
Class Hawk have a small argument that led to PT Benzon C Sindac uncommon
reactions of always making threats, initiating a fight, threatening of stabbing a
tentmate, accusing fellow trainees of stealing his belongings and threatening
trainees he has argument with to be endorsed to RTU as he claims to have
connections to a PNP PCO specifically to PLTGEN Danao. This situation is a
common problem of his tentmates who have submitted a complaint against PT
Benzon C Sindac unacceptable behavior that may jeopardize the health and
safety of the trainees.

IN WITNESS WHEREOF, we have here to fixed our hands this ___ of January
2022 at NCRTC Campsite Domoit, Lucena City, Quezon Province.

___________________
PT DIETHER M SABADO
Affiant

___________________
PT MIKE JAY R VIAÑA
Affiant

___________________
PT RALPH CARL S TERO
Affiant

___________________
PT JOEY M QUIMO
Affiant

___________________
PT R-JAY P TAGNONG
Affiant

___________________
PT JOHN-JOHN S SAMOLE
Affiant

____________________
PT RAINER S VILLENA
Affiant

____________________
PT JOHN BRYAN C PIDLAON
Affiant

SUBSCRIBED AND SWORN TO before me this of 21th day of October


2022 at NCRTC Campsite Domoit, Lucena City Quezon Province. I hereby certify
that I have personally examined the affiants and I am truly satisfied that they had
read and understood this affidavit and that they executed the same freely and
voluntarily.

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