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REPUBLIC OF THE PHILIPPINES)

CITY OF MAKATI ) S.S.

COMPLAINT AFFIDAVIT

I, ABIGAIL LOUIS GREGORIO, of legal age, and residing at 92 Acacia


Street, Cembo, Makati City, after having been sworn to in accordance with law, hereby
deposes and says that:

1) I and ALLEN XANDER GERMAR (hereinafter referred to as


RESPONDENT), of legal age and presently residing at 28 San Rafael Street, Brgy.
Plainview, Mandaluyong City, became romantically involved sometime in the year 2008;

2) Out of our intimate relationship we begot a daughter in the name of


Alleyhna Gail G. Germar who was born on October 15, 2011. Attached herewith and
marked as Annex “A” is a photocopy of the Certificate of Live Birth of Richard issued by
the National Statistic Office (NSO);

3) After the birth of our daughter, the RESPONDENT who was then still
living with us used to give us financial support for our daily expenses and sustenance.
However in the year 2013, the RESPONDENT suddenly left and abandoned us and
stopped the giving financial support;

4) I have various documents evidencing the RESPONDENT’s


acknowledgement of our daughter Alleyhna Gail G. Germar such as a Affidavit to use the
Surname of the Father signed by the RESPONDENT, and a document written and signed
also by the RESPONDENT. Attached herewith and marked as Annex “B” and “C”
respectively are the photocopies of the aforementioned documents.

5) Repeated demands were made on the RESPONDENT to give support but


he refused to do so. A Fiinal demand letter was personally served to him by the
complainant in Manaluyong City last Augusut 8, 2013, but still he refused to comply
with. Attached herewith and marked as Annex “D” is a photocopy of the said Demand
Letter;

6) RESPONDENT is capable to support us financially because he has a job


abroad working as a staff somewhere in __________. Whereas complainant can hardly
support herself as she did not even finish her college;

8) By reason of the unjustified refusal by the RESPONDENT to support his


daughter with me notwithstanding his capacity to do so, it is humbly submitted that he
violated Section 5(e)(2) of the Implementing Rules of R.A. 9262, to wit:

“SEC. 5. Acts of Violence Against Women and


their Children. xxx”
“(e) xxx This shall include, but not limited to, the
following acts committed with the purpose or effect of
controlling or restricting the woman’s or her child’s
movement or conduct.
xxx
“(2) Depriving or threatening to deprive the woman
or her children of financial support legally due her or her
family, or deliberately providing the women’s children
insufficient financial support.”

8) Not only did Respondent failed to give Alleyhna Gail G. Germar financial
support, RESPONDENT also failed to give emotional support to his daughter because
he never visits her to see how she is doing. This is considered as abandonment of his
daughter Alleyhna Gail G. Germar by the Respondent thereby violating pertinent
provisions of Rep. Act No. 7610;

9) I am executing this Complaint-Affidavit against ALLEN XANDER


GERMAR to support the filing of criminal charges for violation of Republic Act No.
9262 – Anti Violence against Women and their Children Act of 2004, as well as for
violation of Republic Act No. 7610 for Abandonment and refusal to support the child, as
well as to attest the truth of the foregoing;

IN WITNESS WHEREOF, I have hereto affixed my signature this ____ day of


January 2013 at Makati City.

ABIGAIL LOUIS GREGORIO


Affiant

SUBSCRIBED AND SWORN to before me this ___ day of January 2013 at


Makati City. I HEREBY CERTIFY that I have personally examined the affiant and I am
satisfied that she voluntarily executed and understood the contents of her affidavit.

CITY PROSECUTOR
MAKATI CITY

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