Professional Documents
Culture Documents
Affidavit of Trustee
Affidavit of Trustee
Affidavit of Trustee
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AFFIDAVIT OF TRUSTEE
That we are the wife and son of pensioner and retired PNP Officer
_______________;
That we are his two (2) chosen trustees for his monthly pension;
______________________ ___________________
Affiant Affiant
JULIUS L. LEONIDA
Brgy. Camaliga
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF KALIBO )
X------------------------------------------X
AFFIDAVIT
That my house is more or less 20 meters away from the house of Evina
Remetio;
That I then went there to know what was his purpose of going there, being
Evina Remetio is my sister-in-law;
That Juvy Recopuerto asked me, where is Nang Tenny, and I told him that
she was there in her house;
That Juvy Recopuerto entered the house of Evina and I followed him
inside the house, and I saw him and heard saying to quote: “tama bala mana ro
imo ngato nga gin paobra nga declaration ay?, (Was the tax declaration that you
processed correct?);
That later on, his wife Evie Recopuerto, who is a Public School Teacher of
Camaligan National High School, Brgy. Camaligan, Batan, Aklan arrived and
got inside the house of Evina Remetio;
That she pointed her finger at Evina Remetio and shouted to quote:
“manloloko ka, buhi pa si tatay ngaron ginlinoko mo ron”, (You’re swindler, you
cheated my father during his lifetime). That she did it while in the act of pointing
her finger at Evina. That she further shouted and quote: “kon indi ako makabalos
kimo, hay paagi sa dios ag sa ibang tawo makabalos ako kimo, (If I cannot
revenge to you, god will do it to you and through other person);
That Juvy Recopuerto and his wife Evie Recopuerto went out the house
and went home;
That at around 8:45 o’clock in the evening of the same day of September
07, 2004, said Juvy Recopuerto arrived riding his motorcycle and stopped near
the gate of the house of Evina Remetio and sounded his horn loudly and
thereafter I heard three (3) successive gunshot burst (pak, pak, pak);
That he shouted to quote: “Bilat inamo Tennie gwa” (Son of the Bitch,
Tennie go out). That he did it twice;
-Page No.2-
That at around 10:20 o’clock in the evening, I heard another six (6)
successive gun shot burst outside the gate of the house of Evina Remetio and
heard the shouted to quote: “Tennie gwa draw tayo, bukas indi ka sisikatan ng
araw. Inumpisahan mo problema tapusin ko”. (Tennie go outside we will draw,
tomorrow you will never see the sunlight, you started the problem, I will finish it;
That I went out from my house and went secretly inside the fence of Evina
Remetio at the back portion and observed what was going on, but when I arrived
I saw Juvy Recopuerto walking back and forth outside the gate of the house of
Evina Remetio;
That when the situation is already alright I went home and sleep;
n,
Batan, Aklan
October 18, 2004
THEHONORABLE OMBUDSMAN
Office of the Ombudsman
Office of the Deputy Ombudsman for the Military
and other Law Enforcement Offices
3rd Floor, Ombudsman Bldg.,
Agham Rd. Diliman (1104), Quezon City
Sir:
-Page No.2-
That few minutes thereafter they left and they got inside their
house;
That when Juvy and his wife and mother-in-law left, I told
Odellio Dionisio to go home, and thereafter he went home. That my
brother-in-law Santiago Bustamante who was near my kitchen also
went home;
That I feel too much afraid during that time and nervous
breakdown, as I have a minor daughter with me and I was not able to
sleep the whole the night;
That I called the police station, PNP Batan, Aklan after Juvy
Recopuerto shot his gun for six (6) successive shots and that the same
was recorded in the blotter report of the PNP Batan, Aklan”
Camaligan, Batan, Aklan, and also showed the piece of paper to the
police at the PNP Station, Batan, Aklan
In support this complaint herewith attached are the following:
That this case is being filed to this Honorable Office considering that
the respondent is a military and the act complained of, involves the
unbecoming conduct and unwarranted act of a military by filing his gun in
front of my gate and by threatening me to kill.
EVINA D. REMETIO
Affiant
CTC No. 10641033
Issued on. January 28, 2004
Issued at. Batan, Aklan
-Page No.4-
CERTIFICATION
I hereby certify that I have personally examined the affiant and am
satisfied that she had freely executed the foregoing affidavit and the
allegations therein contained are fully understood by her.
JULIUS L. LEONIDA
VERIFICATION/CERTIFICATION
That if I should learn thereafter that a similar case has been filed or
pending before the Supreme Court, the Court of Appeals, or any other court,
tribunal or agency, I undertake to promptly inform this Honorable Office of
such fact within five (5) days therefrom.
EVINA D. REMETIO
Affiant
CTC No. 10641033
Issued on. January 28, 2004
Issued at. Batan, Aklan
That Dionisia Tipay during her lifetime owns real properties consisting of
two (2) parcels of land located at Brgy. Navitas, Numancia, Aklan, more
particularly described as follows:
copies of Tax Declaration are hereto attached and marked as ANNEXES “D”,
and “E”;
That ONLY LAST July 2003, when I discovered that the above-described
two (2) parcels of land was no longer in the name of our mother in law Dionisia
Tipay;
“ That I am the only child of Dionisia Tipay who died intestate many years
ago.
-Page No.2-
That my mother Dionisia Tipay left upon her demise two (2) parcels of
land located at Navitas, Numancia, Aklan, Philippines”;
That Tax Declaration No. 8249 in the name of Dionisia Tipay was
cancelled and presently superseaded by Tax Declaration No. ARPT/TD No. 93-
015-0158/93-015-0159, designated as Ass. Lot No. 6593, with an area of 1,635
square meters, more or less, in the name of Carmen T. Melgar, copy of which is
hereto attached and marked as ANNEX “G”,
That Tax Declaration No. 8217 also in the name of Dionisia Tipay was
cancelled and presently superseaded by Tax Declaration No. ARPT/TD No.93-
015-0060/93-015-0061,designated as Ass. Lot No 6525-A, with an area of 1,336
square meters, more or less, in the name of Sofronio Reyes, copy of which is
hereto attached and marked as ANNEX “H”,
That a parcel of land covered Tax Declaration No. 8217, after execution of
Deed of Adjudication, was sold by Carmen T. Melgar without the knowledge of
my husband to Vislumeno Reyes and Lydia Reyes, copy of Deed of Sale is
hereto attached and marked as ANNEX “F”,
That it is very clear that Carmen T. Melgar executed the said Deed of
Adjudication in order for her to inherit alone the properties if the deceased
Deonesia Tipay and to include her brother, she declared underoath before notary
public that she is the only children of Dionisia Tipay when in truth the latter has
other children;
-Page No.3-
IN WITNESS WHEREOF, I have hereunto affixed my signature this
________th day of October 2004 at Kalibo, Aklan , Philippines.
INDALENCIA J. BAUTISTA
Affiant
CTC No. __________________
Issued on __________________
Issued at ___________________
CERTIFICATION
JULIUS L. LEONIDA
DOMINGO BERLANDINO
Affiant
CTC No. __________________
Issued on __________________
Issued at ___________________
MELROSE S. LUNN
Affiant
CTC No. 56892004_____________
Issued on __________________
Issued at ___________________
AFFIDAVIT
That I am the grandmother of the two (2) minors namely: Ray Vincent Rembulat
Regente, 7 years old, and Kent Joshua Rembulat Regente, 5 years old, being their
mother Joy Rembulat-Regente, is my daughter;
That said minors are presently in custody of their father Romel Regente,
considering that their mother Joy Rembulat-Regente is presently working in Taiwan;
That on November 06, 2004, Saturday, at around 11:00 o’clock in the morning, I
went to my grandsons who were staying at the house of Melly Regente, the mother of
Romel Regente at General Luna Street, Kalibo, Aklan and upon arrival I noticed that
the eldest Ray Vincent Rembulat Regente is not around;
That I asked Kent Joshua Rembulat Regente if where is his brother and he told
me that he was at the house of Rodolfo Jorque, the brother-in-law of Romel Regente at
Oyo Torong St., Kalibo, Aklan;
That I asked Romel Regente if where is Ray Vincent Rembulat Regente and he
told me that he was inside the house, and thereafter Ray Vincent upon noticing me,
went out the house and talked to me;
That he told me that he is very hungry and I asked him why he stayed in the
house of Rodolfo Jorque, as today is my visiting day, being Saturday;
That he told me that he was prevented by his father Romel Regente to see me
anymore and he was being kept in the house of Rodolfo Jorque;
That I asked him why he was kept by your father, and he told me that my father
Romel Regente is afraid of discovering my injuries that I suffered, and he shown to me
his injuries on different parts of his body which he complained of aching;
That he confessed to me that he was being hammered and beaten by his father
with the use of fuel wood;
That I told him if what is his mistake why he was beaten by his father, and he
told me that he was not able to go home on lunch time on Friday, November 05, 2004
and his father got angry and beat him with use of fuel wood, hitting him in the different
parts of his body.
-Page No.2-
That I gave him food as it is a usual day of visiting both of them, and while
eating, Romel Regente confessed also to me that he beat his son because the latter did
not obey him;
That I told him to bring the child to the hospital for check up as the injuries
might have caused for infection, but he prevented me and so I reported the incident to
the PNP Kalibo, Aklan and the police went to the house of Melly Regente and
conducted investigation;
That the police brought the child to the Rafael S. Tumbokon Memorial Hospital,
Kalibo, Aklan for medical check up, copy of Medico-Legal Report is hereto attached;
That the PNP Kalibo, Aklan also blottered the incident copy of which is hereto
attached;
That there were many incidents involving the abusive conduct of the accused
against the minors and said incident were duly recorded at the PNP Kalibo, Aklan;
That I am executing this affidavit to the attest to the truth of the foregoing facts.
ROSITA REMBULAT
Affiant
Doc No.______
Page No._____
Book No._____
Series of 2004.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that she had freely executed the foregoing affidavit and the allegations therein
contained are fully understood by her.
AFFIDAVIT
That I applied for Free Patent of the above-mentioned parcel of land with
the Department of Environment and Natural Resources, Kalibo, Aklan;
That having submitted application for Free Patent with the DENR, I will
no longer apply the said lot for title with the Court, nor secure any other
documents for title as required by the court;
MAXIMINO ALAYAC-YAC
Affiant
CLARO BRIONES
Lessor
BEATO FUTOZA
Lessee
AFFIDAVIT OF LOSS
I, MELANIE Z. RAMPOLA, legal age, Filipino citizen, married and resident of Polo,
Banga , Aklan, Philippines, after having been duly sworn to, in accordance with law, hereby
depose and say:
That I am a licensed teacher, having passed the Professional Board Examination for
Teacher sometimes in 1992;
That I was issued a Manila Teacher’s Identification (ID) Card by the Manila Teacher
Loan Association, Iloilo;
That the said Manila Teacher’s Identification (ID) Card was lost in my possession
without fault on my part;
That I conducted search, inquiry and investigation to locate the said Manila Teacher’s
Identification (ID) Card but it could not be found and that the earnest effort thus conducted
proved futile;
That I executing this affidavit of loss to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 23 rd day
of July 2004, at Kalibo, Aklan, Philippines:
MELANIE Z. RAMPOLA
Affiant
SUBSCRIBED AND SWORN to before me this 23rd day of July 2004 at Kalibo,
Aklan, Philippines. Affiant exhibited to me her Community Tax Certificate No. 12137744,
issued on January 08,2004 at Banga , Aklan.
AFFIDAVIT OF LOSS
I, CECILIA L. ALFARO, legal age, Filipino citizen, married and a resident of Pook,
Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance with law, hereby
depose and say:
That I obtained a loan from M. Lhuillier Pawnshop located at Toting Reyes St., Kalibo,
Aklan in the amiunt of P 1,100.00. and one (1) L ring dz. 18K, 2 10 grms .was given as
security and as such a Pawnticket No. 1925 was issued to me by the said Pawnshop;
That I conducted search, inquiry and investigation to located the said pawnticket but
the same could not be found and that the earnest effort thus conducted proved futile;
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 7 th day
of December 2004, at Kalibo, Aklan, Philippines:
CECILIA L. ALFARO
Affiant
SUBSCRIBED AND SWORN to before me this 7th day of December 2004 at Kalibo,
Aklan, Philippines. Affiant exhibited to me her Community Tax Certificate No. 10599349,
issued on February 05,2004 at Kalibo, Aklan.
AFFIDAVIT OF OWNERSHIP
I, LILIA D. BOHOLANO, of legal age, widow, Filipino and a resident of Brgy.
Pook, Klaibo, Aklan, Philippines, after having been duly sworn to, in accordance with
law, hereby depose and say:
which parcel of land is covered by OCT No. P-3389 in the name of my deceased
husband;
That upon death of my husband, I have the right to inherit the above-described
parcel of land and take possession thereof;
That this affidavit is being executed to attest to the truth of the foregoing facts;
LILIA D. BOHOLANO
Affiant
DOC. NO.__________
PAGE NO.__________
BOOK NO.__________
SERIES OF 2004.
SUBSCRIBED AND SWORN to before me this 20TH day of December 2004
at Kalibo, Aklan, Philippines. Affiant exhibited to me his Community Tax Certificate
No. 10655351, issued on March 09, 2004at Kalibo, Aklan.
DOC. NO.________
PAGE NO._______
BOOK NO._______
SERIES OF 2004.
REPUBLIC OF THE PHILIPPINES )
PROVINCE OF AKLAN : S. S.
MUNICIPALITY OF KALIBO )
X-----------------------------------------X
AFFIDAVIT OF SUPPORT
That my father GERONIMO P. FLORES, SR.. who is now seventy eight (78)
years old is presently confine at Dr. Rafael S. Tumbokon Memorial Hospital;
DOC. NO.________
PAGE NO._______
BOOK NO._______
SERIES OF 2005.
AFFIDAVIT OF CORRECTION
That just recently I discovered that the designation of lot as shown in the
Technical Description at the back of the said Title was wrongfully written as “Lot No.
1919”, being the true and correct designation of Lot thereof is “Lot No. 1991”;
ABELARDO GELITO
Affiant
AFFIDAVIT OF UNDERTAKING
That I am the brother of the deceased Teddy Lim who is the Permittee of
Billiard Hall, located at Roxas Ave., Extension, Kalibo, Aklan;
That it was agreed upon by my brothers and sisters that the said Billiard
Hall will be administered by me upon the death of my brother Teddy Lim, and
that I will take custody and control over all management of the said Billiard Hall;
DENNY V. MACABANTE
Affiant
Doc No.______
Page No.______
Book No.______
Series of 2005.
AFFIDAVIT
I, CORAZON QUINICIO, of legal age, Filipino citizen, married and a resident of Brgy.
