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LIST OF FORMS LEGAL FORMS

1. Demand letter
2. Petition for Notary
3. Affidavit of Loss Driver’s License
4. Passport
5. Pawnshop
6. Deed of Sale of a Portion of Land
7. Deed of Absolute Sale of Registered Land
8. Contract to Sell of Condominium Unit
9. Deed of Sale of Parcel of Land
10. Extrajudicial Settlement of Estate
11. Affidavit of Adjudication of Sole Heir
12. Easement of Right of Way
13. Complaint for Unlawful Detainer
14. Complaint for Forcible Entry
15. Complaint for Foreclosure of Real Estate Mortgage
16. Petition for Adoption
17. Judicial Affidavit for Adoption
18. Information for the Crime of Theft
19. Complaint Affidavit for Theft
20. Motion to Reduce Bail for Theft
21. Affidavit of Desistance
FORM 1 : DEMAND LETTER TO VACATE
September 24, 2007

_________________
_________________
_________________

Dear _____________,

It has come to Mr. Bert Konsomisyon, the owner of the land that you are currently occupying
for business purposes, that you have been ignoring your prior agreement with her to vacate
the said property which is located in Sitio Baho, Barangay Guba, Cebu City with an area of
1,810 sq. mtrs. under Tax Declaration No. 123456.

Please be advised that you have irreparably breached the provisions of your contract with the
landowner, specifically on the period of use of the land based on an extension of six (6)
months from the original five-year term or until August 20, 2007. Pursuant to law, the land
owner DEMANDS THAT YOU VACATE the premises immediately.

If you do not leave, your continued occupancy of the land will be construed as willful and in
bad faith. But your immediate and faithful compliance with this notice will prevent any
further eviction action against you.

Thank you very much.

Yours respectfully,

Atty. Lebron James


PTR # ___________
IBP # ___________
FORM 2: PETITION FOR NOTARIAL COMMISSION
REPUBLIC OF THE PHILIPPINES
6th Judicial Region
Regional Trial Court
Iloilo City

IN RE: PETITION FOR APPOINTMENT


AS NOTARY PUBLIC IN ILOILO CITY

CASE NO.
____________________________
RUZZEL DIANE I. ODUCADO,
Petitioner.
x- - - - - - - - - - - - - - - - - - - - - - - - - x

PETITION

Undersigned Petitioner and unto this Honorable Court most respectfully states that:

1. Petitioner is a Filipino citizen, over twenty-one years of age, and a resident in the
Philippines since birth and with office address at ABC Building, Lopez Jaena St., Jaro
Iloilo City;
2. Petitioner was admitted to the Philippine Bar on April 11, 2011 with Roll of Attorney No.
101818. A photocopy of petitioner’s Certificate of Membership in the Philippine Bar
issued by the Office of the Bar Confidant is attached as Annex A of this petition;
3. Petitioner is a lawyer in good standing with clearances from the Office of the Bar
Confidant of the Supreme Court and the Integrated Bar of the Philippines, attached as
Annexes “B” and “C”;
4. Petitioner has not been convicted in the first instance of any crime involving moral
turpitude, nor charged in any administrative case in connection with her present
profession;
5. Petitioner has not yet applied nor been commissioned as Notary Public in any other
jurisdiction;
6. Petitioner is a registered member of the Integrated Bar of the Philippines as supported by
a photocopy of the Official Receipt of yearly dues as of January 2015, attached as Annex
“D”;
7. Petitioner has paid his Professional Tax Receipt for the year 2014 under Official Receipt
No. 0416909 dated March 13, 2015 at Iloilo City. Photocopy of the receipt is attached as
Annex “E” of this petition;
8. Petitioner will submit her notarial books and acknowledged documents after the
expiration of her notarial commission as provided for by law;
9. Petitioner possesses all the qualification and none of the disqualifications for the Office
of the Notary Public and have read, understood and is willing to abide with the 2004
Rules on Notarial Practice;
10. Petitioner is attaching at Annex “F”, a facsimile of her notarial seal prepared in
accordance with Section 2, Rule 7 of the 2004 Rules on Notarial Practice for approval of
this Honorable Court, together with 3 specimens of his official signature.
11. Also submitted are petitioner’s 3 passport sized colored photographs with light
background, take not more than 30 days prior to the filing of this petition;
WHEREFORE, it is most respectfully prayed that:
A certificate of authorization to purchase notarial seal as provided under Section 9, Rule
3 of 2004 Rules on Notarial Practice, and certificate of authority for a notarial act as
provided under Section 1, Rule IX of the same Rules be issued in favor of the petitioner.

Iloilo City, Philippines, December 1, 2015

VERIFICATION AND CERTIFICATION

I, Ruzzel Diane I. Oducado, of legal age, married, Filipino and a resident of Don
Francisco Village, Jaro, Iloilo City, under oath depose and state that:
a) I am the Petitioner in the above captioned case; I have caused the preparation of
the same;
b) I have read the allegations contained therein; and
c) I certify that they are all true and correct of my personal knowledge or based on
authentic records.
In witness whereof, I have hereunto set my hand this 1st day of December at Iloilo City,
Philippines.

___________________
Affiant

SUBSCRIBED AND SWORN to before me, a notary public in and for Iloilo City, this __th day
of _______ 2015 at Iloilo City, Philippine, affiant appearing before me with his __ No. ______
issued on __________________ at _____________ and presenting to me a document entitled Re:
Petition for Appointment As Notary Public in Iloilo City, affiant being known to me personally
as she is a friend, and who signed said document in my presence and sworn as to said document
that she understood the contents thereof and that the same was her free and voluntary act and deed.
________________________________
Notary Public
Until December 31, 20__
Roll of Attorney’s No.
PTR No.
IBP No.
MCLE No.
Doc. No.
Page No.
Book No.
Series of 20__
FORM 3: AFFIDAVIT OF LOSS DRIVER’S LICENSE

Republic of the Philippines)


Province of _______________) S.S.
x-----------------------x

AFFIDAVIT OF LOSS DRIVER’S LICENSE

I, _____________, Filipino, of legal age, (single / married / widow), and with residence at
_____________, Philippines, after being duly sworn to in accordance with law, hereby depose and state:

That I am a duly-licensed driver in accordance with pertinent Land Transportation laws, rules and
regulations, and was issued a corresponding Driver's License with number _____________ which is valid
until _____________;

That sometime last week, said Driver's License was misplaced and got lost;

That despite diligent search and efforts to locate my Driver's License, I could not find the same such that I
now believe that it is now lost beyond recovery;

That said Driver's License has not been confiscated by the LTO, Police or other Traffic Enforcers for any
traffic violation;

As such, I am executing this Affidavit of Loss to attest to the truth of the foregoing and to support my
application for the issuance of a new Driver's License, in lieu of the one that was lost.

