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Republic of the Philippines

National Capital Judicial Region


REGIONAL TRIAL COURT
Branch 147
Makati City

PEOPLE OF THE PHILIPPINES,


Plaintiff,
Crim Case No. 123456
- versus -
for
Homicide
AKU SADO,
Accused.
x - - - - - - - - - - - - - - - - - - - - -x

INFORMATION

The undersigned Assistant City Prosecutor hereby accuses Aku Sado of the crime of Homicide
committed as follows:

That on or about August 12, 2013, Makati City within the jurisdiction of this court, the said accused,
armed with a bladed weapon, with intent to kill, did then and there willfully,unlawfully and feloniously
attack, assault and stab one VIC TIMA, thereby inflicting upon him a fatal wound which directly caused his
death.

Contrary to law.

Makati, Philippines, August 22, 2013.

ATTY. BEN TONG


Private Prosecutor

WITNESSES:

MARIA MAKILING JUAN TAMAD

CERTIFICATION

I hereby certify that a preliminary investigation was conducted in the above-entitled case,and there is
prima facie evidence that the crime of Homicide has been committed and that the accused is probably
guilty thereof.

ATTY. BEN TONG


Private Prosecutor

DEED OF ABSOLUTE SALE

KNOW ALL MEN BY THESE PRESENTS:

This DEED OF ABSOLUTE SALE is made, executed and entered into by:

(NAME OF SELLER), of legal age, single/married to (Name of spouse if any), Filipino, and with
residence and postal address at (Address of Seller), hereinafter referred to as the SELLER

-AND-
(NAME OF BUYER), Filipino and with residence and postal address at (Address of Buyer), hereinafter
referred to as the BUYER.

WITNESSETH;

WHEREAS, the SELLER is the registered owner of a parcel of land with improvements located at
(Address of property to be sold) and covered by Transfer Certificate of Title No. (TCT Number) containing
a total area of (Land Area of Property in Words) (000) SQUARE METERS, more or less, and more
particularly described as follows:

TRANSFER CERTIFICATE OF TITLE NO. 0000

"(Insert the technical description of the property on the title) Example: A PARCEL OF LAND (Lot 20
Blk 54 of consolidation subdivision plan (LRC) Pcs-13265, being a portion of the consolidation of Lots
4751-A and 4751-B (LRC) Psd-50533, Lot 3, Psd-100703, Lot 1, Psd-150980, LRC Rec. Nos. Nos. N-27024,
51768, 89632, N-11782, N-13466, and 21071 situated in the Bo. of San Donisio, Mun of Paranaque, Prov
of Rizal, Is. of Luzon. Bounded on NE., point 4 to 1 by Road Lot 22, on...to the point of beginning;
containing an area of (280) square meters more or less..."

WHEREAS, the BUYER has offered to buy and the SELLER has agreed to sell the above mentioned
property for the amount of (Amount in words) (P 000,000.00) Philippine Currency;

NOW THEREFORE, for and in consideration of the sum of (Amount in words) (P 000,000.00) Philippine
Currency, hand paid by the vendee to the vendor, the SELLER DO HEREBY SELL, TRANSFER, and CONVEY
by way of Absolute Sale unto the said BUYER, his heirs and assigns, the certain parcel of land together
with all the improvements found thereon, free from all liens and encumbrances of whatever nature
including real estate taxes as of the date of this sale.

(NAME OF SELLER) (NAME OF BUYER)


Seller Buyer

WITH MARITAL CONSENT:


________________________ _________________________
Name of Seller's Spouse Name of Buyer's Spouse

SIGNED IN THE PRESENCE OF:

__________________________ ____________________________

ACKNOWLEDGMENT

REPUBLIC OF THE PHILIPPINES)


_____________________________ ) SS.

BEFORE ME, a Notary Public for and in the City of ___________________, personally appeared:

Name CTC Number Date/Place Issued

(Name of Seller) 10000000 Jan 15, 20__ / Angeles City


(Name of Buyer) 10000000 Jan 9, 20__ / Manila

Known to me and to me known to be the same persons who executed the foregoing instrument and
acknowledged to me that the same are their free act and voluntary deed.

