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REPUBLIC OF THE PHILIPPINES)

City of Cagayan de Oro ) S.S.

COMPLAINT-AFFIDAVIT

I, ALDRICH KILLIAN L. RIVERA, of legal age, single, withresidence at Purok 3-A, Barangay
Lapasan, Cagayan de Oro City,after being sworn to in accordance with law, hereby depose and state:

1. That I have known and familiarize the person of Accused FERRERO P. MARTINEZ, of legal
age, married to Anorica L. Martinezand a resident of Purok 5-B, Nazareth, Cagayan de Oro City.
Accused is also the father of my girlfriend Nikita Marie P. Martinez;

2. That on May 11, 2019 at around 10:30 o’clock in the evening, Nikita Marie called me thru phone
and asked me to fetch her homefrom a party which she never asked permission of from the Accused.
I asked my cousin Aira Dawn B. Rivera to accompany me in driving Nikita Marie home;

3. That upon arriving outside the Martinez residence, Accused who was seemingly having a few
drinks, rushed to the gate and approached us while we are coming out from the automobile. Accused
grabbed meby the neck and, armed with a .45 caliber pistol, pointed the gun to my
head and shouted, “Aha nimo gidala akong anak? Tubaga ko! Hat agan
tika’g napulo ka segundo para muhawa sa akong atubangan kung dilimulahos ning bala sa imong
ulo!” Nikita Marie tried to subdue his father but to no avail.

4. That during the altercation, my cousin Aira Dawn was fearfully observing the events as
they transpired. The affidavit of Aira Dawn B. Rivera is hereto integrally attached as Annex “A”;

5. That out of fear my life and that of my cousin’s, I gave in to his demands and fled the place
immediately soon thereafter;

6. That around 11:30 o’clock in the evening of the same date, I reported the matter to Police Station 9
and was officially entered in theblotter book by SPO3 Angeline L. Del Rosario. The blotter extract is
hereto integrally attached as Annex “B”;

7. That upon consultation of with my legal counsel on May 14, 2019, I was apprised that the acts
of the Accused qualify for the crime of grave threats punishable under Article 282 of the Revised Penal
Code. I went to the Office of the City Prosecutor to file charges against the Accused; and

8. That I am executing this affidavit to attest to the truth of the foregoing acts and for the purpose of
filing a criminal complaint of GRAVE THREATS against the accused, who may be served with
subpoenas and other court processes at his above-mentioned address.

IN WITNESS WHEREOF, I hereunto set my hand this 14th dayof May 2019 at Cagayan de Oro
City, Philippines.
ALDRICH KILLIAN L. RIVERA
Affiant-Complainant

SUBSCRIBED AND SWORN to before me this 14th day of May2019 at Cagayan de Oro City,
Philippines, affiant appearing before me with his Driver’s License No. 09528 issued by the Land
Transportation Office on January 14, 2018 at Cagayan de Oro City and I FURTHER

CERTIFY that I have personally examined the affiant and I am satisfiedthat he has read and
personally understood the contents of hisforegoing “Complaint-Affidavit”.

ROBERTO DA COSTAProsecutor II
Roll No. 54997-2006IBP No. 918646-1/3/12 - Cagayan de OroPTR No. 41195241/2/12 -Cagayan de
OroMCLE Compliance III No. 003734Issued on April 25, 2018
REPUBLIC OF THE PHILIPPINES )
Province of Pangasinan ) S.S.
______________ )

COMPLAINT-AFFIDAVIT

I, Genaro Emilio M. Silvestre, of legal age, married and a resident


of G. Velasco St., Poblacion West, Asingan, Pangasinan, after being sworn to
in accordance with law, hereby depose and state that:

1. I am one of the fiduciaries or attorneys-in-fact of Ms. Carmen


Gonzales Dancel, one of the heirs of Anunciacion Gonzales married to
Emilio Dancel, the registered owners of TCT No. 028-22438 containing an
area of 210,203 square meters, more or less, and located in the
Municipality of San Manuel, Pangasinan. Attached hereto as Annexes “A”
and “B” and made an integral part of this affidavit are the Affidavit of
Ownership and Control and TCT No. 028-22438;

2. Being one of the fiduciaries or attorneys-in-fact of the Dancel family, I


was tasked to till some portions and oversee the landholding described in the
aforementioned title;

3. During one of my visits to the said landholding on January 9,


2023, 2023 at around 4:00 o’clock in the afternoon, I was followed by Rogelio
Adawag and Armando Arzadon;

4. Both Adawag and Arzadon suddenly approached me wherein


Arzadon grabbed me by my bag while Adawag picked up a large stone
approximately 7 inches in diameter, made a pose to strike me while uttering
the words in the Ilocano dialect “okitnam pakpakek ta ulom!”;

5. Fortunately, out of fear for my life, I got loose from the hold
Arzadon giving me the opportunity to flee until I reached my motorcycle,
immediately boarded it and ran away;

6. While I was fleeing away from Adawag and Arzadon, the duo
hurriedly boarded their vehicle, a white Mitsubishi Adventure whichafter
they pursued me;
7. In pursuit of me, the driver wanted to bump or crash their
vehicle into my motorcycle and wanted to cause bodily harm to my person;

8. I stopped at the Barangay Hall of San Vicente East of Asingan to


seek assistance;

9. Even at the Barangay Hall of San Vicente, Adawag and Arzadon


wanted to assault me but they were prevented by the barangay officials
present therein;

10. That I have known and familiarized the person of Rogelio Adawag
and Armando Arzadon, both of legal age, residents of San Vicente East, and Poblacion
West, Asingan, Pangasinan, respectively;

11. That around 5:00 and 6:00 o’clock in the afternoon of the same date, I
reported the matter to the Barangay Hall of San Vicente East, Asingan, Pangasinan
and the Asingan Municipal Police Station and was officially entered in their blotter
book by Punong Barangay Romeo D. Romatan and PCpl Joseph C. Del Rosario,
respectively. The blotter extract of Barangay San Vicente East and Asingan Municipal
Poloce Station pertinent to this matter are hereto integrally attached as Annexes
“C” and “D”;

12. That upon consultation with my legal counsel on January 13, 2023, I
was apprised that the acts of the Adawag and Arzadon qualify for the crime of grave
threats punishable under Article 282 of the Revised Penal Code;

13. That I am executing this affidavit to attest to the truth of the foregoing
acts and for the purpose of filing a criminal complaint of GRAVE THREATS
against the Adawag and Arzadon, who may be served with subpoenas and other court
processes at their above-mentioned address.

IN WITNESS WHEREOF, I hereunto set my hand this ___ day


January 2023 at ________________.

GENARO EMILIO M. SILVESTRE


Affiant
SUBSCRIBED AND SWORN to before me this 14th day of May2019 at Cagayan
de Oro City, Philippines, affiant appearing before me with his Driver’s License No.
09528 issued by the Land Transportation Office on January 14, 2018 at Cagayan de
Oro City and I FURTHER

CERTIFY that I have personally examined the affiant and I am satisfiedthat he has
read and personally understood the contents of hisforegoing “Complaint-
Affidavit”.

ROBERTO DA COSTAProsecutor II
Roll No. 54997-2006IBP No. 918646-1/3/12 - Cagayan de OroPTR No.
41195241/2/12 -Cagayan de OroMCLE Compliance III No. 003734Issued on April
25, 2018

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