IN WITNESS WHEREOF, I have hereunto set my hand this _____________ at _____________,


Philippines.

AFFIANT

SUBSCRIBED AND SWORN to before me, this 15th day of March, 2007 in the City of Quezon, affiant
exhibiting before me his Community Tax Certificate No. 123456, issued at Quezon City on March 1,
2007.
ATTY. JANE ABLAZA
NOTARY PUBLIC for Quezon City
15 Carnation St., DRJVillage, Novaliches, Q.C.
Until Dec. 31, 2007
Roll No. 0001
P.T.R. No. 0002, 12/31/2007, Manila.
IBP No. 0003, 12/31/2007, Manila.
MCLE Compliance No. 1234
Serial No. of Commission: 07-11111
Doc. No. 5;
Page No. 6;
Book No. I;
Series of 2007.
FORM 4: AFFIDAVIT OF LOSS OF PASSPORT

AFFIDAVIT OF LOSS OF PASSPORT

The undersigned, Filipino citizen, single/married, presently residing at


____________________________________________________ after having duly sworn to in
accordance with law, hereby deposes and says: That the undersigned was issued Philippine Passport No.
________________ by the Department of Foreign Affairs in Manila/Consular Extension
Office/Philippine Embassy/Consulate in ___________________ on ___________________________;
That said passport was lost on _____________________ under the following circumstances:

1.
2.
3.
4.
5.
That the undersigned exerted all efforts possible to locate said passport to no avail; That the undersigned
fully understands that the said passport is automatically deemed cancelled upon declaration of loss, and that
if found, it can no longer be used; That undersigned is executing this affidavit of loss in connection with
his/her present application for a new passport; That further Affiant/s sayeth none. IN WITNESS
WHEREOF, undersigned hereby affixes his/her signature this ______________ day of _____________ in
_________________, USA. _____________________________
Affiant

SUBSCRIBED AND SWORN to before me this _________ day of ______________ in


_________________, USA.

The Affiant having exhibited to me his/her Identification card No. _______________ issued on
___________________ at _________________________. _________________________________

Administering Officer/Notary Public


FORM 5 AFFIDAVIT OF LOSS PAWNSHOP RECEIPT

Republic of the Philippines)


Province of ____________________)S.S.
City/Municipality of _____________)
x–––––––––––––––x

AFFIDAVIT OF LOSS

I, _____________, Filipino, of legal age, (single / married / widow), and a resident of _____________,
Philippines, after being duly sworn in accordance with law, depose and state:

That sometime on _____________, I pawned my _____________ with Agencia _____________ located


at _____________ and for which I was issued Pawn Tickets / Receipt No. _____________.

That sometime on _____________, my wallet that contains the said Pawn Ticket was misplaced and got
lost.

That despite diligent search and efforts to locate the said wallet and pawn ticket, I could not find the same
such that I now believe that they are now lost beyond recovery.

As such, I am executing this Affidavit of Loss to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto set my hand this _____________ at _____________,
Philippines.

Affiant

SUBSCRIBED AND SWORN to before me, this 15th day of March, 2007 in the City of Quezon, affiant
exhibiting before me his Community Tax Certificate No. 123456, issued at Quezon City on March 1,
2007.
ATTY. JANE ABLAZA
NOTARY PUBLIC for Quezon City
15 Carnation St., DRJVillage, Novaliches, Q.C.
Until Dec. 31, 2007
Roll No. 0001
P.T.R. No. 0002, 12/31/2007, Manila.
IBP No. 0003, 12/31/2007, Manila.
MCLE Compliance No. 1234
Serial No. of Commission: 07-11111
Doc. No. 5;
Page No. 6;
Book No. I;
Series of 2007.
FORM 6 DEED OF SALE OF A PORTION OF LAND

KNOW ALL MEN BY THESE PRESENTS:


I, ROSA DIAZ, Filipino, single of legal age, with residence and postal address at 99 P.Noval St. Sampaloc
Manila for and in consideration of the sum of FIVE HUNDRED THOUSAND PESOS (p500,000),
Philippine Currency, to me in hand paid by Ray Holt single of legal age, Filipino with residence and postal
address at 99 Lacson St. Sampaloc Manila, do herby SELL, TRANSFER AND CONVEY unto the said
_________ his/her heirs and assigns that certain parcel situated in 1611 espanya manila more particularly
described as follows to wit (INSERET DESCRIPTION OF LAND AS SOLD SUBDIVIDED AS PER
PLAN AND TECHNICAL DESCRIPTION OF SUCH PORTION APPROVED BY BUREAU OF
LANDS), which said parcel of land is a portion of Lot no. 999 block 1611 of the Registry of Deeds of
Manila issued in favor of Jake Peralta. That the remaining portion of the parcel of land from which the
above described portion was segregated, is described as follows (COPY DESCRIPTION S OF THE
REMAINING PORTION AS PER PLAN AND TECHNICAL DESCRIPTION APPROVED AND
CERTIFIED BY THE BUREAU OF LANDS)
IN WITNESS WHEREOF, I have hereunto signed this deed on this 27 th day of March 2004, in the City of
Manila, Philippines

VENDOR
VENDOR’S SPOUSE OF ANY

SIGNED IN THE PRESENCE OF


(NOTARIAL ACKNOWLEDGEMENT)
FORM 7 DEED OF ABSOLUTE SALE OF REGISTERED LAND
DEED OF ABSOLUTE SALE OF REGISTERED LAND

KNOW ALL MEN BY THESE PRESENTS:

I, YOLANDA C. SISON Filipino, single, of legal age, with residence and post-office address at #27th St.,
Grand Circle Loop, La Marea Village, City of San Pedro, Laguna.

For in consideration of the sum of FIVE MILLIOM SEVEN HUNDRED THOUSAND PESOS (Php
7,500,000.00), Philippine Currency, to me in hand paid by

GLAESAN GARCIA ADRIANO, Filipino, single, of legal age, with residence and post-office address at
#18th Grand Circle Loop, La Marea Village, City of San Pedro, Laguna

do hereby SELL, TRANSFER and CONVEY, absolutely and unconditionally, unto the said GLAESAN
GARCIA ADRIANO her heirs and assigns, that certain parcel/parcels of land, together with all the
buildings and improvements thereon, situated in San Pedro, Laguna, and more particularly described as
follows, to wit:

(Description)

of which I am the registered owner in fee simple in accordance with the Land Registration Act, my title
thereto being evidenced by Transfer of Certificate Title No. 162708, issued by the Register of Deeds of
Calamba, Laguna. It is hereby mutually agreed that the vendee shall bear all the expenses for the execution
and registration of this deed of sale. IN WITNESS WHEREOF, the parties hereto have signed this deed of
transfer this 4th day of July, 2017 in the City of San Pedro, Province of Laguna, Philippines.