Morales, Balete, Aklan, Philippines, after having been duly sworn to, in accordance with law,
depose and say:
That I know the Spouses Mamerto Quinicio and Zenaida Quinicio, the latter is my first
cousin, being her father Vicente Barrero and my father Alfredo Barrero are brothers, and they
are also residents of Brgy. Morales, Balete, Aklan;
That being barriomate and cousin, I have personal knowledge of the fact that Zenaida
Quinicio owned a parcel of agricultural land registered in her name located at Brgy. Morales,
Balete, Aklan covered by Transfer Certificate of Title No. T-19631, designated as Lot
No.1498-A-1, Psd-06-021268, with an area of 1,382 square meters, copy of the said title is
hereto attached;
That I personally know also that the said Spouses Mamerto Quinicio and Zenaida
Quinicio filed a case against Amelina De Jose at the Department of Agrarian Reform, Kalibo,
Aklan involving a parcel of land covered by tax declaration no. 0776/0777 with a total area of
8,490 square meters also located at Brgy. Morales, Balete, Aklan;
That I have likewise personal knowledge that the said Spouses Mamerto Quinicio and
Zenaida Quinicio are not the tenants of the said land, as they were merely entrusted by their
brothers and sister to possess the said land sometime in the year 1980, as pity consideration
being the said spouses have no source of income and the giving of possession to them of the
said land by trust and confidence would help their daily subsistence;
That I am executing this affidavit to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit on this 9 th day of January
2005, at Kalibo, Aklan, Philippines.
CORAZON QUINICIO
Affiant
CTC No. __________________
Issued on __________________
Issued at ___________________
SUBSCRIBED AND SWORN to before me this 9 th day of January 2005 at Kalibo, Aklan,
Philippines. Affiant exhibited to me her Community Tax Certificate No. as above-indicated.
AFFIDAVIT
I, WILLIAM CUATRIZ, of legal age, Filipino citizen, married and a resident of Brgy.
Morales, Balete, Aklan, Philippines, after having been duly sworn to, in accordance with law,
depose and say:
That I know the Spouses Mamerto Quinicio and Zenaida Quinicio, being Mamerto
Quinicio is my cousin;
That I likewise knew the fact that Mamerto Quinicio had been entrusted by his brothers
and sisters, to till and cultivate portion of their common land;
That the said portion that was entrusted to him, after partition belong to Roberto
Cuatriz, who is his elder brother;
That being said land is adjoins my uncle’s property, Roberto Cuatriz offered to sell his
land which he acquired after partition to me in considerable amount, but I told him to offer first
the same to his brothers and sisters;
That it is of common knowledge at Brgy. Morales, Balete, Aklan that the land of
Roberto Cuatriz is for sale, as the latter during that time was confined in the hospital and that
his family was in dire need of money;
That I was present when Roberto Cuatriz offered for sale the said land to the Spouses
Mamerto Quinicio and Zenaida Quinicio but the latter refused contending that they are not
interested to buy the land, and they were tilling some other land at Brgy. Morales, Balete,
Aklan;
That Mamerto Quinicio has been tilling and cultivating other agricultural land also at
Brgy, Morales, Balete, Aklan;
That I am executing this affidavit to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit on this 9 th day of January
2005, at Kalibo, Aklan, Philippines.
WILLIAM CUATRIZ
Affiant
CTC No. __________________
Issued on __________________
Issued at ___________________
SUBSCRIBED AND SWORN to before me this 9 th day of January 2005 at Kalibo, Aklan,
Philippines. Affiant exhibited to me his Community Tax Certificate No. as above-indicated.
AFFIDAVIT
That I know the Spouses Mamerto Quinicio and Zenaida Quinicio, being Mamerto
Quinicio is my uncle;
That I likewise knew the fact that Mamerto Quinicio had been entrusted by his brothers
and sisters, to till and cultivate portion of their common land located Brgy. Morales, Balete,
Aklan;
That the said portion that was entrusted to him, after partition belong to Roberto
Cuatriz, who is his elder brother;
That, Roberto Cuatriz offered to sell his land which he acquired after partition to me
and as I wanted to buy the said land, I told him to wait for a few month, I will consult first my
children if they are willing to buy the same;
That thereafter I went back to Roberto Cuatriz to confirm that I will buy the said land,
but he told me that he will no longer sell the said land to me, as he will sell it to his brother
Mamerto Quinicio, who has no other sources of income that time. That he decided to sell the
land to his brother Mamerto for pity consideration;
That in my presence, Roberto Cuatriz then offered to sell the said land to Mamerto
Quinicio, but the latter showed manifestation of refusal. If he is interested to buy the said land,
he should have paid Roberto Cuatriz at least 50 % of the amount of the land or to pay the
whole amount in cash;
That I know that Mamerto Quinicio during that time has sufficient money because after
offering the said land to him, he bought agricultural equipments, among others, hand tractor,
turtle and others;
That two (2) years thereafter, Roberto Cuatriz was hospitalized and while confined in
the hospital, the latter wrote Mamerto Quinicio to visit him in the hospital as he badly need the
money and he is going sell the said land to him, and I was the one requested to deliver the
letter, which I personally handed the letter to Mamerto Quinicio;
That Mamerto Quinicio failed to come to the hospital and so, Roberto Cuatriz again
offered to sell the said land to me, but I told him that I have no more money;
That I informed the family of Roberto Cuatriz to sell the land to Amelina De Jose who
is presently working abroad;
That being in dire need of money, Roberto Quinicio sold the land to Amelina De Jose,
through her mother Alferia De Jose, with knowledge and approval of all the adjoining owners,
his brothers and sisters including Mamerto Quinicio;
That it is of common knowledge at Brgy. Morales, Balete, Aklan that the land of
Roberto Cuatriz is for sale, as the latter during that time was confined in the hospital and that
his family was in dire need of money;
-Page No. 2-
That Mamerto Quinicio has been tilling and cultivating other agricultural land also at
Brgy, Morales, Balete, Aklan;
That Mamerto Quinicio has no more right to be reinstated in the land sold to Amelina
De Jose, as he voluntarily turned over it to the former;
That Mamerto Quinicio is not the tenant of the land Amelina De Jose, as he has never
installed thereon as tenant. As far as I know, the possession of the said land came into the
possession of Mamerto Quinicio only by trust and confidence, having no sources of income
that time with obligation to return when the owner will need it;
That I am executing this affidavit to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit on this _______ day
of January 2005, at Kalibo, Aklan, Philippines.
LEONORA Q. MORALES
Affiant
CTC No. __________________
Issued on __________________
Issued at ___________________
SUBSCRIBED AND SWORN to before me this ______ day of January 2005 at Kalibo,
Aklan, Philippines. Affiant exhibited to me her Community Tax Certificate No. as above-
indicated.
AFFIDAVIT
I, BEN-ONI S. CUATRIZ, of legal age, Filipino citizen, married and a resident of Brgy.
Morales, Balete, Aklan, Philippines, after having been duly sworn to, in accordance with law,
depose and say:
That I know the Spouses Mamerto Quinicio and Zenaida Quinicio, being Mamerto
Quinicio is my cousin;
That I likewise knew the fact that Mamerto Quinicio had been entrusted by his brothers
and sisters, to till and cultivate portion of their common land;
That the said portion that was entrusted to him, after partition belong to Roberto
Cuatriz, who is his elder brother;
That sometime in the year 2000, Mamerto Quinicio who was then in possession of the
land of Roberto Cuatriz by trust and confidence, illegally cut big one (1) Santol tree inside the
property under my administration adjoining the land of Roberto Cuatriz;
That I filed a case against him in Court and after relocation survey and hearing, the
Court found out that I am the true and absolute owner of the portion where the Santol tree is
located;
That when I filed a case against him, Mamerto Quinicio engaged the services of
Provincial Attorney’s Office, Kalibo, Aklan to defend him, and so he did not incurred
attorney’s fees;
That Mamerto Quinicio was lied when he answered the Provincial Agrarian Reform
Adjudicator Myrna O. Del Socorro during the conference in which he was asked that he
incurred attorney’s fees in the amount of =P=17,000.00 plus;
That as far as the said case is concerned, Mamerto Quinicio incurred only expenses of
not more than =P=4,000.00, as the PAO lawyer never charged attorney’s fees and appearance
fees, being government lawyer;
That the payment he made was based only from the order of the court to pay me the
amount of =P=3,500.00 and no more;
That Roberto Cuatriz also offered for sell his land to me before selling it to Amelina De
Jose, being adjoining owner of the land under my administration, but during that time I have no
money;
That Mamerto Quinicio has been tilling and cultivating other agricultural land also at
Brgy, Morales, Balete, Aklan;
That Mamerto Quinicio is not the tenant of the land of Roberto Cuatriz, as I knew that
he was merely given privilige to till and cultivate the said land by his brothers and sisters as
pity consideration having no sufficient sources of income to support his family and with
obligation to return the land when needed;
That I have personal knowledge of the fact that Mamerto Quinicio owns by himself
hand tractors, and other agricultural equipments;
That I am executing this affidavit to attest to the truth of the foregoing facts.
-Page No. 2-
IN WITNESS WHEREOF, I have hereunto signed this affidavit on this ________ day
of January 2005, at Kalibo, Aklan, Philippines.
BEN-ONI S. CUATRIZ
Affiant
CTC No. __________________
Issued on __________________
Issued at ___________________
AFFIDAVIT
That I obtained a loan from the Aklan Development Bank in the amount of THIRTY
THOUSAND PESOS ONLY ( P 30,000.00).
That as security to the aforesaid loan, I executed a Real Estate Mortgage covering my
property located at Albasan, Numancia, Aklan which is more particularly described under the
Tax Declaration No. ARP/ TD Nos. 93-002-0343/ 93-002-0345-0346 PIN No. 038-16-002-04-
074; of the Provincial Assessor’s Office of Aklan;
That being an encumbrance, the same was annotated on Tax Declaration No. ARP/ TD
Nos. 93-002-0343/ 93-002-0345-0346 PIN No. 038-16-002-04-074;
That the aforementioned loan was already paid last April 17, 1996 yet but
unfortunately the official receipts evidencing the payment were lost;
That if these lost receipts of payment are found later on, I undertake to deliver the same
to PDIC for verification, and I hereby further agree to hold and PDIC free and harmless from
any claim, loss or unauthorized use of said receipts. Should PDIC incur any loss or damages
from my representation hereof, I hereby agree to indemnify them for the same, in addition to
my other liabilities, civil or criminal, that may arise therefrom;
That I was not able to immediately work on the cancellation of the aforesaid real estate
mortgage because I forgot to do so after paying;
That I do not have any outstanding obligation with Aklan Development Bank and if it
should have been discovered that she have unpaid obligation with the bank, I undertake to pay
the same to the Aklan Development Bank;
That I am executing this affidavit to secure a release and cancellation of Real Estate
Mortgage from the liquidator of the PDIC and to attest to the truth and veracity of the above
allegations.
DOC. NO._________;
PAGE NO._________;
BOOK NO.________;
SERIES OF 2005.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S.
MUNICIPALITY OF KALIBO )
X- - - - - - - - - - - - - - - - - - - - - - - -X
AFFIDAVIT
That I am the brother of the deceased Henry Itulid who died on October 6, 2004
at Daja Sur, Banga, Aklan;
That my brother during his lifetime has an illegitimate daughter named Kathrine
R. Itulid;
That in the Certificate of Live Birth of her daughter it was erroneously written
therein my name as the mother of his daughter Kathrine R. Itulid which in truth and in
fact he is my brother;
That I am executing this affidavit to attest to the truth that I am the sister of
Henry Itulid and to attest to the truth of the foregoing facts.
That I am executing this affidavit to attest to the truth of the foregoing facts.
PASDILLA I. RECASA
Affiant
CTC No. 24897488
Issued on Dec., 15, 2004
Issued at Banga, Aklan
_______________________ ____________________
SUBSCRIBED AND SWORN to before me this ____________day of January 2005 at
Kalibo, Aklan, Philippines. Affiant exhibited to me his Community Tax Certificate No. as
above-indicated.
AFFIDAVIT
I, ARNEL C. DELA CRUZ, legal age, Filipino citizen, married and a resident of
New Buswang, Kalibo, Aklan, Philippines, after having been duly sworn to, in
accordance with law, depose and say:
That I am the true and absolute owner of a parcel of land located at Rizal Street,
Kalibo, Aklan more particularly described as follows:
“A parcel of land (Lot No. 28 pt.), located Rizal St., Kalibo, Aklan,
bounded on the NE., by Lot 28 pt.; on the SE., by Rizal Street; on the SW., by
Lot 28 pt.; and on the NW by Lot 28 pt., containing an area of 174 square
meters, more or less, covered by ARP/TD No. 04261-PIN-038-01-001-14-091,
declared in the name of Arnel C. Dela Cruz.”
That Cooperative Rural Bank of Aklan acquired ownership over the said parcel
of land by virtue of legal processes under foreclosure proceedings when the Mortgagor
Ma. Ednita Isberto-Biznien failed to pay her loan, making said property as collateral.
Said property was issued tax declaration in the name of Cooperative Rural Bank of
Aklan under ARP/TD No. 04206-PIN-038-01-001-14-091;
That based on records the tax declaration that cancels by the tax declaration
issued to the CRB was the tax declaration no. ARP/TD No. 03889-PIN-038-01-001-14-
091, in the name of Ma. Ednita Isberto-Biznien;
That I am executing this affidavit to attest to the truth of the foregoing facts.
AFFIDAVIT
That I am the same Warren Andrade referred to and mentioned by Alma Ruiz-
Cabales in her affidavit executed on January 24, 2005 before 3 rd Assistant Provincial
Prosecutor of Aklan, who was pushing the motorcycle of his husband in order to start
its engine;
That on January 21, 2005, at around 11:00 o’clock in the morning, I together
with my family arrived at Brgy. Camanci Norte, Numancia, Aklan from our residence
at Pinamuc-an, New Washington, Aklan, to attend the birthday party of my nephew
Joshua Marte, the son of my younger brother;
That the party celebration was held in the house of my mother Martina Andrade
at Brgy. Camanci Norte, Numancia, Aklan;
That in the evening of the same day, I together with Isaias Cabales and his wife
Alma Ruiz-Cabales, Noli Matan, and Arman Matan engaged in a drinking session at the
house of my mother and we were all happy with the said celebration;
That at around 10:45 in the evening, we agreed to adjourne the drinking session
as it was already late evening, and so, Noli Matan and Arman Matan went ahead by
walking at the highway leading into their respective houses;
That afterwards Isaias Cabales together with his wife Alma Ruiz-Cabales
followed then and I conducted them to their service motorcycle parked near the
highway;
That when Isaias Cabales starts the engine of his motorcycle, it did not start. He
repeated kicking the starting pedal of his motorcycle but just the same, it failed;
That I pushed the motorcycle going towards the San Roque Chapel while Isaias
Cabales was riding on it and maneuvering the steering gear. His wife left behind;
That at around fifteen (15) meters distance of pushing the motorcycle, its engine
started. Isaias Cabales continued to hold on the gas supply in order to make the engine
well condition, and so the motorcycle continued running towards the San Roque
Chapel;
That after the engine of the said motorcycle had started, I stopped pushing it and
stood up observing the condition of the motorcycle while running;
That while observing the condition of the said motorcycle which was running
towards the Chapel, I saw Arman Matan ahead already passed by the said Chapel
without holding anything or a gun;
-Page No. 2-
That when the said motorcycle driven by Isaias Cabales was about to reach the
Chapel, I heard gun fires from the opposite side of the chapel, at the right side of the
highway;
That I saw Arman Matan running towards the nipal area at the left side of the
highway to cover his body;
That Arman Matan was not the one who shot Isaias Cabales because when the
gun fired, I saw him walking ahead of the motorcycle driven by Isaias Cabales at the
left side of the highway, while the gun fires were at the right side of the highway at the
place almost parallel to the San Roque Chapel;
That when I saw Arman Matan walking ahead of the motorcycle driven by Isaias
Cabales, he was not holding anything;
That immediately after Arman Matan run away, I immediately went back and
returned to the place where Alma Ruiz-Cabales was and told her to go inside the house,
which she did;
That Alma Ruiz-Cabales asked me, “what happened, I heard gun fires”. That I
answered her I don’t know;
That Alma Ruiz-Cabales then went out the house and proceeded to the house of
Losie Andrade about 50 meters away from the house of my mother;
That I am executing this affidavit to the attest to the truth that Arman Matan was
not the one who shot Isaias Cabales and to prove that Alma Ruiz-Cabales who was at
the house of mother at the time the incident happened did not actually see the criminal
and to attest to the truth of the foregoing facts.
