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PRACTICAL EXERCISES

Special Power of Attorney

SPECIAL POWER OF ATTORNEY

KNOW ALL MEN BY THESE PRESENTS:

I, Santino Reyes, of legal age, and resident of Gapan, do hereby name, constitute and appoint Marie Dela Cruz,
of legal age, and resident of San Miguel, to be my true and lawful Attorney-in-Fact and in my name, place and stead, do
perform the following specific act(s):

(Specify the particular act/s to be performed)

Giving and granting unto said attorney-in-fact power and authority to do every act necessary and required in
connection with these presents, and hereby ratifying and confirming all that she may do by virtue of these presents.

IN WITNESS WHEREOF, I have signed this Special Power of Attorney this 30 September 2023 at Gapan,
Nueva Ecija.

(Sgd.) SANTINO REYES


Principal

SIGNED IN THE PRESENCE OF:

ACKNOWLEDGMENT

BEFORE ME, a Notary Public for and in [City/Municipality], Philippines, this [day] of [month], [year],
personally appeared:

Name ID Presented
[Your Name] [Type of ID] __________________

known to me and to me known to be the same person who executed the foregoing instrument and acknowledged that the
same is their free and voluntary act and deed.

WITNESS MY HAND AND SEAL.

________________________
Notary Public

Doc. No. _____;


Page No. _____;
Book No. _____;
Series of 2023..

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Deed of Sale of Real Property

Republic of the Philippines )


Makati City ) s.s.

DEED OF ABSOLUTE SALE

KNOW ALL MEN BY THESE PRESENTS:

I, Manny Paquito, Filipino, single, and resident of Makati City, for and in consideration of the amount of
P2,000,000.00, paid to me today by Lito Lapad, Filipino, single and resident of Manila do hereby SELL, TRANSFER and
CONVEY absolute and unconditionally unto said Lito Lapad that certain parcel(s) of land, together with the buildings and
improvements thereon situated in the City of Makati, and more particularly described as follows:

(Technical Description of property/ies; specify metes and bounds of the property/ies with approximate area thereof, as
indicated on the face of the title)

of which I am the registered owner in fee simple, my title thereto being evidenced by Transfer (or Original) Certificate of
Title No. ______, issued by the Register of Deeds of Makati City.

It is hereby mutually agreed that the vendee shall bear all expenses for the execution and registration of this deed
of sale.

IN WITNESS WHEREOF, I have signed this deed this 15th day of July, 2022 at Makati City.

MANNY PAQUITO
Vendor

[Note: if vendor is married, marital consent must be secured; thus, the Deed must also indicate this. If vendor is married, then add the following:]

With my consent:

JINKEE PAQUITO
Vendor’s Wife

SIGNED IN THE PRESENCE OF:

(Sgd.) WITNESS 1

(Sgd.) WITNESS 2

PLUS: Acknowledgment

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Contract of Lease

CONTRACT OF LEASE

KNOW ALL MEN BY THESE PRESENTS:

This Agreement made and entered into at Makati this 10th day of July 2022 by and between JUAN DE LA
CRUZ, of legal age, married to MARIA CLARA, (LESSOR) and resident of Makati City, and PEDRO SANTOS, of legal
age, single and resident of Quezon City (LESSEE), WITNESSETH that:

1. In consideration of a monthly rental of FIVE HUNDRED THOUSAND PESOS (P500,000.00) and the
covenants made below, the LESSOR hereby LEASES to the LESSEE an apartment located at 199 San Antonio
Village, Makati City covered by Tax Declaration No. 001 (Makati City Assessor’s Office) for a period of
TWELVE (12) MONTHS from signing of this contract.

2. The LESSEE covenants, as follows:


2.1. To pay the rentals on or before the fifth day of each month, without need of demand at the
residence of LESSOR;

2.2. To keep the premises in good and habitable condition, making the necessary repairs and painting
inside and outside the house;

2.3. Not to make major alterations and improvements without the written consent of the LESSOR and
in the event of such unauthorized major alterations and improvements, surrendering ownership over
such improvements and alterations to the LESSOR upon expiration of this lease;

IN WITNESS WHEREOF, the parties have signed this contract on the date and the place first mentioned.

JUAN DE LA CRUZ PEDRO SANTOS


Lessor Lessee

With my consent:

MARIA CLARA

ACKNOWLEDGMENT

BEFORE ME, a Notary Public for Makati City, personally appeared on the 10th of July 2022, the following
persons, with their respective CTC details indicated below:

JUAN DE LA CRUZ CTC No. ____________ issued at/on


PEDRO SANTOS CTC No. ____________ issued at/on

known to me to be the same persons who executed the foregoing instrument, denominated as a Contract of Lease
consisting of __ pages, signed on each and every page by the parties and their instrumental witnesses, having acknowledged
the same before me as their own free and voluntary act and deed.

TO THE TRUTH OF THE FOREGOING, witness now my hand and seal on the date and place mentioned
above.

N.O. TARIO
Until December 31, 2027
PTR No. 0000111/1/05/99, Makati City

Doc. No.
Page No.
Book No.
Series of 2022.