YOLANDA C. SISON_______
VENDOR SSS No.: 04-0827160-2
Issued on: March 21, 2010
Issued at: SSS Binan Branch SIGNED IN THE
PRESENCE OF:

JUAN DELA CRUZ PEDRO DE LAUREL

REPUBLIC OF THE PHILIPPINES


PROVINCE OF LAGUNA S.S.
CITY OF SAN PEDRO

BEFORE ME, this 4th day of July, 2017 in the City of San Pedro, Province of Laguna, Philippines,
personally appeared YOLANDA C. SISON, with Social Security No. 04-0827160-2, issued at City of
Binan, on March 21, 2010 known to me to be the same person who executed the foregoing instrument, and
acknowledged to me to be her own free act and deed.

This instrument is consisting of TWO (2) pages, including the page on which this acknowledgement is
written, has been signed on the left margin of each and every page thereof by YOLANDA C. SISON and
her witnesses, and sealed with my notarial seal.
IN WITNESS WHEREOF, I have hereunto set my hand and affixed my notarial seal, the day, year, and
place abovewritten.
Doc. No. ____;
Page No. ____;
Book No. ____; NOTARY PUBLIC
Series of 2017
FORM 8 CONTRACT TO SELL A CONDOMINIUM UNIT

CONTRACT TO SELL A CONDOMINIUM UNIT

KNOW ALL MEN BY THESE PRESENTS:

This Contract, made and executed on this 4th day of July, 2017, at City of San Pedro, Laguna,
Philippines, by and between

STYV REAL ESTATE CORPORATION, a corporation duly organized and existing under and by virtue
of Philippine laws, with principal office at 756 Black Pearl Bldg., Ecocentrum St., Southwoods City, San
Pedro, Laguna, Philippines, herein represented by its President Jack Barbossa Sparrow, and herein
referred to as the “Developer,

AND
YOLANDA C. SISON, Filipino, single, of legal age, with residence and post-office address at #27th St.,
Grand Circle Loop, La Marea Village, City of San Pedro, Laguna, Philippines, and hereinafter referred to
as the “Purchaser.”

WITNESSETH: THAT

WHEREAS, the Developer is the absolute and registered owner of a parcel of land located in Lot 27-BG
Ecocentrum St., Southwoods City, San Pedro, Laguna, Philippines, with a total area of SEVEN
HUNDRED FIFTY (750) square meters, more or less, which are more particularly described in and
whose title is evidenced by Transfer of Certificate of Title No. 162708, of the Registry of Deeds for the
City of Calamba, Laguna;

WHEREAS, the Developer intends to set up a condominium project (the “Project”) on the
abovementioned parcel of land, consisting of one hundred fifty (150) apartments or units (the “Unit(s)”),
in accordance with the provisions of Republic Act No. 4729, otherwise known as the Condominium Act,
and pursuant to an instrument dated 15 June 2017, Doc. No. 439, Page No. 50, Book No. II, Series of
2017 of the Notarial Register of Atty. Juan Dela Cruz consisting of a Master Deed (Part I) which said
parcel of land is a portion of Lot No. 27-BG, Block No. 76 of the Cadastral Survey of the _____, as
described in the Transfer Certificate of Title No. 162708 of the Registry of Deeds of Calamba, Laguna,
isuued in favor of STYV REAL ESTATE CORPORATION

THAT, the remaining portion of parcel of land from which the above-described portion was aggregated,
is described as follows:

DESCRIPTION

IN WITNESS WHEREOF, the parties hereto have signed this deed of transfer this 4th day of July, 2017
in the City of San Pedro, Province of Laguna, Philippines.

STYV REAL ESTATE


CORPORATION
VENDOR
As represented by:
JACK BARBOSSA SPARROW
Corporate President
SSS No.: 09-0620468-5
Issued on: August 17, 1994
Issued at: SSS Binan Branch

SIGNED IN THE PRESENCE OF

JUAN DELA CRUZ PABLO OCAMPO

REPUBLIC OF THE PHILIPPINES _____)


PROVINCE OF LAGUNA ____)S.S.
CITY OF SAN PEDRO ___)

BEFORE ME, this 4th day of July, 2017 in the City of San Pedro, Province of Laguna, Philippines,
personally appeared JACK BARBOSSA SPARROW, with Social Security No. 09-0620468-5, issued at
City of Binan, on August 17, 2010 known to me to be the same person who executed the foregoing
instrument, and acknowledged to me to be his own free act and deed.

This instrument is consisting of TWO (2) pages, including the page on which this acknowledgement is
written, has been signed on the left margin of each and every page thereof by JACK BARBOSSA
SPARROW and his witnesses, and sealed with my notarial seal.

IN WITNESS WHEREOF, I have hereunto set my hand and affixed my notarial seal, the day, year, and
place abovewritten.

Doc. No. ____;


Page No. ____;
Book No. ____;
Series of 2017
FORM 10 EXTRAJUDICIAL SETTLEMENT OF ESTATE

EXTRAJUDICIAL SETTLEMENT OF ESTATE

KNOW ALL MEN BY THESE PRESENTS:

This AGREEMENT made end and entered into this _____ day of ________ 20__, in
_______________________________________, by and between:

_____________, of legal age, Filipino, widow, residing at _________________________________;

_____________, of legal age, Filipino married, residing at _________________________________;

WITNESSETH, that:

WHEREAS, we are the sole heirs of the deceased ___________________ who died on
__________________, at _____________________________, copy of his death certificate is hereto
attached as Annex A;

WHEREAS, _______________________, died intestate, without Will or Testament, and without any
outstanding debts in favor of any person or entity;

WHEREAS, ________________________ is the absolute and registered owner of two parcels of land
located at __________________________ covered by Transfer Certificate of Title No. ________ and
_______, respectively, of the Registry of Deeds of _____________ and more particularly described as
follows:

TECHNICAL DESCRIPTION OF THE PROPERTY

WHEREAS, pursuant to Rule 74, Sec. 1 of the Revised Rules of Court of the Philippines, and being with
full capacity to contract, we do hereby adjudicate unto ourselves the parcel of land described above, in
equal shares.

IN WITNESS WHEREOF, we hereunto set our hand on the _______ day of _________________,
______ at _____________________________________.

The Heirs of __________________________ ___________________________ ___________________

SIGNED IN THE PRESENCE OF:

PEDRO CRUZ JUAN TAMAD

ACKNOWLEDGEMENT
Republic of the Philippines)
City of ________________ ) S.S

BEFORE ME, a Notary Public in and for the City of ______________________, this _____ day of
______________, personally appeared: Name Identification Card Valid until/Expires on

who have satisfactory proven to me their identity that they are the same person who executed and
voluntarily signed the foregoing EXTRJUDICIAL SETTLEMENT OF ESTATE which they
acknowledged before me as their free and voluntarily act and deed.