WARREN V. ANDRADE
Affiant
SUBSCRIBED AND SWORN to before me this ______ day of February 2005
Kalibo, Aklan, Affiant exhibited to me her CTC No. 13474321, issued on January 28,
2005 at Camanci Norte, Numancia, Aklan.
Doc No.______
Page No._____
Book No._____
Series of 2004.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he had freely executed the foregoing affidavit and the allegations therein
contained are fully understood by him.
AFFIDAVIT
I, LOUIE IRABA, of legal age, Filipino citizen, single and a resident of Brgy.
Camanci Norte, Numancia, Aklan, Philippines, after having been duly sworn to, in accordance
with law, do hereby depose and say:
That I am one of the intimate friends of Arman Matan who is also a resident of Brgy.
Camanci Norte, Numancia, Aklan;
That being friends, we are always joking each other through exchange of text messages
in our cell phones;
That on January 22, 2005 at around 6:40 o’clock in the morning, I received message
from Arman Matan through his cell phone that he heard over the radio that he is the accused in
the shooting incident resulting to the killing of Isaias Cabales;
That thinking all the while that Arman Matan is still joking, I replied him through my
cell phone with no. 09108352374 also joking to quote: “Ba kin cno and nabaril nin u?;
That I was the one who sent the above-mentioned message to Arman Matan which is
only a joke, because I did not mean anything about my message;
That I do not know who is responsible in the killing of the said Isaias Cabales, and I
can attest to the truth that Arman Matan was not the one who killed Isaias Cabales,;
That I am executing this affidavit to the attest to the truth of the foregoing facts.
LOUIE IRABA
Affiant
SUBSCRIBED AND SWORN to before me this ______ day of March 2005 Kalibo,
Aklan, Affiant exhibited to me his CTC No. __________________, issued on
________________ at Camanci Norte, Numancia, Aklan.
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied that
he had freely executed the foregoing affidavit and the allegations therein contained are
fully understood by him.
AFFIDAVIT
I, LOSIE M. ANDRADE, of legal age, Filipino citizen, married and a resident of Brgy.
Camanci Norte, Numancia, Aklan, Philippines, after having been duly sworn to, in accordance
with law, do hereby depose and say:
That I am the wife of Noli Andrade and was the one of the Andrade’s family referred to
and mentioned by Alma Ruiz-Cabales in her affidavit executed on January 24, 205 before 3 rd
Assistant Provincial Prosecutor of Aklan, who extended help on her after the shooting incident
in which her husband was the victim;
That on January 21, 2005, at around 10:45 o’clock in the evening, while I was in my
house at Brgy. Camanci Norte, Numancia, Aklan, I heard several gun fires from San Roque
Chapel about fifty (50) meters away from our house;
That few minutes thereafter, Alma Ruiz-Cabales went to my house and sought
assistance from me, to check her husband Isaias Cabales who might be the one who was shot,
as he was not able to return She told me that she came from the house of my mother-in-law;
That I conducted her back to the house of my mother-in-law Martina Andrade and told
the latter to help Alma Ruiz-Cabales, as I could not accompany her, for I have to take care of
my children at home, my husband was drunk and he already slept;
That when I went back to my house, I saw Arman Matan already setting inside my
house and looked pale and barefooted. That I gave him a glass of water and told him to take a
rest;
That he told me that he could not believe he is still alive of what had transpired;
That he slept in my house the whole night and in the morning, he went home at 5:30
o’clock in the morning;
That I am executing this affidavit to attest to the truth of the foregoing facts.
Doc No.______
Page No._____
Book No._____
Series of 2005.
n awaken them hit by the the San Roque Chapel, I together with my family
arrived at Brgy. Camanci Norte, Numancia, Aklan from our residence at Pinamuc-an,
New Washington, Aklan, to attend the birthday party of my nephew Joshua Marte, the
son of my younger brother;
That the party celebration was held in the house of my mother Martina Andrade
at Brgy. Camanci Norte, Numancia, Aklan;
That in the evening of the same day, I together with Isaias Cabales and his wife
Alma Ruiz-Cabales, Noli Matan, and Arman Matan engaged in a drinking session at the
house of my mother and we were all happy with the said celebration;
That at around 10:45 in the evening, we agreed to adjourne the drinking session
as it was already late evening, and so, Noli Matan and Arman Matan went ahead by
walking at the highway leading into their respective houses;
That afterwards Isaias Cabales together with his wife Alma Ruiz-Cabales
followed then and I conducted them to their service motorcycle parked near the
highway;
That when Isaias Cabales starts the engine of his motorcycle, it did not start. He
repeated kicking the starting pedal of his motorcycle but just the same, it failed;
That I pushed the motorcycle going towards the San Roque Chapel while Isaias
Cabales was riding on it and maneuvering the steering gear. His wife left behind;
That at around fifteen (15) meters distance of pushing the motorcycle, its engine
started. Isaias Cabales continued to hold on the gas supply in order to make the engine
well condition, and so the motorcycle continued running towards the San Roque
Chapel;
That after the engine of the said motorcycle had started, I stopped pushing it and
stood up observing the condition of the motorcycle while running;
That while observing the condition of the said motorcycle which was running
towards the Chapel, I saw Arman Matan ahead already passed by the said Chapel
without holding anything or a gun;
-Page No. 2-
That when the said motorcycle driven by Isaias Cabales was about to reach the
Chapel, I heard gun fires from the opposite side of the chapel, at the right side of the
highway;
That I saw Arman Matan running towards the nipal area at the left side of the
highway to cover his body;
That Arman Matan was not the one who shot Isaias Cabales because when the
gun fired, I saw him walking ahead of the motorcycle driven by Isaias Cabales at the
left side of the highway, while the gun fires were at the right side of the highway at the
place almost parallel to the San Roque Chapel;
That when I saw Arman Matan walking ahead of the motorcycle driven by Isaias
Cabales, he was not holding anything;
That immediately after Arman Matan run away, I immediately went back and
returned to the place where Alma Ruiz-Cabales was and told her to go inside the house,
which she did;
That Alma Ruiz-Cabales asked me, “what happened, I heard gun fires”. That I
answered her I don’t know;
That Alma Ruiz-Cabales then went out the house and proceeded to the house of
Losie Andrade about 50 meters away from the house of my mother;
That I am executing this affidavit to the attest to the truth that Arman Matan was
not the one who shot Isaias Cabales and to prove that Alma Ruiz-Cabales who was at
the house of mother at the time the incident happened did not actually see the criminal
and to attest to the truth of the foregoing facts.
WARREN V. ANDRADE
Affiant
Doc No.______
Page No._____
Book No._____
Series of 2004.
CERTIFICATIO
AFFIDAVIT
That I am executing this affidavit to attest to the truth that I am not black
listed to participate in the bidding to survey lands, nor any other derogatory
records as far as survey of lands are concerned and to attest to the truth of the
foregoing facts.
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
AFFIDAVIT
LARA A. SALAVER
Affiant
CTC No. 13469671
Issued on January 03, 2005
Issued at Manoc-manoc, Malay,
Aklan
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
AFFIDAVIT
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
AFFIDAVIT OF WITHDRAWAL,
DESISTANCE AND QUITCLAIM
That I am one of the complainants who filed complaint against Proculo Ilejay, owner of
IR Trucking Services, with office address located at C. Laserna St., Kalibo, Aklan, which is
subject of Inspection Authority No. R0602-200501-CT-001 upon the business of my employer;
That after going over with the merit of my complaint, I really found out that I have no
sufficient evidence to support my complaint;
That my salary is paid beyond the minimum amount required by the law and that I
received all my statutory benefits from my employer Proculo Ilejay;
That being not certain with the material allegation of my complaint against my
employer Proculo Ilejay, I decided to withdraw my complaint and hereby declare that I am no
longer interested to push through prosecution of the said complaint;
That I requested the Department of Labor and Employment, Iloilo city to dismiss the
complaint that I filed against Proculo Ilejay and that I hereby waive and quitclaim my right to
file any other action against Proculo Ilejay.
CHRISFFER C. CONCEPCION
Affiant
CTC No. 13497569
Issued on February 15, 2005
Issued at Andagao, Kalibo, Aklan
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
AFFIDAVIT OF WITHDRAWAL,
DESISTANCE AND QUITCLAIM
I, GERRY P. RAZ, of legal age, Filipino citizen, and a resident of Andagao Centro,
Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance with law, do hereby
depose and say:
That I am one of the complainants who filed complaint against Proculo Ilejay, owner of
IR Trucking Services, with office address located at C. Laserna St., Kalibo, Aklan, which is
subject of Inspection Authority No. R0602-200501-CT-001 upon the business of my employer;
That after going over with the merit of my complaint, I really found out that I have no
sufficient evidence to support my complaint;
That my salary is paid beyond the minimum amount required by the law and that I
received all my statutory benefits from my employer Proculo Ilejay;
That being not certain with the material allegation of my complaint against my
employer Proculo Ilejay, I decided to withdraw my complaint and hereby declare that I am no
longer interested to push through prosecution of the said complaint;
That I requested the Department of Labor and Employment, Iloilo city to dismiss the
complaint that I filed against Proculo Ilejay and that I hereby waive and quitclaim my right to
file any other action against Proculo Ilejay.
GERRY P. RAZ
Affiant
CTC No. 13497566
Issued on February 15, 2005
Issued at Andagao, Kalibo, Aklan
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
AFFIDAVIT OF WITHDRAWAL,
DESISTANCE AND QUITCLAIM
I, JUAN N. MENDOZA, of legal age, Filipino citizen, and a resident of Roxas Ave.,
Ext., Andagao, Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance with
law, do hereby depose and say:
That I am one of the complainants who filed complaint against Proculo Ilejay, owner of
IR Trucking Services, with office address located at C. Laserna St., Kalibo, Aklan, which is
subject of Inspection Authority No. R0602-200501-CT-001 upon the business of my employer;
That after going over with the merit of my complaint, I really found out that I have no
sufficient evidence to support my complaint;
That my salary is paid beyond the minimum amount required by the law and that I
received all my statutory benefits from my employer Proculo Ilejay;
That being not certain with the material allegation of my complaint against my
employer Proculo Ilejay, I decided to withdraw my complaint and hereby declare that I am no
longer interested to push through prosecution of the said complaint;
That I requested the Department of Labor and Employment, Iloilo city to dismiss the
complaint that I filed against Proculo Ilejay and that I hereby waive and quitclaim my right to
file any other action against Proculo Ilejay.
JUAN N. MENDOZA
Affiant
CTC No. 1349756
Issued on February 15, 2005
Issued at Andagao, Kalibo, Aklan
Signed in the presence of : ______________ ________________
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
AFFIDAVIT OF WITHDRAWAL,
DESISTANCE AND QUITCLAIM
That I am one of the complainants who filed complaint against Proculo Ilejay, owner of
IR Trucking Services, with office address located at C. Laserna St., Kalibo, Aklan, which is
subject of Inspection Authority No. R0602-200501-CT-001 upon the business of my employer;
That after going over with the merit of my complaint, I really found out that I have no
sufficient evidence to support my complaint;
That my salary is paid beyond the minimum amount required by the law and that I
received all my statutory benefits from my employer Proculo Ilejay;
That being not certain with the material allegation of my complaint against my
employer Proculo Ilejay, I decided to withdraw my complaint and hereby declare that I am no
longer interested to push through prosecution of the said complaint;
That I requested the Department of Labor and Employment, Iloilo city to dismiss the
complaint that I filed against Proculo Ilejay and that I hereby waive and quitclaim my right to
file any other action against Proculo Ilejay.
CHRISTOPHER C. CONCEPCION
Affiant
CTC No. 13497565
Issued on February 15, 2005
Issued at Andagao, Kalibo, Aklan
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF KALIBO )
X------------------------------------------X
AFFIDAVIT OF WITHDRAWAL,
DESISTANCE AND QUITCLAIM
That I am one of the complainants who filed complaint against Proculo Ilejay, owner of
IR Trucking Services, with office address located at C. Laserna St., Kalibo, Aklan, which is
subject of Inspection Authority No. R0602-200501-CT-001 upon the business of my employer;
That after going over with the merit of my complaint, I really found out that I have no
sufficient evidence to support my complaint;
That my salary is paid beyond the minimum amount required by the law and that I
received all my statutory benefits from my employer Proculo Ilejay;
That being not certain with the material allegation of my complaint against my
employer Proculo Ilejay, I decided to withdraw my complaint and hereby declare that I am no
longer interested to push through prosecution of the said complaint;
That I requested the Department of Labor and Employment, Iloilo city to dismiss the
complaint that I filed against Proculo Ilejay and that I hereby waive and quitclaim my right to
file any other action against Proculo Ilejay.
CEASAR P. INESORIA
Affiant
CTC No. 13497563
Issued on February 15, 2005
Issued at Andagao, Kalibo, Aklan
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
AFFIDAVIT OF WITHDRAWAL,
DESISTANCE AND QUITCLAIM
I, ELVIS Z. NILLOSA, of legal age, Filipino citizen, and a resident of Santan St.,
Andagao, Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance with law,
do hereby depose and say:
That I am one of the complainants who filed complaint against Proculo Ilejay, owner of
IR Trucking Services, with office address located at C. Laserna St., Kalibo, Aklan, which is
subject of Inspection Authority No. R0602-200501-CT-001 upon the business of my employer;
That after going over with the merit of my complaint, I really found out that I have no
sufficient evidence to support my complaint;
That my salary is paid beyond the minimum amount required by the law and that I
received all my statutory benefits from my employer Proculo Ilejay;
That being not certain with the material allegation of my complaint against my
employer Proculo Ilejay, I decided to withdraw my complaint and hereby declare that I am no
longer interested to push through prosecution of the said complaint;
That I requested the Department of Labor and Employment, Iloilo city to dismiss the
complaint that I filed against Proculo Ilejay and that I hereby waive and quitclaim my right to
file any other action against Proculo Ilejay.
ELVIS Z. NILLOSA
Affiant
CTC No. 13497567
Issued on February 15, 2005
Issued at Andagao, Kalibo, Aklan
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
IR TRUCKING SERVICES
Kalibo, Aklan
RESTITUTION PAYROLL
Paid by:
____________________
Date paid:
____________________
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF KALIBO )
X------------------------------------------X
That I issued Official Reciept covering the said payment in favor of the
said patient, but the carbon copy thereof cannot anymore be located.
