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REPUBLIC OF THE PHILIPPINES) CITY OF MAKATI ) S.S.

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AFFIDAVIT OF LOSS
I, ___________________, of legal age, Filipino, single and a resident of _______________________________, after having been duly sworn to in accordance with law, depose and state THAT: 1. On January 12, 2010, I was issued a Philippine Passport by the Department of Affairs in Manila; 2. Recently, I had tried to look for the said passport but the same could not be found; 3. Despite diligent search and efforts to locate the said passport, I could not find the same such that I believe that it is now lost beyond recovery; 4. As such, I am executing this affidavit to attest to the foregoing facts and to support the application for the issuance of a new one in lieu of the one which was lost. IN WITNESS WHEREOF, I have hereunto set my hand this ___________________ in Makati City, Metro Manila, Philippines. ____________________ Affiant GSIS ID No. _____________ SUBCRIBED AND SWORN TO before me this ___________________ in _________________, Philippines, affiant exhibiting to me his valid proof of identification. Doc. No. _____; Page No. _____; Book No. _____; Series of 2013.

Republic of the Philippines Department of Justice National Prosecution Service OFFICE OF THE CITY PROSECUTOR Makati City AFFIDAVIT OF DESISTANCE WE, FERDINAND M. CASTRO and ROWENA A. CASTRO, Filipinos, of legal ages, husband and wife, respectively, and residents of 106 Sisa Street, Sampaloc, Manila after having been duly sworn to in accordance with law, depose and state: 1. We are the private complainant in a criminal case for Reckless Imprudence Resulting to Damage to Property against Joel O. Castillo docketed as IS No. XV-05-INV-10G-01000 before the Office of the City Prosecutor, Makati City 2. In this regard, the accused has already paid the damage to our vehicle; 3. In view of the payment by the accused and considering that Rowena A. Castro was not injured, we would like to manifest that we now completely and absolutely exonerate the accused from any liability in connection with the above-mentioned criminal case and that we are no longer interested, and we hereby desist, in prosecuting the said criminal case; 4. As such, we respectfully pray that the aforementioned case against Joel O. Castillo be withdrawn and/or dismissed. IN WITNESS WHEREOF, we have hereunto set our this ___________________ in _______________, Philippines. hands

FERDINAND M. CASTRO Affiant Philippine Passport No. _____ Issued at: ________________ Issued on: ________________

ROWENA A. CASTRO Affiant Philippine Passport No. _____ Issued at: ________________ Issued on: _______________

SUBCRIBED AND SWORN TO before me this ___________________ in _________________, Philippines, affiants exhibiting to me their valid proofs of identification. Doc. No. _____; Page No. _____; Book No. _____; Series of 2013.

Republic of the Philippines National Capital Judicial Region METROPOLITAN TRIAL COURT Branch LXII (62) Makati City PEOPLE OF THE PHILIPPINES, Plaintiff, - versus Crim. Case No. 111222 REY L. MAPA, Defendant. x-------------------------------------------x

AFFIDAVIT OF DESISTANCE
I, FERDINAND M. GERON, Filipino, of legal age, married, and with office address at Pure Finance Corporation, 1234 Chino Roces Avenue, Makati City, after having been duly sworn to in accordance with law, depose and state: 1. That I am the authorized representative of PURE FINANCE CORPORATION, the private complainant in Criminal Case No. 111222 against REY L. MAPA for violation of Batas Pambansa Bilang 22 pending before the Metropolitan Trial Court of Makati City, Branch 62 (copy of the Secretary's Certificate is hereto attached as Annex "A" and form and integral part hereof;

2. That after a careful evaluation of the facts surrounding the case, I came to realize that the case arose out of misapprehension of facts and that the account of the accused has already been settled even prior to the filing of this case; 3. That I have decided not to pursue the case against the accused considering that under the circumstances, it will be extremely difficult for the prosecution to secure conviction of the accused; 4. That because of the foregoing reasons, I am now desisting in the further prosecution of the case and will no longer testify against the accused. IN WITNESS WHEREOF, I have hereunto set my hand this 7th day of August 2013 at Makati City, Philippines.

