The law firm of Quinto and Wilkslaw sent a demand letter on behalf of their client Mr. Surli Lanlor Jr. to Mr. and Mrs. Endop Leese and Finesse Leese. The letter demands that the Leeses vacate the property located at 075 Sitio de Asis, San Martin de Porres, Parañaque City within 5 days. The property is owned by Mr. Lanlor and the Leeses had been renting the property but stopped paying rent. If the Leeses fail to vacate the property within 5 days, the law firm will institute criminal and civil legal actions against them to protect their client's interests.
The law firm of Quinto and Wilkslaw sent a demand letter on behalf of their client Mr. Surli Lanlor Jr. to Mr. and Mrs. Endop Leese and Finesse Leese. The letter demands that the Leeses vacate the property located at 075 Sitio de Asis, San Martin de Porres, Parañaque City within 5 days. The property is owned by Mr. Lanlor and the Leeses had been renting the property but stopped paying rent. If the Leeses fail to vacate the property within 5 days, the law firm will institute criminal and civil legal actions against them to protect their client's interests.
The law firm of Quinto and Wilkslaw sent a demand letter on behalf of their client Mr. Surli Lanlor Jr. to Mr. and Mrs. Endop Leese and Finesse Leese. The letter demands that the Leeses vacate the property located at 075 Sitio de Asis, San Martin de Porres, Parañaque City within 5 days. The property is owned by Mr. Lanlor and the Leeses had been renting the property but stopped paying rent. If the Leeses fail to vacate the property within 5 days, the law firm will institute criminal and civil legal actions against them to protect their client's interests.
The law firm of Quinto and Wilkslaw sent a demand letter on behalf of their client Mr. Surli Lanlor Jr. to Mr. and Mrs. Endop Leese and Finesse Leese. The letter demands that the Leeses vacate the property located at 075 Sitio de Asis, San Martin de Porres, Parañaque City within 5 days. The property is owned by Mr. Lanlor and the Leeses had been renting the property but stopped paying rent. If the Leeses fail to vacate the property within 5 days, the law firm will institute criminal and civil legal actions against them to protect their client's interests.
SPS. Endop Leese & Finesse Leese 075 Sitio de Asis San Martin de Porres, Paraaque City
Re:
Demand to Vacate -------------------------
Dear MR. & MRS. Leese:
We write in behalf of our client, Mr. Surli Lanlor Jr., who referred to us for appropriate legal action the above-captioned matter. Facts revealed to us by our client shows that he is the lawful owner of a titled parcel of land in his name with a house built therein which is located at 075 Sitio de Asis, San Martin de Porres, Paraaque City. Our client has been pleading you to vacate his property since he is now going to use and lease the same. It has to be remembered that you rented the said house before and that you stopped paying rent and despite countless oral demand you continue to refuse to do so.
In view of the foregoing circumstances, we make this DEMAND upon you to
vacate the said premises within FIVE (5) DAYS from notice hereof. If you fail to heed this demand, we shall be constrained to institute appropriate CRIMINAL and CIVIL actions against you to protect our clients interest. We trust that you will give this matter your preferential attention.
Very truly yours,
ARELLANO LEGAL AID OFFICE
Counsel for the Plaintiff Arellano University School of Law Taft Avenue Cor. Menlo St., Pasay city By: FRANCIS R. DOBLE IBP No. 913464 / 01-02-2013 / RSM PTR No. 8048527 / 01-02-2013 / Pasig City ROLL No. 58631 MCLE COMP. No. IV-00134330/3-6-13