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
That I issued Official Reciept covering the said payment in favor of the
said patient, but carbon copy thereof cannot anymore be located;
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
That I issued Official Reciept covering the said payment in favor of the
said patient, but carbon copy thereof cannot anymore be located;
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
That I issued Official Reciept covering the said payment in favor of the
said patient, but carbon copy thereof cannot anymore be located;
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
Doc No.__________;
Page No._________;
Book No._________;
Series of 2005.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X------------------------------------------X
AFFIDAVIT
That I am the same Arman Villorente Matan who is the accused in the Criminal
Case No. 7402, for Murder filed as an inquest case by the Office of the Provincial
Prosecutor, Kalibo, Aklan;
That I vehemently deny all material allegations in the complaint filed by the PNP
Numancia, Aklan and strongly deny the allegations in the affidavit of witness Alma
Ruiz-Cabales being all lies and false, the truth of the matter are the following:
That at around 1:00 o’clock in the afternoon of January 21, 2005, I together with
Noli Andrade and Jersil Andrade were drinking beer in the house of Martina Andrade at
Brgy. Camanci Norte, Numancia, Aklan walking distance from my house, for there was
a party celebration thereat;
That in the evening, Arman Matan and Noli Matan joined us in our drinking
session. That few minutes later, Isaias Cabales arrived and he joined us also, as he
knows my uncle Noli Matan;
That after we have consumed our beer and some liquor, we decided to go home
that was around 10:30 to 11:00 o’clock in the evening already and before we departed
we were all happy meeting each other;
That before going home, my uncle Noli Matan told me to ride on his motorcycle
and slept at his house, but I told him that I’m going to sleep in my house;
That I went ahead from them and walked passing the highway leading to my
house about 80 meters away from the house of Martina Andrade;
That I continued walking at the highway at the left side of the road and after
passing the San Roque Chapel, just about two (2) meters away, I noticed a motorcycle
coming at my back going to the same direction where I go, and when the motorcycle
passed by on me, I heard successive gun shots coming from the Nipa Plantation near
the concrete pipe;
That I run immediately at the back of the San Roque Chapel to avoid hitting and
to cover my body. That I stayed at the back of the Chapel for few minutes and when the
gun fires ended, I run going to the house of Noli Andrade, the husband of Losie
Andrade and the latter told me to stay and sleep in their house, as it is dangerous to go
home that time;
That I slept there and when I woke up at 5:30 in the morning, I immediately
went home. Upon arrival, my mother told me that she just heard over the radio that I
was the one pin pointed to be the suspect in the shooting incident last night resulting to
the killing of Isaias Cabales;
-Page No. 2-
That my mother and I went to the house of Brgy. Captain Helen Moises and
together with the Barangay Captain Moises we proceeded to the PNP Station,
Numancia, Aklan, but upon arrival at the police station, we were told by the police on
duty that the police investigator was there at Brgy. Camanci Norte, Numancia, Aklan;
That we went back at Brgy. Camanci Norte, Numancia, Aklan and upon arrival
thereat, I was turned over by Barangay Captain Moises to Police Officer Ofano, and I
was immediately handcuffed by the policemen and brought back to the PNP Station,
Numancia, Aklan;
That before I and mother went to the house of Brgy. Moises, I texted my friend
Loiue Iraba who is also a resident of Brgy. Camanci Norte, Numancia, Aklan that I was
being pin pointed to be the suspect in the shooting incident;
That Louie Iraba who always joking at me through text messages everytime he
text me, texted me back that time and also joking to quote “ Ba kin cno and nabaril
nin u?;
That he has no intention whatsoever when he send that message but only joking
at me in response to my text message to him that I was the one pin pointed to be the
suspect, thinking all the while that I was also joking;
That I was not the one who fired and shot Isaias Cabales that night of January
21, 2005, and I do not know who was responsible in said brutal killing;
That private complainant Alma Ruiz-Cabales lied when she said in her affidavit
that I was the one who shot her husband Isaias Cabales that night. Alma Ruiz-Cabales
could not seen people at the vicinity of San Roque Chapel, from where she was by that
time as she was still infront of the house of Martina, waiting for the motorcycle to start
while being pushed by Warren Andrade. Warren Andrade was the one who witnessed
the incident, as he has been pushing the motorcycle of the victim until it started and
observing it to make sure that the engine is in good condition;
That it is not true that all flourecent lamp at the side of the road were lighting
during that time, for the truth of the matter was that not even one lamp was lighting on
that time in the vicinity, except one at the San Roque Chapel, but then private
complainant Alma Ruiz-Cabales could hardly see me during that time due to distance
and that the lamp is not very bright;
That I was subjected to parrafin test by the PNP Numancia, Aklan right in the
morning immediately after the incident, and the result was negative;
That I am executing this counter-affidavit to attest to the truth of the foregoing
facts.
-Page No. 3-
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he had freely executed the foregoing affidavit and the allegations therein
contained are fully understood by him.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X--------------------------------------------X
COUNTER-AFFIDAVIT
-Page No. 2-
22. The following morning at about 6:30 A.M., I woke up, took a bath and
ate my breakfast cooked by Dodoy. While enjoying my breakfast,
Omar appeared in the opened main door of the house and from a bit
distance (about 4-6 meters) and he told me to quote, “Ang Armas Mo
Kanakon”, “OK A”, I answered then he turn his back and proceed to
the adjoining house structure where Dodoy raised some chicken.
23. After eating and fixing myself for office, I went out the house and pass
by the house structure where Omar and Dodoy are feeding the chicken
and told Omar to quote, “ To, Mauna Lang Ako Sa Office”, and he
replied to quote” Huo, Karon Lang Ako”
24. Then I waited a tricycle outside the house to ride on to the office that
Friday morning, and in the afternoon I went home at Iloilo City
25. When I came back the following week on Monday, I heard news from
the office that Baby Girl went to the PNP Station, Kalibo, Aklan and
blottered the alleged incident against me;
26. That being not aware, I surprised of what was the complained of and
for what was crime did I commit;
That I am executing this affidavit to the attest to the truth of the foregoing
facts.
Doc No.______
Page No._____
Book No._____
Series of 2004.
CERTIFICATION
AFFIDAVIT
That I am the same John Anthony Fundal who is the accused in the Criminal
Case No. 619-C for Homicide filed by the Police Investigator Joegem A. Emboltorio, of
PNP Caluya, Antique;
That I vehemently denies all material allegations in the complaint filed by the
Police Investigator Joegem A. Emboltorio, of PNP Caluya, Antique and strongly denies
the allegations in the affidavit of witnesses Ariel S. Dadong, Arnel L. Samson and other
witnesses being all lies and false, the truth of the matter are the following:
That sometime on May 2003, I went to Brgy. Simirara, Caluya, Antique to look
for a job and I stayed at the boarding house owned by Semirara Mining Company;
That on January 20, 2005, that was my rest day and stayed at the boarding house
the whole day, and in the evening, at around 9:00 o’clock, I together with my co-
workers namely: John Gorantes, Robert Lakbayo, Anthony Salaver, and certain
Herminio which I could not remember his complete name, went to Viodeke house
located also at Brgy. Simirara, Caluya, Antique;
That when we entered the Viodeke house, we saw a group of person occupying
another table and there were women seated with them;
That we occupied another table two (2) meters away from them and after we
have seated on the chairs, the women who were seated with them, stood up and
transferred to our table and seated beside us. They asked us about our orders and we
ordered five (5) bottles of beer;
That the said group of person at another table got angry on us. One of them got a
bottle of beer, shaken it repeatedly and pointed to us, thereby the beer showered on us
and we got wet. That we did not mind him, and we continued drinking beer;
That few minutes later, he again got another bottle of beer, shaken it repeatedly
and pointed to us, and the beer showered on us and we again got wet;
That we decided to go out, as the said person is looking for trouble, and so we all
stood up and asked permission from the owner of the Viodeoke certain Anaya;
-Page No. 2-
That while were talking to the owner, I noticed that the group at another table
also stood up and they passed by another door of the Viodeoke;
That we went out ahead from them from the gate, and when we were already
outside the gate walking away, the said group immediately attacked us;
That thereafter a commotion between my group and the group of the said person
took place;
That I saw one of their companions Arnel Emia pointing to us his firearm and
thereafter I heard gun fire. I saw then Herminio holding on his stomach;
That I was attacked by the three (3) persons, Sarry Maribong, Bernardo Garces,
Jr and another one which I know him only by his face. Sarry Maribong intentionally
strucked me by the stone hitting me at the back of my head, and the two (2) boxed me
and hitting me in the different parts of my body;
That I continued fighting them back by boxing them of my fist blows, and later, I
noticed that Bernardo Garces, Jr was already holding a knife on his hand, and he
immediately stabbed me but I was not hit as I immediately move backward. That when
he attacked me again, I grabbed the knife from him and blows stab attack to three (3) of
them in order to stop them from their further attack and I do not know if anybody was
hit;
That I again heard successives gun fires and so I and my companions run away
going to the PNP Sub-station Brgy. Semirara, Caluya, Antique and reported the
incident;
That I was detained at the said station and thereafter tranferred to the PNP
Station Caluya, Antique. That at the said station, Arnel Emia whom I saw shooting
Herminio with his firearm also detained.
That I was released after three (3) days considering that there was no case filed
against me;
-Page No. 3-
Doc No._______;
Page No.______;
Book No.______;
Series of 2005.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he had freely executed the foregoing counter affidavit and the allegations
therein contained are fully understood by him.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X------------------------------------------X
AFFIDAVIT
That when we entered the Viodeke house, we saw a group of person occupying
another table and there were women seated with them;
That we occupied another table, two (2) meters away from them and after we
have seated on the chairs, the women who were seated with them, stood up and
transferred to our table and seated beside us. They asked us about our orders and we
ordered five (5) bottles of beer;
That the said group of person at another table got angry on us. One of them got a
bottle of beer, shaken it repeatedly and pointed us, thereby the beer showered on us and
we got wet. That we did not mind him, and we continued drinking beer;
That few minutes later, he did the same thing, and the beer showered on us and
we again got wet;
That we decided to go out, as the said person is looking for trouble, and so we all
stood up and asked permission from the owner of the Viodeoke certain Anaya;
That while we were talking to the owner, I noticed that the group of person at
another table also stood up and they passed by another door of the Viodeoke;
That we went out ahead from them from the gate, and when we were already
outside the gate walking away, the said group immediately attacked us;
That thereafter a commotion between my group and the group of the said person
took place;
That I saw Arnel Emia pointed on us his firearm and then he fired. That I saw
Herminio holding his stomach. That I was first attacked by one (1) of them and then
followed three (3) persons who helped one another by boxing me of their fistic blows
and I fell to the ground;
That I managed to stand up and asked help from John Anthony Fundal, but when
I turned my look on him, I saw three (3) persons helping one another and attacked John
Anthony Fundal by their blows;
-Page No. 2-
That I saw John Anthony Fundal grappling and grabbing the knife from the
hands of Bernardo Garces, Jr and later John Anthony Fundal got hold of the knife and
blows it to his three (3) assailants to prevent them from further attack;
That I continued fight them back but thereafter we heard succissive gun fires and
we run away going to the PNP Sub-station Brgy. Semirara, Caluya, Antique and
reported the incident;
That I am executing this affidavit to attest to the truth of the foregoing facts.
JOHN GORANTES
Affiant
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he had freely executed the foregoing affidavit and the allegations therein
contained are fully understood by him.
Republic of the Philippines
Supreme Court
th
6 Municipal Circuit Trial Court
Pandan-Libertad-Caluya
Libertad, Antique
SUBMISSION OF COUNTER-AFFIDAVIT
Doc No._______;
Page No.______;
Book No.______;
Series of 2005.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he had freely executed the foregoing document and the allegations therein
contained are fully understood by him.
S.R.RIGODON and ASSOCIATES
LAW and NOTARIAL OFFICE
Martelino St., Kalibo, Aklan
Tel. No. 268-6841
= = = = = = = = = = = = = == = = = = = = = = = = = = = = = = = = = = = = = = = = = = = = = = = = == =
CERTIFICATION
AFFIDAVIT
That on January 21, 2005, at around 11:00 o’clock in the morning, I together
with my family arrived at Brgy. Camanci Norte, Numancia, Aklan from our residence
at Pinamuc-an, New Washington, Aklan, to attend the birthday party of my nephew
Joshua Marte, the son of my younger sister;
That the party celebration was held in the house of my mother Martina Andrade
at Brgy. Camanci Norte, Numancia, Aklan;
That in the evening of the same day, I together with Isaias Cabales and his wife
Alma Ruiz-Cabales, Noli Matan, and Arman Matan engaged in a drinking session in the
house of my mother and we were all happy with the said celebration;
That at around 10:45 in the evening, we agreed to adjourne our drinking session
as it was already late evening, and so, Noli Matan and Arman Matan went ahead, Noli
Matan rode in his motorcycle and Arman Matan walked at the highway leading to his
house about 80 meters away;
That afterwards Isaias Cabales together with his wife Alma Ruiz-Cabales
followed then and I conducted them to their service motorcycle parked near the
highway;
That when Isaias Cabales starts the engine of his motorcycle, it did not start. He
repeated kicking the starting pedal of his motorcycle but just the same, it failed;
That I pushed the motorcycle passing the highway going towards the San Roque
Chapel while Isaias Cabales was riding on it and maneuvering the steering gear. His
wife left behind in front of the house of my mother Martina Andrade;
That at around fifteen (15) meter distance of pushing the motorcycle, its engine
started then. Isaias Cabales continued to hold on the gas supply in order to make the
engine well condition, and so the motorcycle continued running towards the San Roque
Chapel;
That after the engine of the said motorcycle had started, I stopped pushing it and
stood up observing the condition of the motorcycle while running;
-Page No. 2-
That while observing the condition of the said motorcycle which was running
towards the Chapel, I saw Arman Matan already ahead passed by the said Chapel and
without holding anything, as I can still see him being the chapel has its owned florence
lamp;
That when the said motorcycle driven by Isaias Cabales just passed by the
Chapel, I heard gun fires coming from the Nipa plantation near the concrete pipe and
ahead of them;
That I saw Arman Matan who was walking at that time, frightening for the gun
fires and immediately runs at the back of San Roque Chapel while the motorcyle driven
by Isaias Cabales continued to its direction until it passed by the concrete pipe;
That I immediately went back and returned to the place where Alma Ruiz-
Cabales was and told her to go inside the house, which she did;
That Alma Ruiz-Cabales asked me, “what happened, I heard gun fires”. That I
answered her I don’t know;
That Alma Ruiz-Cabales then went inside the house of my mother Martina
Andrade and few minutes thereafter and she went to the house of Losie Andrade about
50 meters away and asked for help;
That I am executing this affidavit to the attest to the truth that Arman Matan was
not the one who shot Isaias Cabales, as I can clearly saw him just walking while the gun
fired coming from the Nipa Plantation and that Alma Ruiz-Cabales who was in front of
the house of my mother at the time could not actually see what was going on at the
highway in front of the said chapel due to distance and to attest to the truth of the
foregoing facts.