The foregoing instrument which relates to an Extrajudicial Settlement of Estate of two parcels of land
consisting of ___ pages including the page on which this acknowledgement is written, has been signed on
the left margin of each and every page by the parties and the witnesses.

WITNESS MY HAND AND SEAL, this ____ day of _______________, in the City of
_______________________, Philippines.

Doc. No. _______;


Page No. _______;
Book No. ______;
Series of 20____.

NOTARY PUBLIC
FORM11 AFFIDAVIT OF ADJUDICATION OF SOLE HEIR

REPUBLIC OF THE PHILIPPINES)


PROVINCE OF ISABELA ) S.S.
MUNICIPALITY OF CABATUAN )

AFFIDAVIT OF SELF-ADJUDICATION

I, ABC, of legal age, Filipino, single and a resident of No. 123 Municipality of Cabatuan, Province of
ISABELA, Philippines, after having been duly sworn in accordance with law, do hereby depose and
say:

1. That I am the only daughter of X who died intestate ini the Municipality of AAA, Province of BBB, on
April 08, 2002 as evidenced by Death Certificate issued by the Municipality of AAA, Province of BBB,
hereto attached as ANNEX “A” and made an integral part of this Affidavit;

2. That the said deceased left deposit in the Rural Bank of AAA, Inc., in the amount of P300,000;

3. That the said deceased left no debts;

4. That pursuant to Rule 74, Sec. 1 of the Rules of Court, I hereby adjudicate unto myself the above
described real estate by means of this Affidavit and hereby files the same with the Register of Deed of
BBB with the request that the said adjudication be made effective without judicial proceeding as
prescribed by the aforementioned Rules of Court.

IN WITNESS WHEREOF, I have set my hand this _____ day of ____________ 2011 at Municipality
of AAA, Province of BBB, Philippines.

ABC
Affiant

SUBSCRIBED AND SWORN before me this ____ day of ____________ 2011 at Municipality of AAA,
Province of BBB, Philippines.

CCC
Notary Public
Commission to expire:______
IBP No., Place, Date
PTR No., Place, Date

Doc. No.______;
Page No. _____ ;
Book No. _____ ;
Series of ______
FORM 12 EASEMENT OF RIGHT OF WAY

EASEMENT OF RIGHT OF WAY

KNOW ALL MEN BY THESE PRESENTS:

This AGREEMENT OF EASEMENT OF RIGHT OF WAY, entered into this ______ day of
______________, 2001 by and between “A” owner of the dominant estate, of legal age, single (or married
to ___________________) and a resident of _________________ and “B” , owner of the servient estate,
also of legal age, single (or married to ____________________), and a resident of
________________________ witnesseth:

That “A” is the owner of a parcel of agricultural land located in the municipality of
________________, province of ________________, and more particularly described as follows, to wit:

(Description of “A’s” property)

which property is covered by T.C.T. No. ________ of the Register of Deeds of ______________,
province of _______________, which lot is adjacent to “A’s” property, and more particularly described
as follows, to wit:

(Description of “B’s” property)

which property is covered by T.C.T. No. _____________ of the Register of Deeds of the province of
_____________________.

That “A” in order to have an access to and from, and to cultivate the above-mentioned land, and so
as to have an outlet to ________________, which is the nearestpublic road and least burdensome to the
servient estate and to third persons, it would be necessary for him to pass through “B’s” property, and for
this purpose, a path or passageway of not less than two (2) meters wide through the whole length of the
western side of “B’s” property is necessary for the use of “A” and for all his needs in cultivating his estate;

That said path or passageway is particularly described in the attached plan, “Annex A’,

WHEREFORE, for and in consideration of the sum of _____________________ PESOS


(P_________) the receipt whereof is hereby acknowledged by “B”, the latter agrees and permits “A” to
have a permanent easement of right of way over the above-mentioned property of said “B” limited to not
more than two (2) meters wide throughout the whole length of the western side of said property and as
specifically indicated in the attached plan which is made an integral part of this contract, as “Annex A”.
It is further agreed that “B” shall deliver unto “A” all the necessary papers, deed, and titles in relation
to the servient estate in order to facilitate the registration of the above-mentioned right of way, in
accordance with.

This agreement shall be binding between the parties and upon all their heirs, successors, and assigns.

IN WITNESS WHEREOF, the parties hereto have signed this agreement the day and the year first
above written, in the municipality of _______________, province of _______________, Philippines.

__________________________ __________________________
(Signature of owner of the (Signature of owner of
dominant estate) servient estate)

SIGNED IN THE PRESENCE OF:

__________________________ ___________________________

ACKNOWLEDGMENT

Republic of the Philippines)


City of ________________ ) S.S

BEFORE ME, a Notary Public in and for the City of ______________________, this _____ day of
______________, personally appeared: Name Identification Card Valid until/Expires on

who have satisfactory proven to me their identity that they are the same person who executed and
voluntarily signed the foregoing EXTRJUDICIAL SETTLEMENT OF ESTATE which they
acknowledged before me as their free and voluntarily act and deed.

The foregoing instrument which relates to an Extrajudicial Settlement of Estate of two parcels of land
consisting of ___ pages including the page on which this acknowledgement is written, has been signed on
the left margin of each and every page by the parties and the witnesses.

WITNESS MY HAND AND SEAL, this ____ day of _______________, in the City of
_______________________, Philippines.

Doc. No. _______;


Page No. _______;
Book No. ______;
Series of 20____.

NOTARY PUBLIC
FORM 13 COMPLAINT FOR UNLAWFUL DETAINER

REPUBLIC OF THE PHILIPPINES


METROPOLITAN TRIAL COURT
City of Manila
Branch 1

KRUL ACOSTA,
Plaintiff,
CIVIL CASE No. 98765
-versus- FOR: Unlawful Detainer

MEGAN VITUG,
Defendant.

x-----------------------------------x

COMPLAINT

COMES NOW, the plaintiff, through the undersigned counsel and unto this Honorable
Court, most respectfully avers:

1. That the plaintiff, KRUL ACOSTA, is of legal age, Filipino citizen, single, with residence
and postal address at 123 Benitez Street, Manila;
2. That the defendant, MEGAN VITUG, is of legal age, Filipino citizen, single, with
residence and postal address at 456 Modesto Street, Manila, where they may be served
with summons and other court processes;
3. The plaintiff is the owner of a land over which an apartment had been constructed located
654 San Pedro Street, Manila;
4. By virtue of a contract of lease, the plaintiff leased unto the defendant the aforesaid
apartment for a consideration of P5,000.00 a month as rental to be paid within the first ten
(10) days of each month starting November 3, 2011;
5. The defendant failed to pay the agreed rental for several months starting February 19, 2012
up to the present;
6. On May 3, 2012, the plaintiff sent a letter of demand to vacate the apartment which was
received by the defendant as shown in the registry return receipt hereto attached as Annex
“A”;
7. Despite said letter of demand which was repeated by oral demands, the defendant failed
and still refused to pay the agreed amount of rentals and to vacated the apartment;
8. By reason of failure of the defendant to vacate the premises and to pay the unpaid rentals,
the plaintiff was compelled to file this complaint engaging the services of counsel in the
amount of P10,000.00.

