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Republic of the Philippines) Province of Oriental Negros) S.S.

Dumaguete City )x- - - - - - - - - - - - - - - - - - - - /

AFFIDAVIT OF ARREST ARRESTING OFFICERS


We, SPOII EVERY M. ROM and PO3 JON PANE, both of legal ages,single and residents
of Bindoy, Negros Oriental, Philippines, having been dulysworn do solemnly state: 

That we are members of the Philippine National Police assigned at thePNP Office in _________.


We were both on duty in said Police station on January16, 2013 from 800h – 2000h. 

That at about 0815h while we were on duty, a habal-habal driver in the person of Junjun


Blanco arrived and reported that while he was driving his motorcycle at a road in Sitio AAA,
BBB, Negros Oriental, he was flagged down by a suspicious person who was carrying a bag which he
believed contained a firearm.

We subsequently responded to such report and immediately went to the place indicated and upon
arriving thereat we inquired from a bystander about the presence of any suspicious looking person.
We were then informed that the said person has already left following the trail leading to Barangay CCC.
Thereupon, we pursued the suspect and in fact, caught up with him after walking two kilometers. Then
and there we saw the suspect slinging his firearm and also carried a back pack.
That at about ten (10) meters we ordered him to stop and at the same time informed said
person of our authority as police officers and told him to raise his hands and which he did.
We then approached him and confiscated from him the firearm and inquired form him whether he has
authority to posses the same. Said person could not give any license to possess. We then effected an arrest
and read him his constitutional rights. Upon inquiry on his identity, said person revealed his name as
PEDRO JUAN “Bj”, 31 years old, married and a resident of Barangay DDD of EEE, Negros Occidental.

After duly marking the confiscated firearm and one empty  m a g a z i n e thereof, we brought said


Pedro Juan alias “BJ” to the Police station of Negros Oriental. 

That this affidavit is executed to attest to the truth of all the foregoingand to support the filing of a


formal charge/s in court against said person.
IN WITNESS WHEREOF, we hereunto set our hands this 16th day of January 2013
at Dumaguete City, Philippines.

SPOII EVEY M. ROM SPO3 JON PANE


Affiants

SUBSCRIBED AND SWORN to before me this 16 The day of January 2013at Dumaguete
City, Philippines and further certify that I have examined the affiants and that I am satisfied that they
fully understood the contents thereof.

 
PEDRO D. LUNA 
4th Assist. Provincial
Prosecutor

Prosecutor I
REPUBLIC OF THE PHILIPPINES DEPARTMENT OF JUSTICE NATIONAL PROSECUTION SERVICE OFFICE OF THE CITY PROSECUTOR CITY OF MUNTINLUPA

THE PEOPLE OF THE PHILIPPINES


Complainant,
-vs- I.S. No. 12345 For: Bigamy (Art. 349, Revised Penal Code)
VICTOR GUEVARRA,

Respondent. X-----------------------------------------X
COMPLAINT-AFFIDAVIT
I, Yvonne Aguilluz-Guevarra, of legal age, married and a resident of 123 Malate, Manila after being sworn in accordance with
law depose and say that:

1. That the respondent Victor Guevarra and I met sometime in January 2012 while being schoolmates at San Beda
College in Alabang and became sweethearts after a short courtship;

2. As we were both too much in love, we hastily got married on November 25, 2012 in a civil wedding ceremony
solemnized by the Mayor of the City of Manila. Copy of the Certificate of Marriage dated May 25, 2013 issued by the NSO is
hereto attached as Annex ‘A”;

3. After our wedding, we lived together as husband and wife in our conjugal dwelling in Sierra Subdivision, Manila
City;

4. Several months into our marriage, respondent began to exhibit his irresponsibility and no caring attitude. He would
leave the house and would come back only after several days. Such behavior on the part of respondent resulted in our quarrels
and verbal altercations;

5. About by his rude behavior and his expression of animosity 5. Sometime in June 2013, we had a violent quarrel
brought toward my parents. He did not approve of their frequent visits in our house;

6. After our quarrel, he left our conjugal dwelling and this was the last time I ever saw him. Since then, I had not seen,
communicated nor heard anything from him or about his whereabouts. So I returned to my parents' abode at Las Piñas and stayed
there for about two months;

7. To cope with the sudden turn of events in my life, I went abroad to Washington D.C., U.S.A., on September 06,
2013 to unwind and for employment purposes as well, and came home after almost two years.