WARREN V. ANDRADE
Affiant
Doc No.______
Page No._____
Book No._____
Series of 2004.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he had freely executed the foregoing affidavit and the allegations therein
contained are fully understood by him.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X------------------------------------------X
AFFIDAVIT
I, DEZE L. DELA CRUZ, 14 years old, Filipino citizen, and a resident of
Poblacion, Batan, Aklan, Philippines, after having been duly sworn to, in accordance
with law, do hereby depose and say:
That I first enrolled at the Lezo Institute, Lezo, Aklan for the school year 2004-
2005, as one of the scholars granted by the school, however after the first grading
period from June to August 2004, I transferred to Kalantiaw Institute, Batan, Aklan;
That this affidavit is being executed as requirement for the release of my Form
137-A and some of my other pertinent records;
That I am executing this affidavit to attest to the truth that I first enrolled at the
Lezo Institute, Lezo, Aklan for the school year 2004-2005, and after the first grading
period from June to August 2004, I transferred to Kalantiaw Institute, Batan, Aklan, and
to attest to the truth of the foregoing facts;
Doc No.______
Page No._____
Book No._____
Series of 2005.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X------------------------------------------X
AFFIDAVIT
That I am the same Warren Andrade referred to and mentioned by Alma Ruiz-
Cabales in her affidavit executed on January 24, 2005 before 3 rd Assistant Provincial
Prosecutor of Aklan, who was pushing the motorcycle of his husband in order to start
its engine;
That I am same Ronny Ningal who is the accused in the Criminal Cases Nos.
7443 and 7444 filed as an inquest case filed by Police Officer III Reynante R. Jomocan,
Investigator of Aklan Police Provincial Office, Camp Pastor Martelino, Kalibo, Aklan,
and now pending for Preliminary Investigation before the Provincial Prosecutor’s
Office of Kalibo, Aklan;
That I was arrested by the police officers without search warrant and to justify
their illegal arrest, they created another story by conducting buy bust operation upon
my person in the afternoon of March 01, 2005, using a so-called “asset”, when in truth
and in fact there was no such operation ever conducted;
That in the two (2) complaints filed against me, there was no other evidences
presented to support their arrest and/or buy bust operation, but only the joint affidavit of
arresting officers;
That the alleged items recovered were not even witnessed by Brgy. Officials,
and/or Municipal Officials of the place where the operation is conducted;
That the allegation that there was marked money recovered from my possession
is likewise not true for there was no such marked money ever recovered in my
possession. The money worth =P=2,000.00 was recovered from Novel Manares, who is
a resident of Brgy. Agcawelan, Lezo, Aklan, but temporarily residing at Brgy. Baybay,
Makato, Aklan in the house of his Lola, supposedly to be given to me as payment of my
cellphone which he would like to buy, for we have an agreement that he will buy my
cellphone worth =P=2,000.00;
-Page No. 2-
That there was no pictures taken during the alleged operation, hence there was
no concrete evidence to justify the filing of this case, as the relative position of the
police officers and alleged poseur buyer when the alleged buy bust operation is being
conducted could not be established;
That the police officers conducting the buy bust operation merely listed down the
serial numbers of money used and does not in any manner use substances to detect the
firger print of one who holds such marked money;
That there was no other person present when police officers illegally arrested me
in the afternoon of March 01, 2005, at Poblacion, Numancia, Aklan except Novel
Manares who was also subjected to illegal search and recovered in his possession cash
in the amount of =P=2,000.00;
That the true and correct scenario of what had transpired before, during and after
the illegal arrest on my person are the following:
That upon arrival in my house from Poblacion, Kalibo, Aklan at 2:00 o’clock in
the afternoon of March 01, 2005, I was told by my wife that somebody called up at me
in our standby cellphone with antenna;
That when I checked our cellphone, I found out that the call came from Novel
Manares which I know that his purpose of calling was about our previous agreement of
buying my cellphone worth =P=2,000.00;
That I called him back and told him to wait for me at crossing Numancia and
Lezo, as I am going to Kalibo again, and I dropped by your cellphone there;
That I slept first and after I woke up I proceeded to Poblacion, Kalibo, Aklan and
upon arrival at crossing Numancia and Lezo, I saw Novel Manares seating on the
tricycle parked at the shoulder of the National Highway going to Caticlan;
That I drove my motorcycle MSX 125 S Sports going to the tricycle of Novel
Manares in order to give to him his cellphone bird. That I parked my motorcycle at the
back of his tricycle, and after I alighted from my motorcycle, police officers
immediately arrived and without any word, they handcuff both my hands and searched
my body and confiscated my two (2) cellphones, of which was the one that I’m going to
sell to Novel Manares;
That they also searched Novel Manares and they were able to recover cash in the
amount of =P=2,000.00 from him. That I saw police officers searching something in my
motorcycle but they found nothing on it, contrary to what has been stated in the joint
affidavit arrest that they were able to recover at the tool box of my motorcycle dried
leaves of marijuana weighing more or less 15.6 grams
That they brought me at the PNP Station, Numancia, Aklan, they did not bring
Novel Manares;
That upon arrival at the PNP Station, I surprised that there were already items
placed on the top of the table, which according to them were recovered in my
possession and control;
-Page No. 3-
That I was surprised because the police officers who searched me at crossing
Numancia and Lezo were at my back and we were together in going to the PNP Station
and they have not yet entered the station;
That I saw policeman putting on the top of the table my two (2) cellphones and
the money that was recovered from Novel Manares;
That one of the policeman which I do not his name but I can recognize his face if
I will see, pushed me at the kitchen of the said PNP Station and forced me to admit
ownership of the said recovered marijuana, but I told him that I do not know anything
about it and he immediately boxed me hitting me in my chest;
That I was again subjected to interrogation by other policemen at the said PNP
Station and they forced me to pin point our supplier but I told them that I am innocent
of their charges, and I never engaged in such illegal activities;
That they brought me to the PNP Camp Pastor Martelino, Kalibo, Aklan and
then upon arrival, they forced me to sign in a sheet of paper which I do not know its
content, as they did not give me oppurtunity to read the paper anymore;
That I am executing this affidavit to attest to the truth that I never engaged in
selling, delivering, and transporting marijuana, nor possessed the same, and that I am
innocent of the crime charged. That I was subjected to illegal search and illegal arrest.
That I am executing this affidavit to attest to the truth of the foregoing narrations.
RONNY N. NINGAL
Affiant
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he had freely executed the foregoing affidavit and the allegations therein
contained are fully understood by him.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X------------------------------------------X
AFFIDAVIT
That I and Ronny Ningal were together when the policemen searched our
body along the highway beside Numancia Integrated Elementary School,
Poblacion, Numancia, Aklan in the afternoon of March 01, 2005;
That before the search, about three days ago, we agreed with Ronny Ningal
for him to sell his old cellphone to me in the amount of =P=2,000.00, as I have
no cellphone of my own;
That I arrived first and I parked my tricycle at the shoulder of the National
Highway Numancia Integrated Elementary School, Poblacion, Numancia, Aklan;
That at around 4:15 in the afternoon, Ronny Ningal arrived riding in his
motorcycle MSX 125 S Sports and parked at the back of my tricycle and
thereafter alighted inorder to give to me the cellphone;
That they also searched my body and confiscated my owned money in the
amount of =P=2,000.00 which I am suppose to give to Ronny Ningal as payment
of the cellphone;
That no other person was present at the time policemen were searching our
body and they were not able to recover anything from us. Ronny Ningal was
about one (1) meter away from me at the time of the search and we were not
allowed to move to another place during the search;
-Page No. 2-
That thereafter they brought Ronny Ningal to the PNP Station, Numancia,
Aklan and one policeman drove the motorcycle of Ronny Ningal going to PNP
Station, Numancia, Aklan;
That one policeman told me to go home, as their target was really Ronny
Ningal, and I will just keep quite;
NOVEL MANARES
Affiant
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
AFFIDAVIT
That I and Ronny Ningal were together when the policemen searched our
body along the highway near crossing Numancia and Lezo, Poblacion,
Numancia, Aklan in the afternoon of March 01, 2005;
That before the search, about three days ago, we agreed with Ronny Ningal
for him to sell his old cellphone to me in the amount of =P=2,000.00, as I have
no cellphone of my own;
That I arrived first and I parked my tricycle at the shoulder of the National
Highway near crossing Numancia and Lezo;
That at around 4:15 in the afternoon, Ronny Ningal arrived riding in his
motorcycle MSX 125 S Sports and parked at the back of my tricycle and
thereafter alighted inorder to give to me the cellphone;
That they also searched my body and confiscated my owned money in the
amount of =P=2,000.00 which I am suppose to give to Ronny Ningal as payment
of the cellphone;
That no other other person was present at the time policemen were
searching our body and they were not able to recover anything from us. Ronny
Ningal was about one (1) meter away from me at the time of the search and we
were not allowed to move to another place during the search;
-Page No. 2-
That thereafter they brought Ronny Ningal to the PNP Station, Numancia,
Aklan and one policeman drove the motorcycle of Ronny Ningal going to PNP
Station, Numancia, Aklan;
That one policeman told me to go home, as their target was really Ronny
Ningal, and I will just keep quite;
NOVEL MANARES
Affiant
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
REPLY AFFIDAVIT
That we deny the allegations of the respondent Julio Leonor in his counter-
affidavit about our residency being misleading. While it may be true that we for
sometime been residents of any other places, yet we did not abandone our
residency at Brgy. Mambuquiao, Batan, Aklan, the place where we grew up and
the land where our father had been the cultivating and designated as legal tenant.
The fact of our residency is not in issue in this case;
That we likewise deny the allegations that the elements of grave coercion
have not met, as the testimonies of witnesses were perjured. It is of the honest
opinion of the undersigned complaining witnesses that respondents committed
the crime charged and that the affidavit of witnesses attached to the complaint are
based from the actual scenario transpired when the crime charged took place;
That with regard to the allegation of ownership of the subject copra, the
same has been settled in a DARAB CASE No. VI-32-AKL-98, wherein the
Honorable Adjudicator ruled to quote:
That said copra having been gathered and harvested from the land on
which we were adjudged to be the tenants, we have therefore absolute right to
own equivalent share of 75% thereof, assuming without admitting that said copra
is still subject to 75% and 25% sharing, which to our mind, is already our own
being the share of landlord was already gotten by them;
-Page No. 2-
That respondents could not deny the fact that we are tenants of the subject
land because respondent Julio Leonor,Jr., was the complainant in that DARAB
CASE, and that other respondents knew of the fact that the subject had long been
litigated between respondent Julio Leonor, Jr., and the undersigned being tenants;
That there is no truth to the allegations that there was a bargaining done at
the Barangay Mambuqiao, Batan, Aklan when the said copra was being held by
the respondents, the same merely a concocted testimony in order to turn around
the real issue;
That We likewise deny the rest allegations being false and without any
legal basis;
That we are executing this affidavit to attest to the truth of the foregoing
facts.
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
REPLY AFFIDAVIT
That we deny the allegations of the respondents Ricky Dela Vega and
Efren Ofalla being misleading. The first and second grounds of their defense in
their counter-affidavit has been answered by the third ground. It is very clear
from the evidence presented and attached to the complaint that crime of arson
was committed inside the tenanted land on which the undersigned complainants
are the legal tenants. The complaint was duly supported by the affidavit of the
complainants and their witnesses and that the copy of title and leasehold contract
as well as the blotter reports;
That being tenants of the land where the arson is committed, we have all
the right to initiate and file this case against the respondents in order to protect
our tenanted land;
That we are executing this affidavit to attest to the truth of the foregoing
facts.
-Page No. 2-
IN WITNESS WHEREOF, We have hereunto affixed our signatures this
________day of March 2005 at Kalibo, Aklan , Philippines.
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
GENARO A. NINONUEVO,
Complainant,
COUNTER-AFFIDAVIT
That I vehemently deny each and every material allegations stated in the
complaint being false, purely fabricated and does not in any manner constitute
the crime charged;
That I could not be held liable for the offense charged as I never
participated directly or indirectly in the execution of the subject Deed of
Quitclaim;
That my name was merely implicated being one of the children of Hilda
Ninonuevo. That I hereby adopt the counter-affidavit of my co-respondent Oscar
Ninonuevo in the above-entitled case;
-Page No. 2-
IN WITNESS WHEREOF, I have hereunto affixed my signature this 14th
day of March 2005 at Kalibo, Aklan , Philippines.
FREDERICK O. NINONUEVO
Respondent
CTC No. _________________
Issued on _________________
Issued at __________________
Doc No.______
Page No._____
Book No._____
Series of 2005.
CERTIFICATION
For: Homicide
-Page No. 2-
CERTIFICATION
NOTICE OF HEARING
The Clerk of Court
MCTC, Libertad, Antique
Greetings,
Please take notice that the undersigned accused will submit the foregoing
motion to withdraw the counter-affidavit earlier filed and submission of the new
one, to the Honorable Court immediately upon receipt hereof without further oral
argument.
Copy furnished:
AFFIDAVIT OF SUPPORT
That my mother BEATRIZ Y. AGUILA, who is now ninenty two (92) years
old is presently confined at Dr. Rafael S. Tumbokon Memorial Hospital;
That she is dependent on me for all kind of support, particularly the financial
aspect and that she has been living with under my custody and support;
PERPETUO Y. AGUILA
Affiant
SUBSCRIBED AND SWORN to before me this ________day of March 2005
at Kalibo, Aklan, Philippines. Affiant exhibited to me his Community Tax Certificate
No. 10629625 issued on January 03,2005 at Kalibo, Aklan
SWORN AFFIDAVIT
I, ___________________________, of legal age, Filipino and a resident of
__________________________________, Philippines, after having been duly sworn
to, in accordance with law, hereby depose and say:
Amount ________________
Model _________________
Motor # ________________
Chasis # ________________
Brand __________________
That I paid personally the amount of =P=__________________________ to
Renato Nanit as payment of the unit I bought, but Renato Nanit did not issue any
receipt;
That I am executing this sworn affidavit to attest to the truth that Renato Nanit
personally received my payment but he never issued any receipt.
____________________________________
Affiant / Customer Signature
_______________________ ____________________________
Witness Witness
AFFIDAVIT OF EXEMPTION
That I am the father of NOVIE M. GREGAS who is 16 years old and just
graduated from high school in Aklan Valley High School, Kalibo, Aklan;
AFFIDAVIT
I, ROSEMARIE F. QUINICIO, of legal age, single, Filipino
citizen and a resident of Brgy. Morales, Balete, Aklan, Philippines,
after having been duly sworn to, in accordance with law, do hereby
depose and say:
ROSEMARIE F. QUINICIO
Affiant
SUBSCRIBED AND SWORN to before me this 5th day of April
2005 Kalibo, Aklan, Affiant exhibited to me her CTC No.
13531378issued on April 5, 2005 at Kalibo, Aklan.
Doc No.______
Page No._____
Book No._____
Series of 2005.
AFFIDAVIT OF LOSS
MILLIENOR M. COMILANG
Affiant
CTC No. _________________
Issued on ________________
Issued at _________________
SUBSCRIBED AND SWORN to before me this 7th day of April 2005
2004 at Kalibo, Aklan, Philippines. Affiant exhibited to me her Community Tax
Certificate as herein above-indicated.
AFFIDAVIT OF LOSS
MAKE : YAMAHA
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : 4AR-066623
MOTOR NO. : 4AR-066623
C.O.C. : NLTO-08978713
That the original copy of Certificate of Registration was lost in our office
without fault in my part;
ROGELIO C. NAVARRA
Affiant
SUBSCRIBED AND SWORN to before me this _____ day of April 2005
at Kalibo, Aklan, affiant exhibiting to me his CTC No. 00108344, issued on Jan. 18,
2005 at Passi City, Philippines.