WHEREFORE, premises considered, it is most respectfully prayed unto this Honorable


Court that, after hearing, judgment be rendered ordering the defendant:

1. To vacate the subject premises;


2. To pay the amount of P5,000.00 per month as compensation for the reasonable use of the
subject premises until they finally vacate the said premises;
3. To pay the plaintiff the cost of the suit.

City of Manila, September 24, 2012.

REYES, TOLENTINO AND CRUZ LAW OFFICE


Counsel for the Plaintiff
Unit 123, Victoria Tower I
Taft Avenue, Manila

By:
Louise Reyes
Roll of Attorney No. 98765
IBP No. 12345/2-5-12/Manila
PTR No. 87654/12-22-11/Manila

VERIFICATION/CERTIFICATION OF FORUM SHOPPING

Republic of the Philippines )


City of Manila ) S.S.

I, KRUL ACOSTA, of legal age, Filipino citizen, single and resident of 123 Benitez Street,
Manila, after having been duly sworn to in accord Nance with law do hereby depose and say:

1. That I am the plaintiff in the above-entitled case;


2. That I have caused the preparation of the foregoing complaint and have read the allegations
contained therein;
3. The allegations in the said complaint are true and correct of my own knowledge and
authentic records;
4. I hereby certify that I have not commenced any other action or proceeding involving the
same issues in any court, tribunal or quasi-judicial agency and, to the best of my
knowledge, no such other action or claim is pending therein;
5. That if I should learn thereafter that a similar action or proceeding has been filed or is
pending, I hereby undertake to report that fact within five (5) days therefrom to the court
or agency where the original pleading and sworn certification contemplated herein have
been filed;
6. I executed this verification/certification to attest to the truth of the foregoing facts and to
comply with the provisions of Adm. Circular No. 04-94 of the Honorable Supreme Court.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 24th of September


2012, in the City of Manila.

KRUL ACOSTA

SUBSCRIBED AND SWORN to before me this _______ day of September, 2012, in the
City of Manila, affiant exhibiting to me his Driver’s License No. 12345 issued by the Land
Transportation Office on April 8, 2012 at the City of Manila.

ATTY. NO CASE
Notary Public
My Commission Expires Dec. 31, 2012
Roll of Attorney No. 34567
IBP No. 12345/2-5-12/Manila
PTR No. 87654/12-22-11/Manila

Doc. No. ________


Page No. _______
Book No. _______
Series of 2012
FORM 14 COMPLAINT FOR FORCIBLE ENTRY

Republic of the Philippines


5th MUNICIPAL CIRCUIT TRIAL COURT
Second Judicial region
Naguilian, Isabela

DONALD CASTILLO
Plaintiff Civil Case No.
-vs- Forcible Entry and Damages
Atty. RAMIREZ
Defendants.
x------------------------------x

COMPLAINT
PLAINTIFFS by counsel, to this Honorable Court respectfully avers that,
1. Plaintiff DONALD CASTILLO, of legal age, Filipino and residents of MArasat Pequno, San
Mateo, Isabela.
2. Defendant Atty. Ramirez, Filipino is residents of Naguilian, Isabela, where they may be served
summons and other processes.
3. The plaintiff is the owner of a parcel of land located in San Mateo, Isabela, containing an area of
ONE MILLION(1,000,000.00) SQUARE METERS, more or less which realty is titled in the
name as evidence by Transfer Certificate of title No. T-222222222 of the Registry of Deeds of
Isabela, photocopy of TCT No. T-222222222 is hereto attached and made an integral part of
Annex “A”.
4. Plaintiff, by themselves and through their predecessors in-interest, have been in peaceful
possession of the land continuously and uninterrupted for more than fifty (50) years;
5. On January 28, 2011, defendant together with hired laborers without the knowledge, consent and
authority of the plaintiff, by force, strategy and stealth entered the land described in paragraph 3,
encroached on and took possession of a portion of the land having an area of 500,000 square
meters with the following bounderies: on the Northeast by the remaining portion; and on the
Southwest by a provincial Road.
6. Simultaneous to their unlawful entry, defendant started construction of a residential house
notwithstanding repeated demands for them to stop and to desist from further acts of
dispossession.
7. Plaintiff, by themselves and through their representative, repeatedly demanded of the defendant to
vacate the area occupied by them and and to deliver the peaceful possession of the same to them,
but defendants, without any just or legal reason, refused and continue to refuse to leave the
premises and restore peaceful possession to the plaintiffs of the portion which they unlawfully
wrested from the plaintiff.
8. Efforts for a possible settlement and/or reconciliation was exerted by the plaintiff by seeking the
intervention of barangay officials of Barangay Marasat Pequeno, san Mateo, regrettably all efforts
to amicably settle their dispute were in vein. Copy of the certification issued by Barangay
Secretary Levy teodorao dated feb. 9, 2011 is hereto appended and marked as Annex “B”.
9. As a consequence of the unlawful entry and occupation of their land by the defendant and their
subsequent refusal to vacate the premises, plaintiff were compelled to file this action and, for this
reason have to engage the services of counsel for an agreed professional fee of P25.00
10. As further consequence of the defendant refusal to surrender and restore peaceful possession of
the land, plaintiff, suffered mental anguish, emotional disturbance, embarrassment besmirched
reputation which entitles them to recover moral and exemplary damages amounting to not less
than P50,000.00

PRAYER
WHEREFORE, plaintiff respectfully prays the Honorable Court to render judgment;
1. Ordering the defendant to vacate the premises of the area occupied by them and to deliver
peaceful possession of the same to the plaintiff or their representative
2. Ordering the defendant to remove any and structure which they, in bad faith, have erected in the
area occupied by them or, in default thereof, to order the demolition of their building or structures
which are standing in the land, all at the expense of the defendants.
3. Condemning the defendant to pay to the plaintiff.
a. The sum of P25,000.00 as attorney’s fees and the sum of P5,000 as expense of litigation;
b. Moral and exemplary damage of not less than P50,000.00; and
c. The costs of this suit:
d. Plaintiff pray for other reliefs and remedies as may be just and equitable in the premises.