8. Sometime in August 2015, a relative who works in the City of Muntinlupa informed me that my husband,
respondent Victor Guevarra has gotten married to another woman, a certain Janine Arguello, in a religious ceremony solemnized
by Fr. Ramonito Sequito at the Jerome Emiliani Church in the City of Muntinlupa, on February 14, 2015. A copy of their
Certificate of Marriage is hereto attached as Annex “B”;

9. My marriage with respondent Victor Guevarra is still subsisting and has not been annulled or dissolved. His act of
subsistence of our marriage constitutes the crime of bigamy contracting a second marriage to Janine Arguello despite the
punishable under Article 349 of the Revised Penal Code.

I executed the foregoing Complaint-Affidavit to attest to the truth of the facts stated and for the purpose of
charging respondent, whose last known address is at 1525 Acacia Street, Ayala, Alabang Village, Muntinlupa City with the crime
of bigamy.
YVONNE AGUILLUZ-GUEVARRA
Complainant-Affiant
SUBSCRIBED AND SWORN to before me, the undersigned prosecutor, this 18th day of December, 2015 in the City
of Muntinlupa and that I am convinced that she voluntarily executed the I hereby certify that I have personally examined the
affiant foregoing affidavit and that she understood the contents thereof.

ATTY. JOHN CASTILLO Assistant City Prosecutor


Republic of the Philippines REGIONAL TRIAL COURT
National Capital Judicial Region
Muntinlupa, Branch 127
PEOPLE OF THE PHILIPPINES,
Plaintiff,
-vs.-2015-123
Criminal Case No.
For: Bigamy
VICTOR GUEVARRA,

Accused.
x---------------------------------------------x
INFORMATION
The undersigned, City Prosecutor, upon a sworn complaint originally filed by the offended spouse, YVONNE AGUILLUZ
GUEVARRA, accuses VICTOR GUEVARRA of the crime of BIGAMY, committed as follows:
That on or about February 14, 2015, in the City of Muntinlupa, Philippines, and within the jurisdiction of this court, the above-
named accused, VICTOR GUEVARRA, being then previously united in a lawful marriage with YVONNE AGUILLUZ
GUEVARRA and without such marriage having been legally dissolved or annulled, did then and there willfully, unlawfully and
feloniously contract a second marriage with JANINE ARGUELLO.
CONTRARY TO LAW.

Muntinlupa City, Philippines.January 11, 2016.


ATTY. JOHN CASTILLO

SUBSCRIBED AND SWORN to before me this 11th day of January 2016 at Muntinlupa City, Philippines.
ATTY. JOSEPH SANTOS

3rd Assistant City


Prosecutor
WITNESSES: Juan L. Tamad Pedro J. Sabaybunot
Criminal Case No..: 09-0420
For: Adultery (Ar. 333
of the Revised
Penal Code)
BELLATRIX LESTRANGE-SNAPE, and TOM MARVOLO RIDDLE Respondents.
x-------------------------------------------------------------------------------------------------x
COMPLAINT-AFFIDAVIT
I, SEVERUS SNAPE, of legal age, married and a resident of 4 Godrick Hollow, Pagadian City, after being sworn in
accordance with the law, do hereby depose that:
1. On November 5, 2001, Bellatrix Lestrange y Black, the respondent, and I got married in a church wedding ceremony
at Sto. Niño Cathedral in the City of Pagadian. Our marriage did not produce a child. A copy of our Certificate of Marriage is
attached hereto as Annex “A”.
2. On January 2, 2021, I saw respondents Bellatrix and Tom in La Pergola, eating lunch together. Having doubts of my
wife’s fidelity, I decided to investigate. I hurriedly left the establishment and stayed in my car for a few minutes before seeing
them leave together and rode a Ford Ranger Raptor belonging to Tom. I saw Bellatrix give Tom a kiss before leaving La
Pergola’s parking lot.
3. On January 15, 2021, while I was looking for my prescription glasses, I accidentally saw a purchase receipt for a
Tiffany and Co. bracelet purchased under the credit card of Tom Malvoro Riddle hidden in the drawers of our bedside table. A
copy of the receipt is hereto attached in Annex “B”.
4. On February 3, 2021, my wife went to Dipolog City for an alumni homecoming at Hogwarts University. Because
my mind had already been tainted with suspicion of her infidelity, I followed her to Dipolog City without her knowledge. She
told me she would stay at her mother’s house in Leaky Cauldron St., but she never stayed there. I saw her leave the Hogwarts
University at around 10 o’clock in the evening and rode the same Ford Ranger Raptor that Tom owned. I followed the car and it
stopped at Harry’s Castle Motel, where I saw both the respondents enter the motel premises holding hands. Their stay together at
the motel had made me believe that the two of them already have been having carnal knowledge.
5. On April 8, 2021, I told my wife that I am going to a Quidditch convention in Zamboanga City and that I will be
gone for three (3) days. The truth was that I did not go to the convention but was staying at a local hotel in the city and the
purpose of my pretense was to catch the two of them in their act of infidelity.
6. The mission to catch them both was a success. On the eve of April 9, 2021, at about 8:30 o’clock, I went home and
caught them having carnal knowledge inside our bedroom. To their surprise, Tom jumped out of bed half naked, hurriedly picked
up his clothes on the floor, and bolstered out of the room and out of our house. I confronted her and she confessed to their
infidelity.
7. In addition, it is most unlikely that Mr. Tom Marvolo Riddle had not been aware of my wife’s current marital status
seeing as this affair has been going on for more than a year and that they have been meeting discreetly in our family home where
a large portrait of me and my wife during our wedding had been displayed in the living room, visible enough to be seen when
entering the house premise.
8. Based on the foregoing facts, I have enough reason to believe that the respondents have committed the crime of
adultery punishable under Ar. 333 of the Revised Penal Code. There is adultery when a married woman, such as my wife, had
sexual congress with a man, such as Mr. Tom Mavolo Riddle, not her husband. The paramour is also liable, if he is aware of the
status as a married woman, under the same law.
9. I am executing this sworn statement for the purpose of charging my wife and her paramour for violation of Ar. 333
of the Revised Penal Code which penalizes the crime of adultery.
City of Pagadian, Philippines, April 15, 2021.