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X------------------------------------------X
AFFIDAVIT
That when I went back to my boarding house at Kalibo, Aklan, I met at the
highway my neighbors GIOVANNI S. SERASPI and LEONIDO
TORDECILLAS who were also driving their own motorcycle in going to Kalibo
and so we proceeded together in going to Kalibo;
That all of us were driving our own motorcycle in a very moderate speed
and following each other;
That when we were that going to my house at Brgy. Sigcay, Banga, Aklan,
to and whenever there declare no classes;
of my uncle and Ronny Ningal were together when the policemen searched our
body along the highway near crossing Numancia and Lezo, Poblacion,
Numancia, Aklan in the afternoon of March 01, 2005;
That before the search, about three days ago, we agreed with Ronny Ningal
for him to sell his old cellphone to me in the amount of =P=2,000.00, as I have
no cellphone of my own;
That at around 4:15 in the afternoon, Ronny Ningal arrived riding in his
motorcycle MSX 125 S Sports and parked at the back of my tricycle and
thereafter alighted inorder to give to me the cellphone;
That they also searched my body and confiscated my owned money in the
amount of =P=2,000.00 which I am suppose to give to Ronny Ningal as payment
of the cellphone;
That no other other person was present at the time policemen were
searching our body and they were not able to recover anything from us. Ronny
Ningal was about one (1) meter away from me at the time of the search and we
were not allowed to move to another place during the search;
-Page No. 2-
That thereafter they brought Ronny Ningal to the PNP Station, Numancia,
Aklan and one policeman drove the motorcycle of Ronny Ningal going to PNP
Station, Numancia, Aklan;
That one policeman told me to go home, as their target was really Ronny
Ningal, and I will just keep quite;
NOVEL MANARES
Affiant
CERTIFICATION
AFFIDAVIT
(Owner of the truck)
That I employed Rolando I. Sapico as a driver of the said trucking for the
sole purpose of transporting said scrap iron, being the line of business of the said
trucking is transporting scrap iron;
That on Tuesday, April 26, 2005 in the morning, Rolando I. Sapico went to
my house at Capitol Subdivision, Kalibo, Aklan and told me that the truck was
impounded by the PNP Mambusao, Capiz for violation of Philippine Coconut
Authority, as he loaded the truck with cocolumber;
That I lost my temper, as he did not follow my instruction and he used the
truck for transporting lumber without my knowledge and consent;
That I am executing this affidavit to request the PNP Mabusao, Capiz and
the PCA, Capiz to release my trucking, as I have no knowledge of the loading
and transporting of cocolumber by my driver and to attest to the truth of the
foregoing facts;
BENJOR D. YAMBAO
Affiant
Doc No.______
Page No._____
Book No._____
Series of 20
REPUBLIC OF THE PHILIPPINES )
PROVINCE OF AKLAN : S. S.
MUNICIPALITY OF KALIBO )
X-----------------------------------------X
AFFIDAVIT OF LOSS
I, SFO2 RILLY C. ROLDAN, legal age, Filipino citizen, married and resident
of Postal Office Address Unit Assignment Kalibo, Fire Station, Kalibo, Aklan,
Philippines, after having been duly sworn to, in accordance with law, hereby depose
and say:
That I was issued a Bureau of Fire Protection (BFP) Identification (ID) Card by
the Department of Interior and Local Government, Kalibo, Aklan;
That the said Bureau Fire Protection Identification (BFP) (ID) Card was lost in
my possession without fault on my part;
That I conducted search, inquiry and investigation to locate the said Bureau Fire
Protection Identification (ID) Card but it could not be found and that the earnest effort
thus conducted proved futile;
That I executing this affidavit of loss to attest to the truth of the foregoing facts.
SUBSCRIBED AND SWORN to before me this 6th day of May 2005 at Kalibo,
Aklan, Philippines. Affiant exhibited to me his Community Tax Certificate No.
11083074 issued on January 25, 2005 at Kalibo, Aklan.
AFFIDAVIT OF LOSS
That as mother and a guardian over his person, I was the one who kept the
said PassBook and placed in my cabinet in our house at Brgy. Sigcay, Banga,
Aklan;
LYNIE T. TORDESILLAS
Affiant
CTC No. 24911004
Issued on January 11, 2005
Issued at Banga, Aklan
JOINT AFFIDAVIT
We, ELY TEMPORAZA and RAMON TANO-AN, both of legal age, Filipino
citizens, and residents of Brgy. Panayakan, Tangalan, Aklan, Philippines, after having
been duly sworn to, in accordance with law, jointly depose and say:
That we were assigned by our agency to secure the properties of Tirol located at
Talipapa, Brgy. Manoc-manoc, Boracay Island, Malay, Aklan;
That in the evening of January 21, 2005, all houses at the Talipapa area, within
the properties of Tirol family located at Brgy. Manoc-manoc, Boracay Island, Malay,
Aklan were burned down by fire;
That immediately the following morning, the PNP Boracay Island, Malay, Aklan
secured the burned area and placed colored cord surrounding the affected place and
prevented anyone to get inside the perimeter colored cord;
That on January 25, 2005, upon instruction by Aristotle C. Tirol who is the
administrator of Tirol’s property, we secured the Talipapa area, more or less 2 hectares,
which was enclosed by fence;
That Tirol’s family was then in peaceful possession of the Talipapa area duly
enclosed with by fence and properly secured by security guards;
That on or about 5:00 o’clock in the morning of February 25, 2005, while we
were in our duty at Talipapa area, Brgy. Manoc-manoc, Boracay Island, Malay, Aklan,
a group of person numbering from 30 to 40 persons, headed by VINCENT
SUPETRAN, VICTOR SUPETRAN, certain OBET SUPETRAN, certain LENLEN
SUPETRAN-DELA TORRE, certain LOTLOT SUPETRAN, CELINA SUPETRAN-
TEJADA, certain NONO DELA TORRE, ARNEL ZABANDAL, and certain CELY
SUPETRAN, arrived and forcibly entered the fenced premises of Tirol’s property, by
destroying the fence and threatening us that something bad will happen if we will stop
them;
That we tried to stop them but they pushed us away and because they were many
we could not take hold all of them until they were able to install another fence and
succedded to grab portion of 2 hectare Tirol’s property with an area of more or less
2,000 square meters;
That we were able to stop them from further intrusion into the wide portion of
Tirol’s property but they were able to withhold and possess the portion thereof with an
area of 2,000 square meters, more or less;
That we then reported the incident to our head guard Moises Batoy, Jr who
immediately went to the PNP Boracay Station, Boracay Island, Malay, Aklan and
blotter the incident;
-Page No. 2-
That on May 01, 2005, at around 6:00 o’clock in the morning, we noticed that
the supporters of SUPETRAN FAMILY were trying grab another portion of Tirol’s
property by secretly increasing the portion they grabbed, and so we called up Aristotle
C. Tirol and informed him about the said unlawful act;
That Aristotle C. Tirol ordered us and some of his security guards to secure the
property and we were able to send the supporters of SUPETRAN FAMILY out from
the Tirol’s property including the security guards they installed in a peaceful manner, as
they knew that the said property is indeed owned by Tirol’s family;
That at around 9:00 o’clock in the morning, about three (3) hours had passed
after we completely secured the Tirol’s property, the PNP personnel from Boracay
Island without search warrant and warrant of arrest entered the fenced premises of
Tirol’s property and while inside illegally disarmed all the security guards on duty and
illegally arrested some of them and brought them at the PNP Boracay Station without
any valid reason;
That affiant RAMON TANO-AN was detained at the said station along with
other security guards on duty from May 01, 2005 at 9:00 o’clock in the morning until
May 03, 2005 at around 4:00 o’clock in the afternoon after an inquest case were filed
against the affiant and other security guards where they were able to post the bond for
their temporary liberty;
That affiant RAMON TANO-AN came to know later that PNP Boracay Station
filed criminal case against him for illegal possession of firearm after police officer
confiscated his service firearm Caliber 38 revolver, Armscor with Serial No. 44212
with six (6) live ammunition inside the compound of Tirol’s property where he was on
duty, and likewise another criminal case for malicious mischief along with other
security guards for alleged destruction of perimeter fence and other property worth
=P=50,000.00;
That as regards to the criminal case for illegal possession of firearm, affiant
RAMON TANO-AN vehemently denies the same, as he did not commit the crime
charged. The firearm illegally confiscated by the PNP Boracay Station is duly covered
by License in the name of his agency JV Gelito Security Agency under License Control
Number J-A2-904; FA Lic. No. 0003139J01000325; Kind/Make: RVLVR/SGNG;
Model/Cal.: /38; Serial No. 44212; Issued on June 2004; Expiry: March 2006, copy of
licence is hereto attached;
-Page No. 3-
That affiant RAMON TANO-AN was issued Duty Detail Order No. 975703
with inclusive date from April 19, 2005 to May 19, 2005 to secure and protect the
properties of Tirol’s property located at Talipapa area, Brgy. Manoc-manoc, Boracay
Island, Malay, Aklan and issued firearm of his agency Cal. 38, Armscor Sn. 44212 to
be used while performing his assigned task, copy of which is hereto attached;
That all the foregoing documents were presented by the affiant RAMON TANO-
AN before the PNP personnel when they were disarmed us and arrested us while still
inside the fence property of Tirol but they did not believe on the said documents and
they arrested us. The same documents were presented to the PNP Boracay Station by
my agency but still they ignored the documents;
That with regard to the complaint for malicious mischief, the same is devoid of
any merit. Affiant RAMON TANO-AN together with his co-accused Romeo Miguel,
Moises Batoy, Jr., Edwin Batoy, John Butch Sacupon, Marlon Pillado, and Ben
Apolinario were merely security guards hired by Aristotle C. Tirol whose purpose and
main task are merely to secure properties and lives of Tirols and they did not participate
directly or indirectly in the fencing, destruction of whatever things thereon, nor
removed any fence installed by any parties;
That the fence referred to by the complainant and witnesses are the fence which
the Tirol’s family had installed immediately after the burning on January 21, 2005,
hence it is owned by Tirol’ family and that there was no other properties damaged
inside the premises contrary to the allegations in the complaint. There was no damage
made to the barracks referred to by complainant’s witness Ronnie E. Supetran, nor
cutting off of the telephone wire, the foregoing are fabricated and no evidence to
support thereof;
That there was no picture attached to the complaint to support the fact that there
was indeed damaged done on May 01, 2005, nor specific inventory of the property
damaged;
That land claimed by Supetran family where the alleged malicious mischief was
committed is owned by Tirol’s family duly covered by Tax Declarations in the name of
Heirs of Ciriaco Tirol, Sr., copies of Tax Declaration are hereto attached;
That the Heirs of Ciriaco Tirol, Sr., have been given authority by the Municipal
Mayor of Malay, Aklan to clear and rehabilitate the Talipapa area, Manoc-manoc,
Boracay Island, Malay, Aklan and so their right over the said land is duly recognized by
the Municipal Government;
That we are executing this joint affidavit in order to file an appropriate criminal
case against the Supetran Family on the incident that transpired on February 25, 2005
and to refute each and every material allegations in the criminal complaint for illegal
possession of fiream and malicious mischief and to attest to the truth of the foregoing
facts.
-Page No. 4-
AFFIDAVIT OF LOSS
That one of the said accountable documents is record of Certificate of Registration of our
costumer Maurecio N. Navarrete who bought one (1) Unit Motorcycle described as follows:
MAKE : YAMAHA
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : 4AR-0666 23
MOTOR NO. : 4AR-066623
MV FILE NO. : 0628-30588
PLATE NO. : MC 0628-20565
CERT.OF REG. : 28876173
That the original copy of Certificate of Registration under CR No. 28876173 was lost
in our office without fault in my part;
That earnest effort, search, inquiry and investigation were conducted in order to locate
the original copy of Certificate of Registration but the same could not be found and that the
earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copy of
Certificate of Registration and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this ___ th
day of May 2005, at Kalibo,Aklan, Philippines.
ROGELIO C. NAVARRA
Affiant
AFFIDAVIT OF LOSS
That the original copy of Deed of Adujudication with sale was lost without fault in my
part;
That earnest effort, search, inquiry and investigation were conducted in order to locate
the original copy of Certificate of Registration but the same could not be found and that the
earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copy of Deed of
Adujudication with sale and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this ___ th
day of May 2005, at Kalibo,Aklan, Philippines.
NONA L. REVECENCIO
Affiant
AFFIDAVIT OF LOSS
That one of the said accountable documents is record of Certificate of Registration and
Official Reciept of our costumer Adolfo Fracisco who bought one (1) Unit Motorcycle
described as follows:
MAKE : JIANSHE
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : LAPPCBLAB2A000364
MOTOR NO. : JPS1P39FMA02F0120
MV FILE NO. : 0628-31887
PLATE NO. : MC-0628-21909
CERT.OF REG. : 77749086
That the original copies of Certificate of Registration and Official Reciept were lost in
our office without fault in my part;
That earnest effort, search, inquiry and investigation were conducted in order to locate
the original copy of Certificate of Registration and Official Reciept but the same could not be
found and that the earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copies of
Certificate of Registration and Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this ___ th
day of May 2005, at Kalibo,Aklan, Philippines.
ROGELIO C. NAVARRA
Affiant
AFFIDAVIT OF LOSS
That one of the said accountable documents is record of Official Reciept of our costumer
Ben Bignayan who bought one (1) Unit Motorcycle described as follows:
MAKE : CRYPTON
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : 4ST-294689
MOTOR NO. : 4ST-294689
MV FILE NO. : 0634-064
PLATE NO. : FG-8254
CERT.OF REG. : 64375964
That the original copy of Official Reciept was lost in our office without fault in my
part;
That earnest effort, search, inquiry and investigation were conducted in order to locate
the original copy of Official Reciept but the same could not be found and that the earnest effort
thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copies of
Certificate of Registration and Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this ___ th
day of May 2005, at Kalibo,Aklan, Philippines.
ROGELIO C. NAVARRA
Affiant
AFFIDAVIT OF LOSS
That one of the said accountable documents is records of Official Reciept and Certificate
of Registration of our costumer Romeo G. Magalasin who bought one (1) Unit Motorcycle
described as follows:
MAKE : YAMAHA
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : 5RE-034568
MOTOR NO. : SAME
MV FILE NO. : 0636-00063696938
PLATE NO. : FN6738
CERT.OF REG. : 2247047-5
OR NO. : 13762249-4
That the original copies of Official Reciept and Certificate of Registration were lost in
our office without fault in my part;
That earnest effort, search, inquiry and investigation were conducted in order to locate
the original copies of Official Reciept and Certificate of Registration but the same could not be
found and that the earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copies of
Certificate of Registration and Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this ___ th
day of June 2005, at Kalibo,Aklan, Philippines.
MARITES C. AGUSTIN
Affiant
SUBSCRIBED AND SWORN to before me this ___ th day of June 2005 at Kalibo,
Aklan, affiant exhibiting to me her CTC No. 13540179, issued on June 10, 2005 at Kalibo,
Aklan, Philippines.