FERDINAND M. GERON Affiant Philippine Passport No. _____ Issued at: ________________ Issued on: _______________ SUBCRIBED AND SWORN TO before me this 7th day of August 2013 at Makati City, Philippines. I hereby certify that I have examined the affiant personally and that he voluntarily executed his affidavit and understood the same. PUBLIC PROSECUTOR

Affidavit of Self Adjudication


REPUBLIC OF THE PHILIPPINES) CITY OF CEBU...........................)S.S. AFFIDAVIT OF SELF- ADJUDICATION

I, (name) , Filipino, of legal age, (single/married), and a resident of (address) , Cebu City, Philippines after having been duly sworn to in accordance with law, do hereby depose and state, THAT: 1. I am the sole heir of the late biological son/daughter; (name of decedent) being his/her only

2. The late (name of decedent) and died without any last will and testament;

passed away on

(date of death)

3. At the time of death my father/mother had no debts, liabilities or obligations to any persons, agency or institution; 4. The only property left by my late mother is (name and description of the property); 5. As sole heir of the herein decedent, I hereby adjudicate the abovementioned property solely for and in my name as well as any and all liabilities arising from the said property; 6. I hereby execute this affidavit for the purpose of processing the transfer of the said property in my name, the settlement of the estate of the late (name of decedent) , as well as for the release of any other claim or benefit in relation to his/her death before any government/private office and banking institution and for any other legal purpose this may best serve. IN WITNESS WHEREOF, I hereby set my hands this Philippines. (name of affiant) Affiant SUBSCRIBED AND SWORN to before me this (date) Philippines. Affiant exhibited to me his (I.D. and I.D. No.) _________________ at ______________ as his competent evidence of identity. Doc. No.______; Page No.______; Book No._____; Series of 20____. Posted 25th July 2012 by Kirk Bryan Repollo Labels: Affidavit of Self- adjudication at Cebu City, issued on (date) at Cebu City,

(NOTARY PUBLIC)

REPUBLIC OF THE PHILIPPINES) CITY OF MAKATI ) S.S. x-------------------------------------x

AFFIDAVIT OF SELF-ADJUDICATION
I, MARIA B. DELA CRUZ, of legal age, Filipino, single and a resident of 6789 Washington Street, Pio del Pilar, Makati City, after having been duly sworn to in accordance with law, depose and state: 1. That I am the only daughter of JUAN B. DELA CRUZ who died without any last will and testament on July 20, 2013 in Makati City as evidenced by his Death Certificate issued by the City of Makati hereto attached as Annex A and made an integral part of this Affidavit; 2. That at the time his death, my father had no debts, liabilities or obligations to any persons, agency or institution; 3. That the only property he left is a parcel of land consisting of 60 square meters located in J.B. Roxas Street, Makati City more particularly described in TCT No. 112233 hereto attached as Annex B and made an integral part of this Affidavit; 4. That pursuant to Rule 74, Sec. 1 of the Rules of Court, I hereby adjudicate unto myself the above-described real estate by means of this Affidavit and hereby files the same with the Register of Deed of Makati City with the request that the said adjudication be made effective without judicial proceeding as prescribed by the aforementioned provision of the Rules of Court. IN WITNESS WHEREOF, I have hereunto set my hand this 26th day of September 2013 in Makati City, Metro Manila, Philippines. MARIA B. DELA CRUZ Affiant SUBCRIBED AND SWORN TO before me this 26th day of September 2013 in Makati City, Metro Manila, Philippines, affiant exhibiting to me her Philippine Passport No. 123456 issued in Manila on January 12, 2012 and valid until January 12, 2017. Doc. No. _____; Page No. _____; Book No. _____;

Series of 2013.

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT NATIONAL CAPITAL JUDICIAL REGION MAKATI CITY, BRANCH ______ MARIA CLARA MERCADO-RIZAL Petitioner,

versus -

CIVIL CASE NO. ____________ Declaration of Nullity of Marriage

FELIX P. RIZAL Respondent. xx JUDICIAL AFFIDAVIT OF MARIA CLARA MERCADO-RIZAL This Judicial Affidavit of Maria Clara Mercado-Rizal, the Petitioner, is executed to serve as her direct testimony in the instant case. This Judicial Affidavit is being offered to prove: A) All the allegations in the Petition including all annexes appended thereto and which were already marked as exhibits during the Pre-Trial of this case; B) All other related matters, facts and circumstances relevant and material to this case.