Severus Snape Complainant
AFFIDAVIT OF WITNESS

I, Mr. Jack E. Bagbaga,


of legal age, single, resident of 123 A Purok 1Pinsao Pilot Project, Baguio City, after having sworn in accordance with law, do
hereby depose and state that:
1. I was present at the crime scene during the commission of the crime committed by the suspect against
the victim and I was able to personally see the act of the suspect firing shots towards the victim.
2. On May 5, 2018 at around 9 o’clock in the evening, Nestor De la Torre y Urdas, the victim, and I met at the Botanical
Garden to have a chat regarding our plan to venture into business together.
3. At10:00 o’clock of the same day and at the same place, while we were having a chat as we were walking
towards the entrance/exit of the Botanical Garden to go home, two men walked towards us and one of those
men, the suspect, brought out a gun pointing towards the victim. The suspect immediately pulled the trigger
and fired the gun three times against the victim which caused him to fall down the ground.
4. The suspect and his companion hurriedly escaped and rode a red Honda Civic car parked outside the
entrance of Botanical Garden.
5. Shocked by the incident, I checked upon the victim who was unconscious whose abdomen was extremely
bleeding.
6. I shouted for help but to no avail.
7. About few minutes after, a police car parked and ran towards us.
I executed this affidavit to attest the truthfulness of the foregoing facts and to support the filing of Criminal Case of Murder
against Alakdan D. Magiba, the suspect.

IN WITNESS WHEREOF, I hereby affix my signature this 10th  day of May 2018 at BaguioCity, Philippines.

 _______________________________________
Affiant
SUBSCRIBED AND SWORN to before me this 1Oth day of May 2018 at Baguio City, exhibiting to me his Voter’s identity
with the number 12346789 issued on January 2017 at Baguio City.
January 2017 at Baguio City. I HEREBY CERTIFY that I have personally examined the herein affiant and I am satisfied that he
has personally executed the same.

 ___________________________________________________
Atty. John C. Kap
 Notary Public for Baguio City until Dec. 2018Commission Serial
23456781234 ABC Building, Session Road, Baguio CityRoll of
Attorney number 1234567PTR 234567, Jan 10 2018, Baguio CityIBP
number 1234567, Jan 10 2018, Baguio City.
REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
SOCSARGEN, REGION XII
BRANCH 32, GENERAL SANTOS CITY
PEOPLE OF THE PHILIPPINES
Plaintiff
SEARCH WARRANT NO.675432 FOR: ILLEGAL POSSESSION OF FIREARMS

-versus-

JEELAN CANTIL NADILLA

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

APPLICATION FOR SEARCH WARRANT

The applicant, PSS Jumar Leonde of the Malangas Police Station, after having been duly sworn,
states:

That on Derrick Cantorio, Filipino citizen, married and with postal address of Candiis, Malangas
Zamboanga Sibugay personally appeared to the office of Malangas Municipal Police Station and reported
that JEELAN CANTIL NADILLA located at Muyo, Malangas Zamboanga Sibugay, specifically the
only blue house in the area adjacent/in between a green and purple house, is engaged in illegal possession
of firearms namely: a) .38 caliber; b) .9mm glock 17 pistol and c) .45 cal pistol. (See photos and sketch as
Annex A)

That relative to the said information, at around 9:00 PM on July 24, 2020 the informer together
with the undersigned conducted investigation and surveillance operation at Muyo, Malangas Zamboanga
Sibugay, specifically the only blue house in the area adjacent/in between a green and purple house.