AFFIDAVIT OF LOSS
I, MARITES C. AGUSTI, of legal age, Filipino citizen, single and a resident of Roxas
Ave., Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance with law,
depose and say:
That one of the said accountable documents is records of Official Reciept and Certificate
of Registration of our costumer Reynaldo Agustin who bought one (1) Unit Motorcycle
described as follows:
MAKE : YAMAHA
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : 4PF-242347
MOTOR NO. : SAME
MV FILE NO. : 0628-29429
PLATE NO. : MC-0628-19312
CERT.OF REG. : 28866881
OR NO. : 17175543
That the original copies of Official Reciept and Certificate of Registration were lost in
our office without fault in my part;
That earnest effort, search, inquiry and investigation were conducted in order to locate
the original copies of Official Reciept and Certificate of Registration but the same could not be
found and that the earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copies of
Certificate of Registration and Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this ___ th
day of June 2005, at Kalibo,Aklan, Philippines.
MARITES C. AGUSTI
Affiant
SUBSCRIBED AND SWORN to before me this ___ th day of June 2005 at Kalibo,
Aklan, affiant exhibiting to me her CTC No. 13540179, issued on June 10, 2005 at Kalibo,
Aklan, Philippines.
Doc. No. _____;
Page No. _____;
REPUBLIC OF THE PHILIPPINES)
PROVINCE OF AKLAN : S. S
MUNICIPALITY OF AKLAN )
X------------------------------------------X
AFFIDAVIT DENIAL
That I was informed by Nilo Beltran who is the driver of the tricycle I was riding
last August 27, 2004, that there was such Affidavit of Desistance appeared to be signed
by me filed at the Office of the Provincial Prosecutor, Kalibo, Aklan;
That I went to the said Office to verify what document referred to by Nilo
Beltran and I found out that the said document known as “Affidavit of Desistance was
executed on August 31, 2004 and notarized before Notary Public Saykeme E. Molino
and entered in her notarial register as Doc. No. 283; Page No. 58; Book No. XIX;
Series of 2004;
That I deny having executed and signed the said affidavit of desistance, nor
appeared before Notary Public Saykeme E. Molino on August 31, 2004;
That I can attest to the truth that each and every material allegations stated in the
said affidavit of desistance are false and fabricated;
That the truth of the matter was that, it was that Hyundai Van that was at fault
when it collided with the tricycle I was riding;
That as a result , I was hospitalized along with the driver Nilo Beltran and other
passengers;
That it is impossible for me to sign the said Affidavit of Desistance, as I was still
at the hospital during that time and confined thereat for three (30 weeks;
That I am executing this affidavit to attest to the truth of the foregoing facts.
MARGIE APOLINARIO
Affiant
CLARO BRIONES
Lessor
BEATO FUTOZA
Lessee
SUBSCRIBED AND SWORN to before me this 23rd day of July 2004 at Kalibo,
Aklan, Philippines. Affiant exhibited to me her Community Tax Certificate No. 12137744,
issued on January 08,2004 at Banga , Aklan.
AFFIDAVIT OF LOSS
That the thorough search, inquiry and investigation to locate the said TIN-
144-442-027 (ID) proved futile and vain, as all ways and means were already
exhausted;
That I executing this affidavit of loss to attest to the truth of the foregoing
facts.
AFFIDAVIT OF LOSS
MAKE : KAWASAKI
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : AN110A-1025515
MOTOR NO. : KA110EE278430
MV FILE NO. : 0628-27952
PLATE NO. : MC-0628-17924
CERT.OF REG. : 21983736
O.R No. : 105938188
That the original copies of Certificate of Registration No. 21983736 and Official
Receipt No. 105938188 was lost in my possession without fault on my part; after I have
borrowed them from the Rosie Marketing, Kalibo, Aklan.
That earnest effort, search, inquiry and investigation were conducted in order to locate
the said documents but the same could not be found and that the earnest effort thus conducted
proved futile;
That I am executing this affidavit to establish the loss of the said certificate of
registration and Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 27 th day
of June 2005, at Kalibo,Aklan, Philippines.
GREGIE T. TORREMUCHA
Affiant
AFFIDAVIT OF LOSS
I, MARITES C. AGUSTI, of legal age, Filipino citizen, single and a resident of Roxas Ave.,
Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance with law, depose and say:
That at present I am duly authorized to signed all documents of RCL DIRECT MARKETING
CORPORATION, Kalibo, Aklan and as such, I am accountable of all the documents of the said office;
That one of the said accountable documents is records of Official Reciept and Certificate of
Registration of our costumer Salvador and Delia Concepcion who bought one (1) Unit Motorcycle
described as follows:
MAKE : VELOCI
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : LLCHXN10131009534
ENGINE NO. : 152FMH03096247
MV FILE NO. : 0636-00063693982
PLATE NO. : _____________
CERT.OF REG. : 2237396-0
OR NO. : 11974686-3
That the original copies of Official Reciept and Certificate of Registration were lost in our office
without fault in my part;
That earnest effort, search, inquiry and investigation were conducted in order to locate the original
copies of Official Reciept and Certificate of Registration but the same could not be found and that the
earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copies of Certificate of
Registration and Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 15 th day of July
2005, at Kalibo,Aklan, Philippines.
MARITES C. AGUSTI
Affiant
SUBSCRIBED AND SWORN to before me this 15 th day of July 2005 at Kalibo, Aklan, affiant
exhibiting to me her CTC No. 13540179, issued on June 10, 2005 at Kalibo, Aklan, Philippines.
AFFIDAVIT OF LOSS
I, MARITES C. AGUSTI, of legal age, Filipino citizen, single and a resident of Roxas Ave.,
Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance with law, depose and say:
That at present I am duly authorized to signed all documents of RCL DIRECT MARKETING
CORPORATION, Kalibo, Aklan and as such, I am accountable of all the documents of the said office;
That one of the said accountable documents is records of Official Reciept and Certificate of
Registration of our costumer Raul I. Ramos who bought one (1) Unit Motorcycle described as follows:
MAKE : YAMHA
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : 5RE-039802
ENGINE NO. : 5RE-039802
MV FILE NO. : 0628-00000063304
PLATE NO. : _____________
CERT.OF REG. : 20471117
OR NO. : 13787833-3
That the original copies of Official Reciept and Certificate of Registration were lost in our office
without fault in my part;
That earnest effort, search, inquiry and investigation were conducted in order to locate the original
copies of Official Reciept and Certificate of Registration but the same could not be found and that the
earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the original copies of Certificate of
Registration and Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 19 th day of July
2005, at Kalibo,Aklan, Philippines.
MARITES C. AGUSTI
Affiant
SUBSCRIBED AND SWORN to before me this 19 th day of July 2005 at Kalibo, Aklan, affiant
exhibiting to me her CTC No. 13540179, issued on June 10, 2005 at Kalibo, Aklan, Philippines.
That the said TIN-106-546-28 (ID) Card was lost in my possession without fault on
my part;
That the thorough search, inquiry and investigation to locate the said TIN-106-546-
28 (ID) proved futile and vain, as all ways and means were already exhausted;
That I executing this affidavit of loss to attest to the truth of the foregoing facts.
LYN O. MANTONG
Affiant
AFFIDAVIT OF LOSS
I, ERIC Q. DELA CRUZ, legal age, Filipino citizen, married and a resident of
Poblacion Numancia, Aklan, Philippines, after having been duly sworn to, in accordance
with law, hereby depose and say:
That I was issued a Driver’s License Identification Card (ID) by the Land
Transportation Office Kalibo, Aklan;
That the said Driver’s License Identification Card (ID) was lost in my possession
without fault on my part;
That thorough search, inquiry and investigation were conducted to locate the said
Driver’s License Identification Card (ID) but the same proved futile and vain,
That I executing this affidavit of loss to attest to the truth of the foregoing facts and
to request the LTO to issue a new license in lien of the lost one;
AFFIDAVIT OF LOSS
I, GREGIE T. TORREMUCHA, of legal age, Filipino citizen, single and a resident of Tugas
Makato, Aklan, Philippines, after having been duly sworn to, in accordance with law, depose and say:
MAKE : KAWASAKI
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : AN110A-1025515
MOTOR NO. : KA110EE278430
MV FILE NO. : 0628-27952
PLATE NO. : MC-0628-17924
CERT.OF REG. : 21983736
O.R No. : 105938188
That the original copies of Certificate of Registration No. 21983736 and Official Receipt No.
105938188 was lost in my possession without fault on my part; after I have borrowed them from the Rosie
Marketing, Kalibo, Aklan.
That earnest effort, search, inquiry and investigation were conducted in order to locate the said
documents but the same could not be found and that the earnest effort thus conducted proved futile;
That I am executing this affidavit to establish the loss of the said certificate of registration and
Official Reciept and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 27 th day of June
2005, at Kalibo,Aklan, Philippines.
GREGIE T. TORREMUCHA
Affiant
SUBSCRIBED AND SWORN to before me this 27th day of June 2005 at Kalibo,Aklan, affiant
exhibiting to me his CTC No. 03647129, issued on June 27, 2005 at Makato, Aklan, Philippin
We, SOON SIK KIM and WOOK JOONG KIM, both of legal age, Korean
nationals, and both presently residing at Balabag, Boracay Island, Malay, Aklan,
Philippines, after having been duly sworn to, in accordance with law, jointly depose and
say:
That we are the LESSEE of a parcel of land owned by Marietta S. Coching, located
at Brgy. Balabag, Malay, Aklan;
That we are giving our consent to said Marietta S. Coching to connect the Electrical
Power of her Generator in our electrical power supply, free of any charges through out
the durations of the contract of lease.
That we are executing this affidavit of consent to attest to the truth that we are
authorizing Marietta S. Coching to connect power supply of her generator from our
establishment free of any charges during the whole duration of the contract and to attest to
the truth of the foregoing facts.
AFFIDAVIT OF UNDERTAKING
I, JIMMY K. RELOJ, of legal age, Filipino citizen, married and a resident of Lapnag,
Banga, Aklan, Philippines, after having been duly sworn to, in accordance with law, do hereby
depose and say:
That I am the registered owner of a motor vehicle more particularly described as follows:
MAKE : ISUZU
TYPE OF BODY : STAKE TRUCK
SERIAL/CHASSIS NO. : NPR57L-4643699
MOTOR NO. : 4BC2-748641 MV
FILE NO. : 0716-00000132836
PLATE NO. : GGG421
CERT.OF REG. : 11827642
That the above-described motorvehicle was apprehended by the PNP Banga, Aklan for
alleged violation of DENR laws and presently impounded at the DENR compound, Kalibo,
Aklan;
That being involved in the said incident, it is a policy of the DENR to impound the said
motorvehicle until after everything is cleared particularly the legality and illegality of the lumber
loaded thereon;
That I hereby declare and make manifest by way of undertaking, that I will surrender,
turn-over, bring, and deposit the above-described motorvehicle at the DENR, Kalibo, Aklan, or
any other agency concerned when ordered to do.
That I am executing this affidavit of undertaking to request the DENR, Kalibo, Aklan to
release the said motorvehicle in my favor and to attest to the truth of the foregoing facts.
JIMMY K. RELOJ
Affiant
AFFIDAVIT
That I was then a sidewalk vendor at Poblacion, New Washington, Aklan from the
year 1981 to April 2005;
That during the said period, I paid my SSS contribution as self-employed and
ceases to stop payment only on May 2005;
That I am executing this affidavit to avail of the benefits extended by the SSS
particularly like to those who are less fortunate;
That I executing this affidavit to attest to the truth of the foregoing facts.
ALBERTO T. MADRIGAL
Affiant
AFFIDAVIT OF LOSS
That I am the father of Mr. Joreyl Candelario Rebello, who was awarded
educational benefits by the Philippine Veterans Affairs Office;
That as father and a guardian over his person, I was the one who kept the original
copy of said AWARD FOR EDUCATIONAL BENEFITS;
That the original copy of said document was lost in my possession without fault on
my part;
That earnest effort, search, inquiry and investigation were conducted in order to
locate the said original copy of Award for Educational Benefits but the same could not be
found and that the earnest effort thus conducted proved futile;
That I am executing this affidavit to attest to the truth of the foregoing facts and to
request the PVAO to issue a new one in leiu of the lost one, as I have already exhausted
all remedies to locate the same but failed.
YREL M. REBELLO
Affiant
CTC No. 24910832
Issued on February 5, 2005
Issued at Banga, Aklan
AFFIDAVIT OF LOSS
I, ROY D. QUIRINO, legal age, Filipino citizen, married and a resident of Brgy.
Cortes, Balete, Aklan, Philippines, after having been duly sworn to, in accordance with
law, hereby depose and say:
That being a bonafide member of the said agency I was issued an SSS Policy No.
07-3079648-O;
That the said SSS Policy No. 07-3079648-O was lost in my possession without fault
on my part;
That thorough search, inquiry and investigation were conducted to locate the said
SSS Policy No. 07-3079648-O but the same proved futile and vain,
That I executing this affidavit of loss to attest to the truth of the foregoing facts and
to request the SSS office to issue a new SSS Policy in lieu of the lost one;
ROY D. QUIRINO
Affiant
Excerpt from the minutes of the special meeting of PobNUTODA and VVNKTODA
officers on November 30, 2005 at 2:00 p.m. held at the Numancia Municipal Hall,
Numancia, Aklan.
Present:
2. Kung imo nga pila pwede mag cutting trip pero indi pwede makapila king imo nga
lagari.
3. Ro naga service sa eobong hay makapila, mabo-oe-it tricycle ag may free 1 trip sa
pilahan pag katapos it eobong.
Prepared by:
Noted by:
AFFIDAVIT OF LOSS
MAKE : KAWASAKI
TYPE OF BODY : MC
SERIAL/CHASSIS NO. : AN112B-B08337
MOTOR NO. : AN112BEA19868
MV FILE NO. : 0728-61647
PLATE NO. : 7H-03-33379
CERT.OF REG. : 20337388
O.R No. : 101980563
That the original copies of Certificate of Registration No. 20337388 and Official
Receipt No. 101980563 was lost in my possession without fault on my part;
That earnest effort, search, inquiry and investigation were conducted in order to
locate the said documents but the same could not be found and that the earnest effort thus
conducted proved futile;
That I am executing this affidavit to establish the loss of the said certificate of
registration and Official Reciept and to attest to the truth of the foregoing facts.
AFFIDAVIT OF LOSS
I, GLORIA N. ARBOLEDA, 74 years old legal age, Filipino citizen, married and a
resident of Estancia Kalibo, Aklan, Philippines, after having been duly sworn to, in accordance
with law, hereby depose and say:
That I was issued a Senior Citizen Identification No. 75094, Issued by the Office of the
Senior Citizen, Kalibo, Aklan ;
That the said Senior Citizen Identification Card No. 75094 (SCI) (ID) Card was lost in
my possession without fault on my part;
That I conducted search, inquiry and investigation to locate the said Senior Citizen
Identification No. 75094 Identification (ID) Card but it could not be found and that the earnest
effort thus conducted proved futile;
That I executing this affidavit of loss to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 19 th day of
December 2005, at Kalibo, Aklan, Philippines:
GLORIA N. ARBOLEDA
Affiant
AFFIDAVIT OF CONSENT
That I am the aunt of Ms. Alma Grace Indemne Lagrito, being her mother Norma I.
Indemne is my sister;
That my sister Norma I. Indemne is presently working abroad, and she is giving me
her consent to sign in the marriage contract of her daughter Ms. Alma Grace Indemne
Lagrito, who will get married on January 4, 2006, Certification of her mother Norma I.
