Republic of the Philippines
Fourth Judicial Region
MUNICIPAL TRIAL COURT
Branch ____
Nuevo York City
THE PEOPLE OF THE PHILIPPINES
Plaintiff. CRIMINAL CASE NO. ______
-versus- for
DONALD DUCK For VIOLATION OF B.P. BLG. 22
Accused.
x------------------------------------x
INFORMATION
The undersigned Assistant City Prosecutor hereby accuses Donald Duck for violation of Batas
Pambansa Blg. 22, committed as follows;
That on or about March 8, 2021 at Nuevo York, Philippines and within the jurisdiction of this
Honorable Court, the above-named accused, well-knowing that she does not have sufficient funds in or
credit with BANK Branch, Quezon City, did then and there knowingly, willfully, and feloniously draw,
make and issue to Micky Mouse BP Check No 0007717 dated March January 12, 2021 in the amount of
TWO HUNDRED THOUSAND PESOS (Php 200,000.00), Philippine Currency, to apply on account or for
value, but when said check was presented for full payment with the drawee bank, within the period of
ninety (90) days from date of the check, the same was dishonored by the drawee bank on the ground of
“ACCOUNT CLOSED” and despite notice of dishonor and demands made upon her to make good her
check by making proper arrangement with the drawee bank or pay her obligation in Full directly to
Mickey Mouse ,accused failed and refused to do so, which acts constitute a clear violation of the
aforesaid law, to the damage and prejudice of transactions in commercial documents in general and of
Micky Mouse, in particular, in the aforementioned amount.
CONTRARY TO LAW.
Nuevo York, 12 March 2021.
BARNIE F. SAHDHSA
Assistant City Prosecutor
MCLE Compliance No. V-00000/ March 2, 2009
Rolls of Attorneys No. 97387842
This is to certify that a preliminary investigation of this case was conducted and as shown by the
record, an authorized officer has personally examined the complainant and his/her witnesses and from
the evidence submitted, the undesigned believes that the crime committed and there is a reasonable
ground to believe that the accused herein is probably guilty thereof.
It is further certified that a notice of complaint has been sent to the accused at his known
address, together with the evidence against him and he was given opportunity to submit controverting
evidence.
SUBSCRIBED AND SWORN to before me this 14th day of September 2020 at Batangas City.
Republic of the Philippines
Fourth Judicial Region
REGIONAL TRIAL COURT
Branch _________
Bulwagan ng Katarungan
Nueva York City
THE PEOPLE OF THE PHILIPPINES
Plaintiff. CRIMINAL CASE NO. __________
-versus- for
JACK D. RIPPER MURDER
Accused.
x------------x
INFORMATION
The undersigned Assistant Prosecutor hereby accuses JACK D RIPPER of the crime of Murder,
defined and penalized under the provisions of Article 248 of the Revised Penal Code, committed as
follows:
That on or about June 12, 2020 at around 2:00 in the afternoon at Barangay Liliput, Nueva York
City, Philippines and within the jurisdiction of this Honorable Court, the above-named accused, while
armed with firearm of unknown caliber, a deadly weapon with intent to kill, without justifiable cause,
and with qualifying circumstance if treachery did then and there willfully, unlawfully, and feloniously
attack, assault and shoot one JIM CROW with said firearm while said JIM CROW was unarmed and
completely defenseless, thereby causing gunshot wounds on his chest which directly caused his death.
That the special aggravating circumstance of the used of unlicensed firearm is attendant in the
commission of the offense.
CONTRARY TO LAW.
Nuvo York, August 12, 2020.
BRENDA STARR
Assistant City Prosecutor
MCLE Compliance No. 8238409382/May 1, 2021
Roll of Attorneys No. 893278473
CERTIFICATION
This is to certify that a preliminary investigation of this case was conducted and as shown by the
record, an authorized officer has personally examined the complainant and his/her witnesses and from
the evidence submitted, the undersigned believes that the crime charged was committed and there is a
reasonable ground to believe that accused is probably guilty therof.
It is further certified that a notice of complaint was sent to the accused at his known address, together
with the evidence against him and he was given the opportunity to submit controverting evidence.
BRENDA STARR
Assistant City Prosecutor
MCLE Compliance No 8327984793/ May 8, 2020
Roll of Attorneys No 2738974
CERTIFICATIONAS TO CONDUCT OF INQUEST
I hereby certify that the accused was lawfully arrested without a warrant and that, upon being informed
of his rights, refused to waive the provisions of Article 125 of Revised Penal Code and for this reason, an
inquest was conducted; that based on the complaint and the evidence presented before me without
countervailing evidence submitted by the accused, despite opportunity to do so, there is reasonable
ground to believe that he has committed the crime of Murder and should, this be held for said crime ,
that this information was with prior authority of the Provincial Prosecutor
Republic of the Philippines
Fourth Judicial Region
MUNICIPAL TRIAL COURT IN CITIES
Branch _____
Bulwagan ng Katarungan
Nuevo York City
THE PEOPLE OF THE PHILIPPINES
Plaintiff, CRIMINAL CASE NO. _________
-versus- for
JIM WRONG THEFT
Accused.
x-----------------------x
INFORMATION
The undersigned Associate City Prosecutor hereby accuses JIM WORNG for the crime of THEFT,
defined and penalized under the provisions of Article 308 of the Revised Penal Code, committed as
follows:
That on or about June 11, 2021 at 1:00 in the afternoon at Barangay Gemelina, Nuevo York City,
Philippines and within the jurisdiction of this Honorable Court, the above-named accused, with intent to
gain and without knowledge and consent of the owner thereof, did then and there willfully, unlawfully
and feloniously take, steal and carry away cellphone amounting to SIXTY THOUSAND PESOS
(Php20,000.00), Philippine Currency, belonging to Dona Marita, to the damage and prejudice of the said
owner in the aforementioned amount, Philippine Currency.
CONTRARY TO LAW.
Nuevo York City, August 12, 2022.
MARK S TIOMO
Assistant City Prosecutor
MCLE Compliance No. 3627432/ May 6, 2020
CERTIFICATION
This is to certify that the preliminary investigation of this case was conducted and as shown by the
record, an authorized officer has personally examined the complainant and his/her witnesses and from
evidence submitted, the undersigned believes that the crime charged was committed and there is
reasonable ground to believe that the accused herein is probably guilty thereof.
It is further certified that a notice of complaint was sent to the accused at his known address, together
with the evidence against him and he was given opportunity to submit controverting evidence.
JIOADOHASH SHKDHKSA
Assistant City Prosecutor
MCLE Compliance No. 23467326/ May 8, 2020
Roll of Attorneys No 3267483
WITNESSES:
1. JKDJFKLJDSF – Nuevo York
2. SDFHKHSDK – Nuevo York
Address of Accused: Nuevo York
Recommended Bail: Php 10,000.00
APPROVED;
ASJDLKASJLKDJSA SLAKDLASLDJAS
City Prosecutor
MCLE Compliance No