That on the said occasions, Jeelan Cantil Nadilla was found cleaning the said firearms. (See
photos as Annex B)

Further, investigation conducted disclose that the abovementioned firearms were once used by the
subject to threaten his wife and children, the information coming from the informer and a neighbor who
had been a witness of the incident. On the ensuing investigation, the undersigned confirmed and believes
that the subject is indeed in illegal possession of firearms.

The properties, articles, objects and items which are used and/or intended to be used in the
commission of the afore-stated offense in the possession of the subject includes the following:

a) .38 caliber:

b).9mm glock 17 pistol and

c).45 cal pistol.


The undersigned has personally verified the report thru surveillance and investigation activities
together with Derrick Cantorio (informant) and Rogelio Salvador (neighbor of subject) to ascertain the
veracity thereof and found the same to be true and correct;

PRAYER

WHEREFORE,

a. the Undersigned respectfully prays: a. that the Honorable Court include in the Search Warrant
and express authority to conduct the raid of the above-mentioned premises at any time of the day or night
including SATURDAYS and SUNDAYS considering that these are the days when the customer traffic
are at its peak and to break open the premises to be searched should the owner thereof refuse entry in the
premises or is absent therein.

b. that this Honorable Court cause the immediate issuance of a Search Warrant commanding any
Peace Officer to conduct a search on the above-described premises and to seize the above-described items
to be dealt with as the law directs;

July 25,2020, Malangas Zamboanga Sibugay

PSSG JUMAR
LEONDE Applicant

SUBSCRIBED AND SWORN TO before me this 25th day of July 2020

CLAUDINE DAWN N.
SEDIGO

Presiding Judge

CERTIFICATION AND VERIFICATION

I, THE UNDERSIGNED, under oath, depose and say that:

1. I am the applicant in the above-entitled application for Search Warrant;

2. I personally caused the preparation of the foregoing application for Search Warrant and have
read its content and the allegations therein, which are true and correct to my own personal knowledge
andbelief.

3. I further certify that (a)| have not therefore commenced or filed any application for a Search Warrant
involving the same issues in any court, tribunal or quasi-judicial agency and to the best of my knowledge,
no such other application for Search Warrant is pending therein; (b) If there is such other pending
Application for Search Warrant. I will therefore inform this Honorable Court of the present status thereof;
(c) If I should thereafter learn that the same and similar application for Search Warrant has been filed or
its pending, shall report that fact within five (5) days there from to this Honorable Court, wherein the
aforesaid application for Search Warrant has been filed.
PSSG JUMAR LEONDE
Applicant
July 25, 2020
Republic of the Philippines

Regional Trial Court

5th Judicial Region

Branch 19

Naga City

People of the Philippines, Search Warrant No.

Plaintiff.

-versus- FOR: Violation of P.D. No. 1866, as Amended

For Illegal/Unlawful Possession of Firearms


Ammunitions)

And
AQUILES LO,
Accused.
X --------------------------------X

APPLICATION FOR SEARCH WARRANT

The undersigned Police Chief Inspector RODEL CALUPANG, a chief of police officer presently
assigned at Naga City Police Station, Naga City, Bicol, after having been duly sworn to in accordance
with law, do hereby depose and state:

1. That accused Aquiles Lo, who may be found at his residence on Gold Street, St. James
Subdivision, Barangay Concepcion Grande, Naga City, Bicol has, in his possession, custody and
control, the following firearms and ammunitions being kept inside his house and premises, to wit:

a. One (1) M16 Assault Rifle;

b. One (1) .45 caliber Night Hawk pistol; and

c. Ammunitions of aforesaid firearms.

2. That verification made with the Provincial Firearms and Explosives Office, Camp
Bagombayan, Naga City, shows that the accused, Aquiles Lo, is not included in the list of bona -
fide licensed firearms holders in the province of Bicol, or anywhere else in the Philippines.

3. That the undersigned has personally verified the report and verily found it to be a fact and has
therefore reason to believe that a Search Warrant should be issued to enable the undersigned to
take possession and bring to this Honorable Court the above-mentioned firearms and
ammunitions that will be confiscated during the search;
4. That the document attached herewith (referred to and marked as "Annex A" hereof) contains
the sworn narration of facts as stated by the undersigned.

5. WHEREFORE, the undersigned prays unto this Honorable Court to issue a search warrant
commanding any peace officer to search the said house and premises described in this application and to
seize and surrender to this Honorable Court the personal property mentioned above to be dealt with as the
law directs.

Naga City, Philippines, this 26th of August, 2016.

RODEL CALUPANG

Police Chief Inspector

Naga City Police

SUBSCRIBED AND SWORN to before me this th day of August, 2016 at Naga City,
Philippines.

Doc. No. ___________:

Page No. ___________:

Book No. ___________:

Series of 2016.

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