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Motion to Dismiss
Republic of the Philippines
National Capital Judicial Region
METROPOLITAN TRIAL COURT
Branch 49, Quezon City

ABC COMPANY,
Plaintiff,
Civil Case No. 555
- versus - For: Sum of Money

SMS CORPORATION,
Defendant.
x --------------------------------------- x
MOTION TO DISMISS

DEFENDANT, by counsel, respectfully moves to dismiss the Complaint on the ground that the Complaint fails
to state a cause of action as THE OBLIGATION SOUGHT TO BE ENFORCED BY PLAINTIFF IS NOT YET DUE
AND DEMANDABLE, as shown by the following:

1. Allegedly, plaintiff has failed to reach the quotas agreed upon under the Marketing Agreement dated 1 January
2006; defendant now seeks to collect the sum of ONE HUNDRED THOUSAND PESOS (P100,000.00), representing the
balance of the proceeds due plaintiff under the said Marketing Agreement.

2. The contract is for one (1) year and defendant is given that same period to reach the quota specified therein;
the period of one (1) year has not expired. Consequently, plaintiff ’s claim is premature as there is yet no breach of the
Marketing Agreement until the period expires and the quota is not attained. For this reason, plaintiff ’s Complaint states no
cause of action and must be dismissed.

WHEREFORE, defendant respectfully prays that the Complaint be DISMISSED for failure to state a cause of
action.
Other just and equitable reliefs are also prayed for.

Quezon City; 13 April 2007.

(Sgd.) HARVEY SPECTER


Counsel for Defendant
[Address]

[4] REQUEST FOR & NOTICE OF HEARING

THE BRANCH CLERK OF COURT


Metropolitan Trial Court
Branch 49, Quezon City

Please submit the foregoing Motion to the Court for its consideration and approval immediately upon receipt
hereof and kindly include the same in the court’s calendar for hearing on Friday, 27 April 2007 at 10:30 in the morning.

MIKE ROSS
2 New York Street
West Avenue, Quezon City

Please take notice that counsel has requested to be heard on Friday, 27 April 2007 at 10:30 in the morning.

(Sgd.) HARVEY SPECTER


Counsel for Defendant
The Firm
Cubao, Quezon City
PLUS: Proof of Service

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Motion to Declare in Default
Republic of the Philippines
National Capital Judicial Region
REGIONAL TRIAL COURT
Branch 39, Quezon City

MARIA RISA,
Plaintiff,
Civil Case No.
000909
- versus -

RODY DELA ROSA,


Defendant.
x ---------------------------------- x

MOTION TO DECLARE DEFENDANT IN DEFAULT

PLAINTIFF, by counsel, respectfully states that:

1. Plaintiff filed this Complaint against defendant on 1 March 2007; summons were served on defendant on 20
March 2007, as indicated by the Sheriff ’s Return of even date, a copy of which is attached as ANNEX A.

2. Defendant’s reglementary period to file Answer ended on 5 April 2007; no motion for extension of such
period was filed nor was any granted motu proprio by this Honorable Court. Despite the lapse of time, defendant has failed
to answer the Complaint against her; plaintiff is entitled to a declaration of default and the right to present evidence ex parte
against defendant.

WHEREFORE, plaintiff respectfully prays that defendant be declared in default and that plaintiff be allowed to
present evidence ex parte before the Clerk of Court acting as Commissioner.

Quezon City; 7 April 2007.

(Sgd.) LOUIS LIT


Counsel for Plaintiff
[Address]

PLUS:
1. Request for and Notice of Hearing
2. Proof of Service

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Information in Criminal Cases

(Caption)

PEOPLE OF THE PHILIPPINES,


Plaintiff,
Criminal Case No. 00567
- versus - For: Bigamy

RICHARD BURGOS,
Accused.
x ---------------------------------------- x

INFORMATION

The Undersigned accuses RICHARD BURGOS of the crime of Bigamy, committed as follows:

That on or about 3 July 2006, in the City of Quezon and within the jurisdiction of this Honorable Court, the said
accused, being then legally married to LUCY TOMAS, and without such marriage having been legally dissolved and thus
valid and existing, did wilfully, unlawfully and felicitously contract a second marriage with DAWN ZUNIGA in the City of
Quezon.

CONTRARY TO LAW.

KAREN MORALES
Assistant City Prosecutor

CERTIFICATE OF PRELIMINARY INVESTIGATION

I hereby certify that a preliminary investigation in this case was conducted by me in accordance with law; that I
examined the Complainant and her witnesses; that there is reasonable ground to believe that the offense charged had been
committed and that the accused is probably guilty thereof; that the accused was informed of the Complaint and of the
evidence submitted against him and was given the opportunity to submit controverting evidence; and that the filing of this
Information is with the prior authority and approval of the City Prosecutor.

KAREN MORALES
Assistant City Prosecutor

SUBSCRIBED AND SWORN TO BEFORE ME this 9th day of August 2006 in Quezon City.

BITOY CORLEONE
City Prosecutor

Bail Recommended: P40,000.00

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