This instrument, consisting of (__) pages, including the page on which this acknowledgment is written, has
been signed on the left margin of each and every page thereof by the concernedparties and their
witnesses, and sealed with my notarial seal.

WITNESS MY HAND AND SEAL on this ___day of __________________20__ at_______________.


Notary Public

Doc. No. ........;


Page No. .......;
Book No. .......;
Series of 20__.

Complaint for Unlawful Detainer Sample

REPUBLIC OF THE PHILIPPINES


METROPOLITAN TRIAL COURT

City of Manila

Branch 1

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

MEGAN VITUG,
Defendant.

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

COMPLAINT

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

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

1. To vacate the subject premises;


2. To pay the amount of P5,000.00 per month as compensation for the reasonable use of the subject
premises until they finally vacate the said premises;
3. To pay the plaintiff the cost of the suit.
City of Manila, September 24, 2012.

REYES, TOLENTINO AND CRUZ LAW OFFICE

Counsel for the Plaintiff

Unit 123, Victoria Tower I

Taft Avenue, Manila

By:

Louise Reyes

Roll of Attorney No. 98765


IBP No. 12345/2-5-12/Manila

PTR No. 87654/12-22-11/Manila

VERIFICATION/CERTIFICATION OF FORUM SHOPPING

Republic of the Philippines )


City of Manila ) S.S.

I, KRUL ACOSTA, of legal age, Filipino citizen, single and resident of 123 Benitez Street, Manila, after
having been duly sworn to in accord Nance with law do hereby depose and say:
1. That I am the plaintiff in the above-entitled case;
2. That I have caused the preparation of the foregoing complaint and have read the allegations contained
therein;
3. The allegations in the said complaint are true and correct of my own knowledge and authentic records;
4. I hereby certify that I have not commenced any other action or proceeding involving the same issues in
any court, tribunal or quasi-judicial agency and, to the best of my knowledge, no such other action or
claim is pending therein;
5. That if I should learn thereafter that a similar action or proceeding has been filed or is pending, I hereby
undertake to report that fact within five (5) days therefrom to the court or agency where the original
pleading and sworn certification contemplated herein have been filed;
6. I executed this verification/certification to attest to the truth of the foregoing facts and to comply with
the provisions of Adm. Circular No. 04-94 of the Honorable Supreme Court.
IN WITNESS WHEREOF, I have hereunto affixed my signature this 24th of September 2012, in the
City of Manila.

KRUL ACOSTA

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

ATTY. NO CASE
Notary Public

My Commission Expires Dec. 31, 2012

Roll of Attorney No. 34567

IBP No. 12345/2-5-12/Manila

PTR No. 87654/12-22-11/Manila

Doc. No. ________


Page No. _______
Book No. _______
Series of 2012.

Republic of the Philippines

METROPOLITAN TRIAL COURT

Sixth Judicial Region

Branch 20, Iloilo City


DANIEL BERNARDO

Plaintiff,

-versus-

KATHRYN REID and

NADINE PADILLA

Defendants.

CIVIL CASE NO. 1

For: Collection of a Sum of Money


X - - - - - - - - - - - - - - - - - - - - - - - - - - -X

COMPLAINT

PLAINTIFF, thru the undersigned Counsel, unto this Honorable Court, respectfully alleges:

1. That Plaintiff is of legal age, Filipino, married to Catherine Bernardo, and with residence at #10
Baluarte St, Molo, Iloilo City;

2. That Defendants are likewise of legal age, Filipino, married and with residence at # 70 Hechanova
St., Jaro, Iloilo City, where she could be served with summons and other processes of the Court;

3. That the above-named spouse of Plaintiff is the erstwhile business partner of the defendant from
year 2010 to 2014;

4. That the said plaintiffs, together with his wife own a lending business. Such extending of loan is
with the interest of 10% per annum. That defendants borrowed jointly a sum of P300, 000 for her own personal
use, payable within 1 year from the time said amount was given to defendant. That upon maturity of the said
contract of loan and upon serving of notice of demand, the defendant failed to pay his obligation. Attached
herewith is the copy of the Contract of Loan between Plaintiff and Defendant as Annex A

5. That upon the date of maturity, the defendant is given another 30 days to pay but to no avail.

6. That by reason of the kindness and generosity of plaintiff, defendants obligation through the
Acknowledgement was reduced from P300, 000 to P250,000. Attached herewith is the photocopy of the said
Acknowledgement as Annex B.