Indemne is hereto attached for ready reference;
That I am executing this affidavit of consent to attest to the truth that Norma I.
Indemne authorizing me to sign in the marriage contract of her daughter and to attest to
the truth of the foregoing facts.
ANALIZA I. MARGAT
Affiant
CTC No. ______________
Issued on ______________
Issued at _______________
AFFIDAVIT
That we are the only surviving hiers of the late Amagio Seratin, the declared owner
of a parcel of land, designated as Lot No. 1036, with an area of 1,900 sq. m., covered by
ARP/TD No. 11915, located at Brgy. Regador, Ibajay, Aklan;
That I am executing this affidavit of consent to attest to the truth that Norma I.
Indemne authorizing me to sign in the marriage contract of her daughter and to attest to
the truth of the foregoing facts.
ANALIZA I. MARGAT
Affiant
CTC No. ______________
Issued on ______________
Issued at _______________
AFFIDAVIT OF LOSS
That I was issued a Driver’s License Identification Card (ID) by the Land
Transportation Office Kalibo, Aklan;
That the said Driver’s License Identification Card (ID) was lost in my possession
without fault on my part;
That thorough search, inquiry and investigation were conducted to locate the said
Driver’s License Identification Card (ID) but the same proved futile and vain,
That I am executing this affidavit of loss to attest to the truth of the foregoing facts
and to request the LTO to issue a new license in lien of the lost one;
SUBSCRIBED AND SWORN to before me this 30th day of January 2006 at Kalibo,
Aklan, Philippines. Affiant exhibited to me his Community Tax Certificate No. 1236957,
issued on January 12, 2006, issued at Tibiao, Antique.
AFFIDAVIT OF LOSS
That I was issued an ATM Card by the Allied Bank Kalibo, Aklan under Account
No. 3450-16982-8;
That the above- mentioned ATM Card was lost in my possession without fault
on my part;
That I conducted search, inquiry and investigation to locate the said ATM Card
but the same could not be found and that earnest effort thus conducted proved futile;
That I am executing this affidavit to request the Allied Bank, Kalibo, Branch,
Kalibo, Aklan to issue a new ATM Card in my favor in lieu of the lost one and to
attest to the truth of the foregoing facts.
That the said ATM Card was lost in my possession while I was in Manila along
with my wallet. That the lost of my ATM Card was happened without fault in my part.
That I reported the fact of loss of my ATM to the bank and I was instructed to execute an
affidavit;
That thorough search, inquiry and investigation were conducted to locate the said
ATM Card but the same proved futile and vain,
That I am executing this affidavit of loss to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 24th
day of February 2006, at Kalibo, Aklan, Philippines:
JO-ANN S. ESPINO
Affiant
SUBSCRIBED AND SWORN to before me this 24th day of February 2006 at
Kalibo, Aklan, Philippines. Affiant exhibited to me her Community Tax Certificate No.
13536594, issued on April January 12, 2006, issued at Kalibo, Aklan..
AFFIDAVIT OF LOSS
That I was issued an ATM Card by the Allied, Kalibo Branch, Bank Kalibo, Aklan
under Account No. 3450-16982-8;
That the above- mentioned ATM Card was lost in my possession without fault
on my part;
That I conducted search, inquiry and investigation to locate the said ATM Card
but the same could not be found and that earnest effort thus conducted proved futile;
That I am executing this affidavit to request the Allied Bank, Kalibo, Branch,
Kalibo, Aklan to issue a new ATM Card in my favor in lieu of the lost one and to
attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 11th
day of July 2006, at Kalibo, Aklan, Philippines:
SALWEN I. RENACIDO
Affiant
SUBSCRIBED AND SWORN to before me this 11th day of July 2006 at Kalibo,
Aklan, Philippines. Affiant exhibited to me his TIN No. 939-717-327, issued on
November 24, 2005, issued at Kalibo, Aklan..
AFFIDAVIT OF LOSS
MAKE : YAMAHA
TYPE OF BODY : TC
SERIAL/CHASSIS NO. : B115E-001230
MOTOR NO. : B115E-001230
MV FILE NO. : 0628-00000032805
PLATE NO. : FR3413
CERT.OF REG. : 20460767
That the original copies of Certificate of Registration No. 20460767 was lost in my
possession without fault on my part;
That earnest effort, search, inquiry and investigation were conducted in order to
locate the said documents but the same could not be found and that the earnest effort thus
conducted proved futile;
That I am executing this affidavit to establish the loss of the said certificate of
registration and to attest to the truth of the foregoing facts.
BARTOLOME P. ALBA
Affiant
SUBSCRIBED AND SWORN to before me this __________ day of March 2006
at Kalibo,Aklan, affiant exhibiting to me his CTC No.__________, issued on
______________at________________________, Philippines.
AFFIDAVIT OF LOSS
That I was issued a Professional Driver’s License Identification Card (ID) by the
Land Transportation Office Kalibo, Aklan;
That the said Professional Driver’s License Identification Card (ID) was lost in my
possession without fault on my part;
That thorough search, inquiry and investigation were conducted to locate the said
Professional Driver’s License Identification Card (ID) but the same proved futile and
vain,
That I am executing this affidavit of loss to attest to the truth of the foregoing facts
and to request the LTO to issue a new Professional Driver’s License Identification Card
(ID) in lien of the lost one;
SALLY I. THORNTON
Affiant
CTC No.________________
Issued on._______________
Issued at. _______________
AFFIDAVIT OF LOSS
I, JENETTE VALENCIA, of legal age, Filipino citizen, single and a resident of Baybay
Makato, Aklan, Philippines, after having been duly sworn to, in accordance with law, depose and say:
That one of the said accountable documents is record of Certificate of Registration of our costumer
Lany C. Rizan who bought one (1) Unit Motorcycle described as follows:
MAKE : KAWASAKI
TYPE OF BODY : MC/SC
SERIAL/CHASSIS NO. : KG-814433
MOTOR NO. : G7E-098932
MV FILE NO. : 6A-16298
PLATE NO. : FY8183
CERT.OF REG. : 50480583
That the original copy of Certificate of Registration under CR No. 50480583 was lost in our
office without fault in my part;
That earnest effort, search, inquiry and investigation were conducted in order to locate the original
copy of Certificate of Registration but the same could not be found and that the earnest effort thus
conducted proved futile;
That I am executing this affidavit to establish the loss of the original copy of Certificate of
Registration and to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this ___th day of March
2006, at Kalibo,Aklan, Philippines.
JENETTE VALENCIA,
Affiant
SUBSCRIBED AND SWORN to before me this ___ th day of March 2006 at Kalibo,Aklan,
affiant exhibiting to me his CTC No._______________, issued on _______________at
_______________Philippines.
AFFIDAVIT OF LOSS
That I was issued an ATM Card by the Landbank Kalibo, Aklan under Account No.
0456-0799-89 ;
That the said ATM Card was lost in my possession while I was in Manila along
with my wallet. That the lost of my ATM Card was happened without fault in my part.
That I reported the fact of loss of my ATM to the bank and I was instructed to execute an
affidavit;
That through search, inquiry and investigation were conducted to locate the said
ATM Card but the same proved futile and vain,
That I am executing this affidavit of loss to attest to the truth of the foregoing facts.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 29th
day of March 2006, at Kalibo, Aklan, Philippines:
MARILYN A. TAPISPISAN
Affiant
SARA LEE ID No. 01709
Kalibo, Aklan
SUBSCRIBED AND SWORN to before me this 29th day of March 2006 at Kalibo,
Aklan, Philippines. Affiant exhibited to me her ID No. Above-indicate
AFFIDAVIT OF LOSS
That I was issued a Professional Driver’s License Identification Card (ID) by the
Land Transportation Office Kalibo, Aklan;
That the said Professional Driver’s License Identification Card (ID) was lost in my
possession without fault on my part;
That thorough search, inquiry and investigation were conducted to locate the said
Professional Driver’s License Identification Card (ID) but the same proved futile and
vain,
That I am executing this affidavit of loss to attest to the truth of the foregoing facts
and to request the LTO to issue a new Professional Driver’s License Identification Card
(ID) in lien of the lost one;
PRIMITIVO M. RAMAL
Affiant
CTC No.03696176
Issued on. January 20, 2006
Issued at. Kalibo, Aklan
AFFIDAVIT OF LOSS
That I am the holder/owner of a Tax Identification Number Card # 213489124 from Bureau of
Internal Revenue which issued to me by the bureau last March 2002.
That the TIN Card above-mentioned was lost in my possession without fault on my part;
That I conducted search, inquiry and investigation to located the said TIN Card but the same
could not be found and that the earnest effort thus conducted proved futile;
That I executing this affidavit of loss to Bureau of Internal Revenue to issue me a replacement of
the said TIN Card for my transactions to the Bureau and other agency.
IN WITNESS WHEREOF, I have hereunto signed this affidavit of loss on this 20 th day of April
2006, at Kalibo, Aklan, Philippines:
SUBSCRIBED AND SWORN to before me this 20 th day of April 2006 at Kalibo, Aklan,
Philippines. Affiant exhibited to me her Community Tax Certificate No. 03690086, issued on January
06, 2006 at Kalibo, Aklan.
AFFIDAVIT OF SUPPORT
That my mother ROSALINA V. BAUTISTA, who is now seventy three (73) years old is
presently confine at Dr. Rafael S. Tumbokon Memorial Hospital;
That he is dependent on me for all kind of support, particularly the financial aspect and
that he is presently living with under my custody;
ANALIZA B. PADOR
Affiant
SUBSCRIBED AND SWORN to before me this 1 ST day of June 2006 at Kalibo, Aklan,
Philippines. Affiant exhibited to me her Community Tax Certificate No. 21020206 issued on
May 22, 2006 at New Washington, Aklan.
AFFIDAVIT OF SUPPORT
That my mother NORMA I. TAGALA, who is now seventy one (71) years old is
presently confined at Saint Gabriel Hospital Kalibo, Aklan;
That she is dependent on me for all kind of support, particularly the financial aspect and
that she has been living with under my custody and support;
PERPETUO Y. AGUILA
Affiant
AFFIDAVIT OF MERIT
I, JUANITO MONTERO, of legal age, Filipino citizen, married and a resident of Solido,
Nabas, Aklan, Philippines, after having been duly sworn, to in accordance with law, do hereby
depose and say:
That I am one of the defendants in the Civil Case No. 300, for damages, filed by the
plaintiffs Lury Supe, Et. Al before MTC, Ibajay, Aklan;
That I was declared in default by the Honorable Court for my failure to appear at the
hearing on February 07, 2006;
That my failure to appear was due to the fact that during that hearing, I have no counsel to
represent me. My counsel that time Atty. Hannibal Morales had just withdrawn my case, and
that I have no more money to hire the services of a private lawyer.
That I was not yet able to recover after the said incident, and I have no complete
understanding about of this case unless discuss to me by my counsel. The default order issued by
the Honorable Court came to my knowledge only after it was discussed to me by my daughter
who was told by my present counsel;
That I and my daugther and wife have been attending the hearing of this case even since it
was filed but due to postponments made by both counsels, the pre-trial was never pushed though.
That at present I was able to secure the legal services of IBP Aklan Chapter to represent
me in this case;
That said case was once dismissed by the Honorable Court due to the failure of the
plaintiff to appear and it was reinstated thereafter when they filed an explanation. In the same
manner I asked also a little consideration about this matter, to give me chance to defend my case;
That I respectfully ask the Honorable Court to order the lifting of default and to set the
pre-trial of this case;
IN WITNESS WHEREOF, I have hereunto signed his affidavit of merit on this ______ th
day of _____________ 2006 at Kalibo, Aklan , Philippines.
JUANITO MONTERO
Affiant
CTC No. _________________
Issued on _________________
Issued at __________________
AFFIDAVIT OF LOSS
That I obtained a loan from E.S Gonzaga Pawnshop located at Cor. Dr. Gonzales
& Pastrana St Kalibo, Aklan in the amount of P 2,500.00 one (1) necklace 21K, was
given as security and as such a Pawnticket No. 81790 was issued to me by the said
Pawnshop;
That I executing this affidavit of loss to request E.S Gonzaga Pawnshop located
at Dr. Gonzales & Pastrana St., Kalibo, Aklan , to allow me to renew and / redeem the
pawned necklace aforestated without presenting the pawnticket because of the said
lost and to attest to the truth of the foregoing facts
WIFREDA RONATO
Affiant
JOINT AFFIDAVIT
We, DOLFEO JAVIER, legal age, Filipino citizen, single and a resident of
Sitio Hagakhak, Brgy. Poblacion, Madalag, Aklan, Philippines and RAMONITO
JAVIER legal age, Filipino citizen, single and a resident of Sitio Hagakhak,
Brgy. Poblacion, Madalag, Aklan, Philippines, after having been duly sworn to,
in law, hereby depose and say:
That thereafter we heard a gun shot and when we looked at in the street,
we saw Richie Rebustes holding a gun and pointing it to our mother Linda
Javier and to our uncle Romy Javier;
That they were determined to kill during that time, as when they
threatened our mother and uncle, they were holding dealy weapons;
That we are executing this joint affidavit to attest to the truth of the
foregoing facts.
JOINT AFFIDAVIT
We, LINDA N. JAVIER and MANUEL JAVIER, both legal age, Filipino citizens,
and a residents of Sitio Hagakhak, Brgy. Poblacion, Maldalag, Aklan, Philippines, after
having been duly sworn to, in law, hereby depose and say:
That thereafter we heard a gun shot and when we looked at in the street,
we saw Richie Rebustes holding a gun and pointing it to us and to Romy
Javier;
That they were determined to kill us during that time, as when they have
a gun and bolo;
That we are executing this Joint affidavit to attest to the truth of the
foregoing facts.
AFFIDAVIT
That thereafter I heard a gun shot and when I looked at in the street, I
saw Richie Rebustes holding a gun and pointing it to me and to Romy Javier;
That they were determined to kill us during that time, as when they have
a gun and bolo;
That I am executing this affidavit to attest to the truth of the foregoing facts.
LINDA JAVIER
Affiant
Madam:
LINDA JAVIER
Complainant
CTC No. _____________
Issued at _____________
Issued on _____________
CERTIFICATION
I hereby certify that I have personally examined the affiant and am satisfied
that he freely and voluntarily executed the foregoing complaint and that she fully
understood the allegations contained therein.
AFFIDAVIT OF LOSS
That the TIN Card above-mentioned was lost in my possession without fault on
my part;
That I conducted search, inquiry and investigation to located the said TIN Card
but the same could not be found and that the earnest effort thus conducted proved
futile;
AFFIDAVIT OF LOSS
That I was issued a Certificate of Full Payment (CFP) No. 10242373 which is the
replacement of the original one dated July 30, 2007 by the Pacific Plans, INC. Kalibo,
Aklan;
That the said Replacement Certificate of Full Payment was lost in my possession
while it is in transit for delivery to me and that without fault on my part;
That thorough search, inquiry and investigation were conducted to locate the said
replacement of the Certificate of Full Payment but the same proved futile and vain,
That I am executing this affidavit of loss to attest to the truth of the foregoing facts
and to request the APEC (formerly the Pacific Plans, Inc.) to issue another replacement
of the Certificate of Full Payment in lieu of the lost one;
MERIAM S. VICENTE
Affiant