Ilagan, Isabela, march 2, 2012

ATTY. LEIF JOHN L. ROBINO


Counsel for the Plaintiff
PTR No.

VERIFICATION AND CERTIFICATION


I, Donald Castillo, of legal age, Filipino and resident of MArasat Pequeno, after being
sworn to in accordance with law hereby depose and state:
1 .I am the Plaintiff in the above entitled case.
2. I have caused the preparation and filing of this complaint
3. I have read and understood the contents of this complaint and all the allegation
contained therein are true and correct of our own knowledge and based on authentic documents.
4. I hereby certify that I have not commenced any other action or proceedings involving
the same issues in the above entitled case before the Supreme Court, Court of Appeals of Justice
or quasi-judicial body, or government agency; and should I learn of a similar action or proceeding
and/or the pendency thereof before any other Court of Justice, quasi-judicial body or government
agency, I do hereby undertake to report the same within (5) days there from to this Honorable
Court.
IN WITNESS WHEREOF, I have hereunto affixed my signature this ___ day of March
2012 at Ilagan, Isabela.

Donald Castillo
Plaintiff

Subscribed and Sworn to befor me this ___ day of March 2012 at Ilagan, Isabela.

Doc. No ______
Page No. _____
Book No.______
Series of 2012.
FORM15 COMPLAINT FOR FORECLOSURE OF REAL ESTATE MORTGAGE
COMPLAINT FOR FORECLOSURE OF REAL ESTATE MORTGAGE
COMES NOW, the plaintiff by the undersigned attorney, and unto this Honorable Court,
respectfully states:
1. That both the plaintiff and the defendant are of age, and residents of
______________________________________________;
2. That on _____________, the defendant, in order to secure the payment of the sum of ______________,
acknowledged to have been received by him on said date, executed in favor of the plaintiff a first mortgage
on certain real property located in ________________________, a true copy of said mortgage contract is
hereto attached as Exh. “A”, and made an integral part of this complaint.
3. That the condition of said mortgage, as stated therein, is such, that if within the period of
_______________ from and after the execution of same, the defendant shall pay or cause to be paid to the
plaintiff, his heirs or assigns, the said sum of ________________ together with the stipulated interest of
________% per annum, then the said mortgage shall be discharged; otherwise, it shall remain in full force
and effect, to be enforceable in the manner prescribed by law;
4. That the defendant has not paid or caused to be paid the mortgage debt of _________ or any part thereof,
in spite of the lapse of the stipulated period;
5. That the plaintiff has demanded of the defendant to pay the above sum of _____________, plus the
stipulated interest, but said defendant has failed to pay the same;
6. That the defendant has also agreed in the mortgage contract that should the plaintiff foreclose the
mortgage, the latter is entitled to receive the further sum of __________% of the total amount due as
attorney’s fees, expenses and costs.
7. That there are no other persons having or claiming an interest in the mortgaged property.

WHEREFORE, it is respectfully prayed:


(a) That, upon due hearing, judgment be rendered: (1) ordering the defendant to pay unto the court
within the reglementary period of ninety days the sum of _____________ together with the stipulated
interest at _______% per annum from and after _______________, plus the additional sum of ______% of
the total amount due as attorney’s fees, expenses and costs; (2) and that in default of such payment, the
above-mentioned property be ordered sold to pay off the mortgage debt and its accumulated interest, plus
_____% of the total amount due as attorney’s fees, expenses and costs,
(b) That plaintiff be granted such other relief in law and equity. ___________,
______________________, 20 _____.
___________________

Counsel for Plaintiff

(address)
FORM 16 PETITION FOR ADOPTION
Republic of the Philippines
REGIONAL TRIAL COURT
Ninth Judicial Region
Branch 15
Zamboanga City

IN RE: IN THE MATTER OF ADOPTION OF MINOR


MARLOU ROJAS AND CHANGE OF NAME TO
CLIFFORD SANTIAGO
SPECIAL PROCEEDING
NO. 8977

SPS. ABRAHAM D. SANTIAGO and ESTER A.


SANTIAGO,
Petitioners.

x--------------------------------------------------------------x

PETITION

COMES, NOW, THE PETITIONERS, thru their counsel, and unto this Honorable Court, most
respectfully allege the following, to wit:

1. That petitioners are both of legal age, Filipinos, married to each other, and residents of
#54 Lacandalo Drive, Sta. Maria, Zamboanga City;

2. That they desire to adopt the minor child named MARLOU ROJAS, who is male, three
years of age, Filipino, and likewise residing at #54 Lacandalo Drive, Sta. Maria, Zamboanga City;

3. That herein subject minor, was born at Zamboanga City Medical Center on December Formatted: Justified, Indent: Left: 0.5", First line: 0.5",
5, 2012 to MARILOU ROJAS, unmarried, which proof of birth was duly registered in the Register Space Before: 12 pt
of Births of the Office of the Civil Registrar of Zamboanga City, for which a Certificate of Live
Birth was issued. A machine copy of it is herewith attached as Annex “A”;

4. That the minor child was admitted to the proper care and custody of the Department of
Social Welfare and Development (DSWD for brevity) by his biological mother together with
referring social worker, SARAH LIM of DWSD-Crisis Intervention Unit located in Sta. Barbara,
Zamboanga City on December 8, 2012. Subject child was referred to their office by the Medical
Social Worker of Zamboanga City Medical Center (ZCMC for brevity) after being initially assessed
that the mother cannot support the child with all his needs due to economic and health reasons;

5. That MARLOU was only 2 days old when he was brought for admission at the center.
He was born through normal delivery and assisted by DR. PIA CENTENO, Medical Officer III of
Zamboanga City Medical Center;
6. That during the interview of the child’s mother, it was found that the subject child’s
mother worked as a Guest Relation Officer (GRO) in Fantacy KTV bar along MCLL Highway,
Guiwan, this city, and his father could not be identified. No further details regarding his family
background was established due to the mother’s inconsistent answers to the questions. Moreover,
the referring social worker, MS. SARAH LIM worked out to submit child’s mother for assessment
by psychiatrist but the mother refused as she insisted to be mentally stable and healthy. Per
collateral review on the given address, it was found that the mother has several men whom she does
not want to identify. She has no relative living in the city.