7. That part of said Loan Agreement is the obligation of the defendant-debtor to pay the plaintiff-
creditor the amount P27, 500 in monthly installments for twelve (12) months, in the form of cash from January 5,
2011 to January 5, 2012.

8. That after paying P27, 500 for the first month in February 2011, the defendant-debtor has
started defaulting in the payment of his due accounts.
9. That plaintiff-creditor sent separate letters (dated June 10, 2011) to the defendant-debtor
containing a demand for the payment of his outstanding payable, photocopies of which are hereto attached as
Annex C.

10. That the continued refusal of defendant to settle his account prompted the plaintiff-creditor to
lodge a complaint with the barangay officials of Barangay Baluarte, Molo, Iloilo City. A Certificate to File Action,
copy of which is hereto attached as Annex D, was subsequently issued for failure of the parties to come to an
Agreement.

11. That on December 5, 2011 a final demand letter was sent to the defendant-debtor for the
payment of his outstanding payable, which however, was left unheeded, a photocopy of which is hereto attached
as Annex E;

12. That the demand letter was duly received by defendant on June 20, 2011, as shown by a
Certification dated June 22, 2011 issued by the Iloilo City Central Post Office, copy of which is hereto attached as
Annex F;

13. That defendant-creditor has, as of this date, defaulted in the payment of an aggregate amount of
P302,500;

14. That notwithstanding plaintiff-creditors repeated oral and written demands, defendant-debtor
failed and refused and still fails and refuses to heed to the formers just and valid demands, leaving the plaintiff no
other recourse but to litigate and file this acton.

15. That by reason of defendants unjustified acts as well as bad faith and intentional refusal to pay
his overdue obligation, Plaintiff is entitled to the award of moral damages in the amount of P5,000.

16. That by reason of defendants violation and disregard of Plaintiffs rights, the award of exemplary
damages in the amount of P5,000 is likewise warrant to serve as a deterrent to the commission by the defendant
and to others similarly-minded of similar acts in the future.

PRAYER

WHEREFORE, PREMISES CONSIDERED, it is most respectfully prayed of this Honorable Court that, after
due hearing, judgment be rendered against the defendant ordering the latter to pay the plaintiff as follows:
1. The amount of Three Hundred Two Thousand Five Fundred (P302, 500) representing the unpaid
monthly installments due under the Loan Agrement dated January 5, 2011;
2. The amount of P5,000.00 as and by way of moral damages;

3. The amount of P5,000.00 as and by way of exemplary damages;

4. Cost of suit.

Other reliefs just and equitable under the premises are likewise prayed for.

Iloilo City, February 10, 2012

Atty. KAZPER VIC V. BERMEJO

Counsel for the Plaintiff

Room 201, Astro Bldg., Gen. Luna St., Iloilo City

Roll No. 76430 IBP No. 352980 dated 1-2-08

MCLE Compliance No. 11-0004352

VERIFICATION/CERTIFICATION

OF NON-FORUM SHOPPING

I, DANIEL BERNARDO, Filipino, of legal age with address at #10 Baluarte St, Molo, Iloilo City after having
been duly sworn on accordance with law depose and say:

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

2. That I caused the preparation of the foregoing Complaint and I have read the allegations therein
and certify that the same are true and correct of my own personal knowledge;

3. That I further certify that I have not commenced any other action involving the same issues
before the Supreme Court, Court of Appeals or any division thereof or any tribunal or agency; and to the best of
my knowledge no such action is pending before the Supreme Court, Court of Appeals or any division thereof or any
tribunal or agency;

4. That in the event that any action involving the same should be made known, I hereby bind myself
to report the same within five (5) days from knowledge thereof to this Honorable Court.

