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Republic of The Philippines Department of Justice Office of The City Prosecutor Cebu City

This document is a counter affidavit filed by Tony A. Gomez in response to a criminal complaint filed against him for alleged violation of BP 22. Gomez claims the complaint is perjurious, malicious, baseless and unfounded. He provides a chronology of relevant facts and events to support his defense and argues that based on jurisprudence regarding violation of BP 22, the complaint should be dismissed for lack of merit. Gomez requests the complaint be dismissed and any other relief deemed just.

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0% found this document useful (0 votes)
72 views3 pages

Republic of The Philippines Department of Justice Office of The City Prosecutor Cebu City

This document is a counter affidavit filed by Tony A. Gomez in response to a criminal complaint filed against him for alleged violation of BP 22. Gomez claims the complaint is perjurious, malicious, baseless and unfounded. He provides a chronology of relevant facts and events to support his defense and argues that based on jurisprudence regarding violation of BP 22, the complaint should be dismissed for lack of merit. Gomez requests the complaint be dismissed and any other relief deemed just.

Uploaded by

Lala Pastelle
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PDF, TXT or read online on Scribd
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REPUBLIC OF THE PHILIPPINES

DEPARTMENT OF JUSTICE
OFFICE OF THE CITY PROSECUTOR
CEBU CITY

Mico P. Go,
Complainant,

-versus- For: Violation of BP


BLG.22
Tony A. Gomez,
Defendant,

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

COUNTER AFFIDAVIT

REPUBLIC OF THE PHILIPPINES )

CITY OF CEBU ) S.S.

I, Tony A. Gomez, Filipino, of legal age, single


with postal address 21-5 Junquera Street, Cebu
City, after having been duly sworn to in accordance
with law, respectfully state that:

1. I am the respondent in the above captioned


case for Violation of BP 22.

Page 1 of 3
2. Before proceeding any further, the Respondent
hereby states that the instant complaint of
the Complainant xxx is a perjurious,
malicious, felonious, baseless, unfounded and
unjust FABRICATION by the Complainant
3. Njk

CHRONOLOGY OF RELEVANT FACTS AND EVENTS

SUPPORTING DOCUMENTS FOR THE RESPONDENT

LAW AND JURISPRUDENCE ON VIOLATION OF BP 22

WHEREFORE, in the interest of justice, it is


respectfully prayed that the instant criminal
complaint be DISMISSED for lack of merit.

FURTHER, the respondent respectfully prays for such


and other reliefs as may be deemed just and
equitable in the premises.

xxx City, 27 January 2016.

XXX XXX
Respondent
Xxx St.
Xxx Subd.
Brgy. xxx, xxx City

Page 2 of 3
SUBSCRIBED and sworn to before me in xxx City on 27
January 2016.

Administering Assistant City Prosecutor

Copy Furnished:

XXX XXX
Complainant
Block xxx, Lot xxx
xxx St., xxx Subd.
Brgy. xxx,
Xxx City

Page 3 of 3

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