This Judicial Affidavit was taken at the office of Atty. Josefino S. Enrile at Unit 7827, RCB Tower, 108 Legaspi St., Legaspi Village, Makati City. Questions were propounded by Atty. Josefino S. Enrile and these questions are numbered consecutively and each question is followed by the answer of the witness. 1. I do. 2. Are you aware that you may face criminal liability for false testimony or perjury if you will not tell the truth? I am. 3. Please state your name, age address and occupation? Do you swear to tell the truth and nothing but the truth?

I am Maria Clara Rizal Mercado, 51 years old, married, and residing at 313 Santol Road, Makati City. 4. Are you the same Maria Clara Rizal Mercado, the Petitioner in this case?

Yes. 5. Do you know the Respondent in this case, Mr. Felix P. Rizal?

Yes, he is my husband. ............... Affiant further sayeth naught. MARIA CLARA MERCADO-RIZAL Affiant SUBSCRIBED AND SWORN to before me this _______________ at _______________, Affiant exhibiting to me her Passport bearing No. SS12345678 issued on 8/9/12 and expiring on 8/8/17. Doc No. ________; Page No. _______ ; Book No. _______;

Series of ________. ATTESTATION I hereby state, under oath, that I faithfully recorded the questions I asked and the corresponding answers that the witness gave and that neither I nor any other person present or assisting me has coached the witness regarding the latters statement. ATTY. JOSEFINO S. ENRILE SUBSCRIBED AND SWORN to before me this _______________ at Makati City, Affiant exhibiting to me his drivers license bearing No. N11-82-030573 expiring on 09/08/2013. Doc No. ________; Page No. _______ ; Book No. _______; Series of ________. Copy Furnished: Office of the City Public Prosecutor Makati City

Republic of the Philippines National Capital Judicial Region REGIONAL TRIAL COURT Branch 39 Quezon City ABC CORPORATION, Plaintiff, - versus Civil Case No. 111222 RAYMOND CORPUZ MAPA, Defendant. x-------------------------------------------x

MOTION FOR EXTENSION OF TIME TO FILE COMMENT TO OFFER OF EVIDENCE


Defendant, by counsel, respectfully alleges that: 1. On August 3, 2013, he received a copy of the plaintiff's Offer of Evidence dated July 25, 2013. Hence, pursuant to the order of the Honorable Court in open court during the July 22, 2013 hearing, defendant has five (5) days or until August 8, 2013 within which to file its Comment to the same; However, due to volume and pressure of work, coupled with other equally important and urgent professional commitments, the undersigned counsel cannot complete the said Comment to the Offer of Evidence within the period required and will need an additional ten (10) days from August 8, 2013 or until August 18, 2013 within which to do so; This motion is being filed due to the reason above-stated and not for the purpose of delaying the instant case. WHEREFORE, defendant prays that he be granted an additional ten (10) days from August 8, 2013 or until August 18, 2013 within which to submit a Comment to the Offer of Evidence. Quezon City, Philippines. August 30, 2013. ATTY. VX YZ for Defendant NOTICE OF HEARING THE BRANCH CLERK OF COURT RTC - Branch 39 Quezon City Greetings! Kindly submit the foregoing motion for consideration and approval of this Honorable Court immediately upon receipt hereof. Counsel

2.

3.

VX YZ Copy furnished by registered mail: ATTY. AB CD Counsel for the Defendant 2233 Zamora Street, Pasay City Please take notice that counsel has requested for the approval of this motion immediately upon receipt. VX YZ

Republic of the Philippines National Capital Judicial Region METROPOLITAN TRIAL COURT Branch LXII (62) Makati City AMER KADO, Plaintiff, - versus Civil Case No. 111222 KARLA BAN, Defendant. x-------------------------------------------x

MOTION TO INHIBIT
DEFENDANT, through the undersigned counsel, respectfully moves this Honorable Court to desist from trying the above-entitled case on the following averments: 1. That defendant has been summoned before this Honorable Court;