WITNESS WHEREOF, I hereunto set my hand this 10 day of February, at Iloilo City, Philippines.

DANIEL BERNARDO

Plaintiff

SUBSCRIBED AND SWORN TO before me this 10 day of February, at Iloilo City, affiant having exhibited to
me her CTC No. 1234567890 issued on January 5, 2012 at Iloilo City.

NOTARY PUBLIC

Doc. No. 001

Page No. 003

Book No. 004

Series of 2012

Republic of the Philippines


MUNICIPAL TRIAL COURT
Legazpi City

LIWANAG DILIMAN
Plaintiff

-versus- Civil Case No. 321654


For: Unlawful Detainer
RESURRECCION MAKABUHAY,
Respondent
x- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -x

COMPLAINT

PLAINTIFF, by counsel, and unto this Honorable Court, most respectfully allege: -THAT-

1. Plaintiff is of legal age, Filipino, with residence and postal address at Purok 2, Barangay Malamig,
Legazpi City where she may be served notices and other court processes;

2. Respondent is of legal age, Filipino, with residence and postal address at Barangay Mainit, Legazpi
City, where she may be served summons and other court processes;

3. Plaintiff is the absolute owner and lessor of that certain apartment situated at Legazpi City and now
leased and occupied by the respondent;

4. Plaintiff and Respondent had known each other for a long time having studied in the same college
and have been friends since then;

5. The respondent leases and occupies the said apartment from January 1, 2010 until December 31,
2012 as agreed upon between the plaintiff and the respondent in the lease contract executed on
January 1, 2010 under the express obligation to pay a monthly rental of P 6,000.00; (Copy of Contract
of Lease is hereto attached as Annex A)

6. The lease contract of the respondent for the occupation of the building has been terminated on
December 31, 2012 and has not been renewed or extended;

7. During the course of the respondents occupation of the said apartment, respondent has failed to pay
her rentals for the months of August, September, October, and November 2011, and April, May and
June, 2012;

8. Respondent has continued to occupy the said apartment notwithstanding the fact that her contract
of lease has been terminated on December 31, 2012 thus depriving the plaintiff from having the said
apartment leased by other persons;

9. Several demands to vacate was made by plaintiff to respondent, although orally, but respondent
refused to vacate the said apartment and return possession to the plaintiff;
10. On March 30, 2013, plaintiff sent a letter to respondent as a last and final demand for respondent to
vacate plaintiffs apartment; (Copy of Demand Letter is hereto attached as Annex B)

11. Until now Respondent still refuse to vacate and restore possession and pay his rentals for the months
of August, September, October, and November 2011, and April, May and June, 2012 during his
occupation of the apartment;

12. Thus, Respondent is unlawfully withholding possession of the subject apartment from the plaintiff
despite last and final demand, to the damage and prejudice of the plaintiff;

13. Before filing of this complaint, the dispute has been referred to the Lupong Tagamayapa of Legazpi
City but the parties failed to arrive at an amicable settlement; (Certificate to File Action is hereto
attached as Annex C)

PRAYER

WHEREFORE, premises considered, it is most respectfully prayed of this Honorable Court that after due
notice and hearing, judgment be rendered in favor of Plaintiff:

1. For the restitution of the abovementioned apartment;

2. For the payment of FORTY TWO THOUSAND (P 42,000.00) PHILIPPINE CURRENCY, representing the
arrears of rent now overdue.

3. To pay the costs for this suit.

Other reliefs just and equitable under the premises are likewise prayed for.

Legazpi City, Philippines, April 29, 2013.

BIG LAW OFFICE


Counsel for Plaintiff
Rm. 321, 3rd Floor, Very Tall Building,
Legazpi City

By:

ATTY. SERIO SO
PTR No: 0816199 (2013)
IBP No.:100682 (2013)
MCLE Compliance No.: III-0025943 (2013)
Roll No.: 246981

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