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COMPLAINT- AFFIDAVIT
7) From that date onwards, CTLC found it hard to collect for payments from
WINSTON CHARLES MARKETING in spite of several demand letters which were sent
to and received by them;
10) Mr. Strong Samson & Ms. Delilah Samson, the latter being the signatory of
the check, so that they or she could replace them with CASH and/or settle said
accountability with the reason of the return thereof. Copy of the latest demand letter is
hereto attached and marked as Annex E hereof;
11) In spite of the successive demand letter sent by our in-house counsel, MS.
DELILAH V. SAMSON and/or WINSTON CHARLES MARKETING, failed and refused,
and continue to fail and refuse to redeem in cash the face amount of the unfunded
returned check. Filing of this case was even suspended for almost several times already
just to give them the ample time and opportunity to settle their obligations in full, but the
same served futile;
12) I am executing this affidavit to attest to the truth of the foregoing facts and for
the purpose of charging MS. DELILAH V. SAMSON as one of the Owner/Proprietor of
their business WINSTON CHARLES MARKETING for violation of the provisions of
BATAS PAMBANSA BLG. 22.
By
NOEL WEST
Affiant
ASSISTANT PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am fully
satisfied that she voluntarily executed and understood her sworn statement.
ASSISTANT PROSECUTOR
REPUBLIC OF THE PHILIPPINES}
CITY OF } Sc.
SECRETARY'S CERTIFICATE
"RESOLVED, AS IT IS
HEREBY RESOLVED, That the
Corporation through the Board of
Directors, direct and authorize, as it hereby
directs and authorizes its General
Manager, MR. NOEL WEST, to institute
and/or file a Criminal Case for Violation of BP
# 22 (Bouncing Checks Law) against
AUDLEY TRUCKING and/or MS. RUBY
ALBA-PAULINO, before the appropriate
tribunal/judicial body having jurisdiction over
the aforementioned case;
NOTARY PUBLIC