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TEMPLATE FOR DEEDS AND

CONTRACTS
TITLE

e.g. DEED OF SALE,


CONTRACT OF LEASE,
DEED OF REAL
ESTATE MORTGAGE

ANNOUNCEMENT

KNOW ALL MEN BY


THESE PRESENTS

PARTIES

I, _______, of legal age,


Filipino, and a resident
of .., hereinafter
known as the SELLER ,
LESSOR, MORTGAGOR

ACT

For and in
consideration of the sum
of..SELLLER hereby
SELLS / For and in
consideration of the loan
obligation,MORGAGOR
hereby mortgages

CONSIDERATION/ SUBJECT
MATTER

A parcel of land, known as


Lot A or a residential
house situated at

ADDITIONAL STIPULATIONS

Subject to the following terms


and conditions:
a)Upon execution, the amount
ofshall be paid
b)The balance shall be paid
in..monthly installments
c)Registration fees shall be
shouldered by the buyer etc.

SIGNATURE
AKNOWLEDGEMENT

SELLER

BUYER

Note: Acknowledgement is to
contracts/deeds
Jurats is to affidavits and sworn
statements

TEMPLATE FOR SWORN STATEMENTS AND


AFFIDAVITS
PLACE OF EXECUTION

Republic of the Philippines)


Province of Negros Oriental)
S.s.
Municipality of
Sibulan
)

TITLE

AFFIDAVIT OF LOSS, AFFIDAVIT


OF MERIT, AFFIDAVIT OF
SERVICE, AFFIDAVIT-COMPLAINT
IN CRIMINAL CASES

NAME OF PARTY EXECUTING THE


SWORN STATEMENT

I, , of legal age, Filipino,


single, and a resident of
..hereby depose and state:

NARRATIONS

1. I am the complainant in the


above-entitled case
2. Sometime .., I was in..

CLOSING STATEMENT

IN WITNESS WHEREOF, I hereby


affix my signature this ..day
of..

JUDICIAL FORMS
CAPTION

NAME OF PARTIES IN THE ACTION


and CASE NUMBER AND TITLE

REPUBLIC OF THE
PHILIPPINES
7TH JUDICIAL REGION
REGIONAL TRIAL COURT
Branch___, Cebu
Juan de la Cruz
versus

CIVIL CASE

NO:
For:
Quieting of Title
Pedro de la Cruz

NAME OF PLEADING OR MOTION

COMPLAINT/ ANSWER/MOTION TO
DISMISS

INTRODUCTION TO PLEADING
ETC.

Plaintiff, by counsel, to this


Honorable Court respectfully
states:

BODY OF PLEADING

1. On.., plaintiff received a


copy of the Order directing.

RELIEF (REMEDIES PRAYED FOR IN WHEREFORE, plaintiff respectfully


PLEADING)
prays that after due notice and
hearing, judgment be rendered:
NAME OF COUNSEL SIGNING THE
PLEADING
ATTACHMENTS (if necessary)

CERTIFICATION OF NON-FORUM
SHOPPING (in all initiatory
pleadings and in permissive
counterclaims)
VERIFICATION (e.g. Pleadings filed
in cases covered by the Rules on
Summary Procedure)

ESSENTIAL PARTS OF AN
INFORMATION
CAPTION

REPUBLIC OF THE
PHILIPPINES
FIRST JUDICIAL REGION
REGIONAL TRIAL COURT
Bangued, Abra (Branch 1)

TITLE AND CRIMINAL CASE


NUMBER
AND DESIGNATION OF OFFENSE

People of the Philippines


Plaintiff
-versus-

CRIM. CASE

No.
For:
Juan Cruz
HEADING

INFORMATION

BODY ( alleging acts or


omissions constituting a
crime)

The undersigned, provincial


prosecutor, upon sworn
complaint originally filed by
the offended party, accuses
______________ of the crime of
Abduction with Consent,
committed as follows:
That on or about ______________
in the Municipality of
____________, province of
_____________, Philippines,
within the jurisdiction of this
court, the said accused
willfully, unlawfully, and
feloniously removed, took and
carried away _________, a virgin
over twelve and under
eighteen years of age, from
her dwelling with her consent
and with lewd designs.

Contrary to law:
____, ___________,2011

CERTIFICATION OF
PRELIMINARY INVESTIGATIONS

A preliminary investigation has


previously been conducted in
this case under my direction,
having examined the
witnesses in accordance with
the provisions of R.A. No.
5180, as amended by P.D. No.
77, Dec.6, 1972 and P.D. 911,
March 23, 1976 and as
implemented by Dept. of
Justice Circular No. 74, series
of 1967 and Circular No. 23,
series of 1975.

JURAT

SUBSCRIBED AND SWORN to


before me this _____ day of
____________, 2000 in the
city/municipality of ___________,
Philippines, by _________________,
assistant fiscal of _______________.

_______________________

TEMPLATE FOR MOTIONS


CAPTION/TITLE

REPUBLIC OF THE
PHILIPPINES
7TH JUDICIAL REGION
REGIONAL TRIAL COURT
Branch___, Cebu
Juan de la Cruz
versus

CIVIL CASE

NO:
For:
Quieting of Title
Pedro de la Cruz

TITLE OF MOTION

MOTION TO DISMISS/ MOTION


FOR RECONSIDERATION

BODY OF MOTION

Plaintiff , through the


undersigned counsel and to
this Honorable Court
respectfully alleges:

That in the answer of


defendant filed on July 1, 1988
be admitted having signed the
promissory note and merely
interposed defense that he
was asking for time within
which to pay the obligation.
That said answer does not
tender any issue and in fact it
can be read therefrom that
defendant admitted his
obligation.

RELIEF

WHEREFORE, it is respectfully
prayed that this Honorable Court
render judgement on the

SIGNATURE OF COUNSEL
NOTICE OF HEARING

NOTICE OF HEARING

The Clerk of Court


RTC-Branch 7
Cebu City

Atty. Alan Trinidadr/Atty. Mark


Philipp H. Opada
Counsel for the Plaintiff
Ground Flr., Eastern Shipping
Lines Bldg.
MJ Cuenco Avenue cor.
Magallanes St., Cebu City

Please take notice that


undersigned counsel will submit
the foregoing motion for the
consideration of the Honorable
Court on 7 December 2007 at
9:00 oclock in the morning
without further arguments.

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