7. That during the child’s admission in the center, the mother, was informed of the
placement status of the child and the center’s programs and services. She was also advised to come
and visit her son to determine her readiness to assume the role of parenting. Unfortunately, the
mother failed to fulfill such agreement. In fact, it was her first and last visit to her child has been
deprived of the love, care and attention from his biological mother since he was two (2) days old
up to the present;

8. That as per Child Study report, the DSWD has evaluated and recommended that the
minor child can be legally adopted to spouses ABRAHAM D. SANTIAGO and ESTER A.
SANTIAGO for the child’s best interest and welfare. A copy of said DSWD Child Study Report is
herein attached as Annex “B”;

9. THAT, MOREOVER, Petitioner is qualified to adopt the minor child above-named


under Articles 183-186 of the Family Code of the Philippines, as amended by the provisions of
Republic Act No. 9552, the Domestic Adoption of 1998;

10. That, in addition, the adoptive applicants have been married since June 16, 2007 but
they remain childless. The spouses decided to foster a child to whom they can give their love, care
and affection. On January 10, 2014, Marlou Rojas from the Child Reception and Study Center for
Children at Talon-Talon, this city, was placed under their custody as foster child. Attached herewith
is a copy of the spouses’ Marriage Contract as Annex “C”;

11. That the DSWD in fact made a Child Study Report on the case of the subject minor
child and in that study report i.e. social diagnosis the minor deprived of parental love and care.
They maintained that it was the present custodian, who unselfishly provided them love and the best
opportunities to make the child fully accepted and loved by the family resulting to a positive parent-
child relationship;

12. That, on September 30, 2015, the subject minor was formally matched to Spouses
ABRAHAM and ESTER SANTIAGO. Last October 15, 2015, the corresponding AFFIDAVIT OF
CONSENT TO ADOPTION by DSWD was issued and herein attached and form part of the petition
as Annex “D”;

13. That herein petitioners has the capability and ability to extend to said minor the kind of
financial support that a parent can give to his child. ABRAHAM SANTIAGO is an Accounts
Officer in the Land Bank of the Philippines while the wife ESTER is a pre-school teacher at Ateneo
de Zamboanga University Grade School. Attached hereto are the employment identification cards
of petitioners as Annex “E” and “E-1”;
9. That it is for the best interest of said minor if they would be considered as child of herein
petitioners because his financial, spiritual, and emotional needs would be taken care of and his
future would be safeguarded. In fact, the couple owns a house located a safe neighborhood in Sta.
Maria. They also hired a nanny to take care of the subject minor while they are at work. Moreover,
the mother of Abraham lives with the spouses who loves the child as much as the spouses. With
that, the DSWD, in its Home Study Report, has strongly evaluated and recommended that the
Honorable Court approve the adoption of minor Marlou Rojas to Spouse Abraham Santiago and
Ester A. Santiago. A copy of the Home Study Report is herein attached as Annex “F”;

10. That the spouses are of good character, has no derogatory record whatsoever can be
attributed to them, are emotionally and psychologically capable of caring for the child, are more
than sixteen (16) years older that the subject minor sought to be adopted, are in position to support
and care said child in keeping with the means of the family. Attached herewith are copies of their
Police clearances as statements as Annexes “G” and “G-1”;

11. That, at present, the subject minor is now three (3) years old and has been with the
petitioners for two (2) years now. He has adjusted well in the atmosphere and environment of his
foster family. He is observed to be an active, healthy, sociable and affectionate child. Generally
speaking, his total growth and development is within the normal level which could be attributed to
the positive, alternative, and stimulating activities given by the foster family.

12. That the minor sought to be adopted does not own any real, personal, tangible and
intangible property; and

13. That this adoption is for the best interest and security of the said minor if he would be
considered as true and legal child of herein petitioners and it will make his life normal, productive,
and good persons in the community;

PRAYER

WHEREFORE, premises considered, it is respectfully prayed of this Honorable Court to grant this
petition of Spouses Abraham and Ester Santiago for the adoption of Marlou Rojas and for the change of the
child’s name to Clifford A. Santiago.

Such other reliefs which the Honorable Court may deem just and equitable under the premises are
likewise prayed for.

RESPECTFULLY SUBMITTED.

City of Zamboanga, Philippines, January 7, 2016.

FATIMA SARPINA P. HINAY


Counsel for the Petitioners
MP Tower, Buenavista St.
Zamboanga City
ROLL NO. 87221 5-16-10
IBP NO. 896989 1-04-16
PTR No. 0927798 1-04-16

(Republic of the Philippines)


(City of Zamboanga ) S.S.
X- - - - - - - - - - - - - - - - - - - - - - - )

VERIFICATION AND CERITIFICATION

We, Spouses ABRAHAM D. SANTIAGO and ESTER A. SANTIAGO, both of legal age,
Filipino citizens, and residents of #54 Lacandalo Drive, Sta. Maria, Zamboanga City, under oath, depose
and state:

1. That we are the Petitioners in the above-mentioned case;


2. That we have caused the preparation of this Petition;
3. That we have read and understood its contents and affirm that they are true and correct to our
personal knowledge and based on authentic records; and,
4. That we hereby certify that there is no other case or special proceeding commenced or pending
before any court involving the same parties and the same issue and that should we learn of
such a case or special proceeding, we shall notify the court within five (5) days from our
notice.

IN WITNESS WHEREOF, we have signed this instrument on the 7th day of January 2016, in
the City of Zamboanga, Philippines.

ABRAHAM D. SANTIAGO ESTER A. SANTIAGO


Affiant Affiant

SUBSCRIBED AND SWORN to before me this 7th day of January 2016, in the City of
Zamboanga, Philippines.
Doc. No. ___ FATIMA SARPINA P. HINAY
Page No. ___ Notary Public
Book N0. ___ MP Tower, Buenavista St.
Zamboanga City
Series of 2016 ROLL NO. 87221 5-16-10
IBP NO. 896989 1-04-16
FORM18 INFORMATION FOR THE CRIME THEFT
(Information for Theft)
(caption)
INFORMATION

The undersigned, _____________, accuses _____________ of the crime of THEFT, committed as


follows, to wit:

That on or about _____________, at about _________ (a.m./p.m.), in the City/Municipality of


_____________, Province of _____________ and within the jurisdiction of this Honorable Court, the said
accused, with intent to gain, did then and there willfully, unlawfully, and feloniously take, steal and carry
away the following personal properties belonging to one, _____________, to wit: _____________,
without the latter's consent and against his will, with a total value of P_____________ to the damage and
prejudice of the said _____________ in the cited amount.

Contrary to law.