2. That it appears that there is danger of partiality, bias and prejudice in favor of the plaintiffs for the reason that Honorable Judge Maka Tarungan is related to the plaintiff within the 4th civil degree of consanguinity; 3. That defendant will be prejudiced if the Honorable Judge continues to hear the above-entitled case; 4. That it is necessary that the Honorable Judge inhibit himself so as to promote the administration of justice. WHEREFORE, in view of the foregoing, it is respectfully prayed that Honorable Judge Maka Tarungan inhibit himself from hearing and trying the above-entitled case. Makati City, Philippines. August 5, 2013. ATTY. BEN TONG for Defendant NOTICE OF HEARING THE BRANCH CLERK OF COURT MeTC - Branch 62 Makati City ATTY. BEN TAMBLING Counsel for the Plaintiff 1234 Zamora Street, Pasay City Greetings! Please take notice that the undersigned counsel will submit the foregoing Motion to the Honorable Court on August 27, 2013 at 8:30 in the morning for its favorable consideration and approval. BEN TONG Copy furnished by registered mail: ATTY. BEN TAMBLING

Counsel

Counsel for the Plaintiff 2233 Zamora Street, Pasay City EXPLANATION Due to lack of messengerial services to effect personal service, a copy of the foregoing motion was sent to defendant's counsel through registered mail. BEN TONG

EPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT NATIONAL CAPITAL JUDICIAL REGION BRANCH 27, MANILA JOSE NADAL, Plaintiff, - versus MARJE LEE, Defendant. x-----------------------------------x For: Collection of sum of money MOTION TO LIFT ORDER OF DEFAULT COMES NOW, the defendant by the undersigned counsel and to this Honorable Court, respectfully alleges: That defendant filed a motion to dismiss on the ground of novation and prescription, ten days after receipt of summons; That Plaintiff had not filed any position to said motion and no hearing was held on said motion to dismiss; Civil Case No.: 96-147807

That while the said motion to dismiss is still pending resolution, this Honorable Court declared defendant in default; That the order of default is premature and without legal basis since there is still pending motion to dismiss unresolved by this court; That the order declaring defendant in default, was premature because the motion to dismiss the complaint on the point of lack of jurisdiction was still pending consideration by the Court. WHEREFORE, it is respectfully prayed that the order declaring the defendant in default be lifted and that this Honorable Court rule on the aforesaid pending motion to dismiss. Manila, November 20, 2003. JUAN CRUZ Attorney for Defendant CRUZ & ASSOCIATES 3rd Floor, RCBC Plaza, Ayala Avenue, Makati City Roll No. 123456 P.T.R. No. 1234567 / Manila / January 10, 2008 IBP No. 123456/ Manila / January 20, 2008 MCLE Compliance No. 123456 NOTICE OF HEARING PROOF OF SERVICE EXPLANATION Republic of the Philippines National Capital Judicial Region METROPOLITAN TRIAL COURT Branch LXII (62) Makati City STERLING BANK OF ASIA, Plaintiff,

- versus Civil Case No. 111222 ELLA CORPUZ MAPA, Defendant. x-------------------------------------------x

MOTION FOR JUDGMENT ON THE PLEADINGS


Plaintiff, by counsel, respectfully alleges that: 1. 2. On May 5, 2013, plaintiff sued defendant for a sum of money in the amount of Two Hundred Thousand Pesos (P200,000.00); In his Answer, defendant admitted the obligation and merely stated that he was asking to be given an extension of time to pay his obligation but that plaintiff instead filed the Complaint; Said Answer has not tendered any issue and in fact it can be read therefrom that defendant admitted the obligation; consequently, a judgment on the pleadings may be rendered. WHEREFORE, it is respectfully prayed that this Honorable Court render a judgment on the pleadings. Makati City, Philippines. August 5, 2013. ATTY. VX YZ for Plaintiff NOTICE OF HEARING THE BRANCH CLERK OF COURT MeTC - Branch 62 Makati City ATTY. AB CD Counsel for the Defendant 1234 Zamora Street, Pasay City Counsel

3.

Greetings! Please take notice that the undersigned counsel will submit the foregoing Motion to the Honorable Court on August 27, 2013 at 8:30 in the morning for its favorable consideration and approval. VX YZ Copy furnished by registered mail: ATTY. AB CD Counsel for the Defendant 2233 Zamora Street, Pasay City EXPLANATION Due to lack of messengerial services to effect personal service, a copy of the foregoing motion was sent to defendant's counsel through registered mail. VX YZ

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