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Republic of the Philippines)

Quezon City ) S.S


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AFFIDAVIT OF THE INVESTIGATOR

I, PCpl Babyboy Bautista, of legal age, single and presently assigned with
Philippine National Police – Station Drug Enforcement Unit, Talipapa Station 3, Quezon
City Police District with office address at Quirino Hi-way, Barangay Talipapa,
Novaliches, Quezon City, after having been duly sworn to in accordance with law do
hereby depose and state that:

1. On January 10, 2024 at around 11:00 PM, elements of this Unit led by
PLT FERMIN TIGAS conducted drug buy-bust operation at Barbie’s Beauty
Salon, Brgy. Tandang Sora, Quezon City which resulted in the arrest of the
following suspects:

a. Rolando Garcia y Periquit AKA “BARBIE”, 46 years old, single,


beautician, resident of 111 Malaya St., Brgy. Tandang Sora, Quezon
City;
b. Bobby Lopez, 29 years old, single, with child, sales representative of
Toyota Philippines, Makati Branch, resident of 241 Legarda St.,
Sampaloc Manila; and
c. Bryan Andrew Zulueta (CICL), 16 years old, out of school youth, and a
resident of 117 Retiro St., Brgy. La Loma, Quezon City. (Turned over to
CSWDO)

2. During the arrest, PLT FERMIN TIGAS, PCpl Deo Durant, Pat Tanggol
Dimagiba and Pat Delicardo Dalisay apprised the suspects of their constitutional
rights as provided for under the Miranda Doctrine in Tagalog, known, understood
and spoken by them. They were asked whether or not they understood the same
which they responded affirmatively;

3. During the arrest, I assisted the team in the inventory procedure. The following
pieces of evidence were seized: five (5) transparent plastic sachet contain white
crystalline substance suspected to be shabu marked as DD-1 11:00PM
01/10/2024 Malaya Q.C. with signature to DD-5 11:00PM 01/10/2024 Malaya
Q.C. with signature, two (2) pieces transparent plastic sachet with residue of
same as described marked as TD-1 11:00PM 01/10/2024 Malaya Q.C. and TD-2
11:00PM 01/10/2024 Malaya Q.C., (1) genuine powder dusted one thousand
peso bill with serial number VF927715; one (1) tooter marked as TD-3 11:00PM
01/10/2024 Malaya Q.C, and one (1) red zippo lighter marked as TD-4 11:00PM
01/10/2024 Malaya Q.C;
4. Above pieces of evidence were properly turned over to the undersigned by
PCpl Deo Durant, who acted as the poseur-buyer, and arresting officers, for
which in return, I personally submitted to the PNP Forensic Group, Camp BGen
Rafael T. Crame, Quezon City for laboratory examination, which was received by
PMAJ ARNOLD ISNACHENEGER, RCh, Forensic Chemist;

5. As investigator on case, I have caused the preparation of the following


documents, to wit:

a. Investigation Data Form;


b. Case Referral;
c. Affidavit of Poseur Buyer/Seizing Officer dated January 10, 2024;
d. Joint Affidavit of Arresting/Seizing Officers dated January 10, 2024;
e. Affidavit of Photographer dated January 10, 2024;
f. Joint Affidavit of Videographers (Alternative Recording Device) dated
January 10, 2024;
g. Affidavit of Investigator-On-Case dated January 10, 2024;
h. Affidavit of Witnesses;
i. Complaint Affidavit;
j. Request for Quantitative and Qualitative Examination of Seized Drug
Evidence;
k. Request for Physical Examination of Arrested Suspects;
l. Request for Drug Test of Arrested Suspects;
m.Booking and Mugshots;

6. In the preparation of the above documents, I did not influence nor make any
unnecessary act that will hamper the rights of suspects and lessen the credibility
of the procedure conducted; and

7. I am executing this affidavit to attest to the truthfulness of the foregoing facts


and to support the filing of a criminal complaint for violation of Section 5 and
Section 11, Article II of RA 9165, otherwise known as “The Comprehensive
Dangerous Drugs Act of 2002”, as amended by RA 10640, before the Office
of the City Prosecutor, Quezon City against the above mentioned suspects.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 12 th day of


January 2024, Quezon City, Philippines.

PCpl Babyboy Bautista


(Affiant)

SUBSCRIBED AND SWORN TO before me, this 12th day of January 2024,
Quezon City, Philippines. I further certify that I have personally examined the herein
affiant and I am fully satisfied and convinced that he voluntarily executed and
understood his foregoing statement.

Pedro Penduko
Assistant City Prosecutor

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