_____________, Philippines, __Date__.

PROSECUTOR

Witnesses:

____________________
____________________

(Certification of Preliminary Investigation)


FORM 19 COMPLAINT AFFIDAVIT FOR THEFT
REPUBLIC OF THE PHILIPPINES )
QUEZON CITY, METRO MANILA ) S.S.
x---------------------------------------x

AFFIDAVIT-COMPLAINT

I, BRYAN VALDERAMA EGUIA, of legal age, Filipino and a resident of B168 L48 PII
Mabuhay City, Mamatid Cabuyao Laguna, after having been sworn to in accordance with law hereby
depose and state:

1. That am accusing MR. KEVIN RABAGO a resident of ______________ of THEFT.

2. That on January 23, 2017, I was resting at our office’s lounge and eventually slept;

3. That on that same date, when I woke up, I realized that I had lost my Xperia X-
Performance Black 64g, (herein after referred to as “Cellular Phone”) phone which I had
placed at the end-side portion of the double deck bed where I rested and slept;

4. As standard procedure, I verbally reported the incident to my team manager, and


Operations Manager and they promised to look into it;

5. February 7, 2017, a friend of mine, MARY GRACE JOYA noticed that our co-worker,
KEVIN RABAGO had a new phone which was very similar to the one I lost;

6. That on February 10, 2017 early in the morning, I confronted MRS. “JEN” RABAGO, the
mother of respondent KEVIN RABAGO, who was also a fellow co-worker about KEVIN
RABAGO having possession of a stolen phone;

7. That on February 10, 2017 around 5:30am in the morning, KEVIN RABAGO went to our
station and brought the phone in his possession;

8. At this juncture, myself, MR. EDGARSON DELA CRUZ, my team leader and KEVIN
RABAGO examined the IMEI of the cellular phone to check its identity and verify if its
IMEIs matches my lost phone’s IMEIs which are all indicated in the (1) Warranty Receipt
and (2) Product Box in my possession;
9. Upon checking the phone’s IMEIs, we found out that it was a complete match;

IMEI1: 358096072063585
IMEI2: 358096072063593

10. When we asked KEVIN RABAGO why he stole my cellular phone, he denied stealing the
same, and argued that he won the said phone in a computer tournament, furthermore he
refused to return the cellular phone to me;

11. Respondent KEVIN RABAGO, despite my objection, asked us to allow to him to get the
box and show proof that he indeed won the said cellular phone in a contest, however he
never returned nor did he show proof of his rightful possession of my cellular phone;

12. Later on, he informed me that he had lost the cellular phone;

THEFT

Art. 308. Who are liable for theft. — Theft is committed by any person who, with intent to
gain but without violence against or intimidation of persons nor force upon things, shall
take personal property of another without the latter’s consent.

Theft is likewise committed by:

Any person who, having found lost property, shall fail to deliver the same to the local
authorities or to its owner;

13. That attached hereto as Annexes to prove the elements of the crime of theft:

“A” – Warranty Receipt of the stolen phone indicating the name of the buyer and its
respective IMEIs (International Mobile Equipment Identity);1
“B” – Sworn Affidavit of Team Leader EDGARSON DELA CRUZ, to prove and attest
that the IMEI of cellular phone in possession of KEVIN RABAGO matches the IMEI of
the cellular phone I bought;

“C” - Signed statement of EDGARSON DELA CRUZ dated March 29, 2017;

“D” – Incident Report dated February 6, 2017 which I sent to our operations manager to
report that a fellow co-worker saw KEVIN RABAGO in possession of a cellular phone
which was very similar to the one stolen from me;

“E”- Photographs of the stolen phone;

“F” – Photographs of the Product Box, indicating the IMEIs of my cellular phone, to prove
the phones unique identity.

That I am executing this Complaint-Affidavit for the purpose of filing the complaint for THEFT
against MR. KEVIN RABAGO.

IN WITNESS WHEREOF, I have hereunto set my hand this ____day of April 2017, in Quezon
City, Philippines.

BRYAN VALDERAMA EGUIA


Complainant/Affiant

SUBSCRIBED AND SWORN TO before me this _____ day of April, 2017, in Pasig City,
Philippines, and hereby certify that I have personally examined the Affiant and I am satisfied that he
voluntarily executed and understood his complaint affidavit

Assistant City Prosecutor


FORM 20 MOTION TO REDUCE BAIL FOR THEFT
Motion to Reduce Bail for Theft
REPUBLIC OF THE PHILIPPINES
FOURTH JUDICIDAL REGION
MUNICIPAL TRIAL COURT IN CITIES
IMUS, CAVITE
PEOPLE OF THE PHILIPPINES
Plaintiff, Criminal case no. 12-0043
Theft
-vs-
RICHARD MOLINA
accused
MOTION TO REDUCE BAIL
Accused, through counsel, by way of a special appearance solely for this purpose, respectfully alleges:

1.That the accused has been charged with _____________ and that the bail for his provisional release has
been set at P_____________;

2. That the accused is a poor fellow of very limited means such that it is impossible for him to pay the full
amount of his bond and is therefore constrained to request for a reduction of the amount of bail;

3. That it would be advantageous to everyone if he be given temporary liberty thereby allowing him to
continue with his gainful employment and as head of the family with _____________ dependents;

4. As such, accused appeals to the mercy and compassion of this Honorable Court and respectfully
requests that his bail be reduced to P_____________.

5.That this motion for reduction of bail is being filed without prejudice to any other remedy which may be
available to the accused and that the accused expressly reserves the right to question the legality of the
issuance of the search warrant or his warrantless arrest if the circumstances would so warrant.

WHEREFORE, accused respectfully prays that his bail be reduced to P_____________.

Other relief just and equitable are likewise prayed for.

_____________, Philippines, __Date__.


FORM 21 AFFIDAVIT OF DESISTANCE
Republic of the Philippines
Department of Justice
National Prosecution Service
OFFICE OF THE CITY PROSECUTOR
Makati City

AFFIDAVIT OF DESISTANCE

WE, FERDINAND M. CASTRO and ROWENA A. CASTRO, Filipinos, of legal ages, husband and
wife, respectively, and residents of 106 Sisa Street, Sampaloc, Manila after having been duly sworn to in
accordance with law, depose and state:

1. We are the private complainant in a criminal case for Reckless Imprudence Resulting to Damage to Property
against Joel O. Castillo docketed as IS No. XV-05-INV-10G-01000 before the Office of the City
Prosecutor, Makati City

2. In this regard, the accused has already paid the damage to our vehicle;

3. In view of the payment by the accused and considering that Rowena A. Castro was not injured, we would
like to manifest that we now completely and absolutely exonerate the accused from any liability in
connection with the above-mentioned criminal case and that we are no longer interested, and we hereby
desist, in prosecuting the said criminal case;

4. As such, we respectfully pray that the aforementioned case against Joel O. Castillo be withdrawn and/or
dismissed.

IN WITNESS WHEREOF, we have hereunto set our hands this ___________________ in


_______________, Philippines.

FERDINAND M. CASTRO ROWENA A. CASTRO

Affiant Affiant

Philippine Passport No. _____ Philippine Passport No. _____


Issued at: ________________ Issued at: ________________
Issued on: ________________ Issued on: _______________

SUBCRIBED AND SWORN TO before me this ___________________ in


_________________, Philippines, affiants exhibiting to me their valid proofs of identification.
Doc. No. _____;
Page No. _____;
Book No. _____;
Series of 2013.

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