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Republic of the Philippines

Municipal Trial Court


Branch 5
Baguio City

Mr. Uzumaki Naruto, plaintiff


Accompanied by his Attorney in fact,
Atty. Poging Attorney

Civil Case No. 2


for:Unlawful Detainer

-versusMr. Uchiha Sasuke, Defendant


x-----------------------------------------x
COMPLAINT

COMES NOW, the plaintiff together with the undersigned counsel to this
most honorable court, MOST RESPECTFULLY STATES THAT;
1.

The Plaintiff is of legal age, married and a resident of Puguis, La Trinidad Benguet.
The Defendant is likewise of legal age, married and temporary residing at Petersville
Subdivision, Baguio City.
2.
The Plaintiff is the owner of the two-storey house unit located at the Petersville
Subdivision, Baguio City, and having the residential address of PV 123 as evidenced
by pertinent documents like tax declaration and deed of sale. ( EXHIBIT A )
3.
The Defendant is the lessee of the house unit that is owned by the Plaintiff as
evidenced by the written contract of lease that both parties signed. (Exhibit B)
4.
The Plaintiff and the Defendant came up with a written agreement of Lease on
June 26, 2007, which they both agreed upon and was duly signed by the two parties
as shown in their contract of lease. (Exhibit B)
5.
Item No. 16 of the contract which the defendant signed expressly provides that he
will only be occupying the property for one (1) year, after which, he will vacate the
house when that term expires. (Exhibit B)
6.
The contract also provides that the defendant should also take care of the property
and its premises with the utmost diligence.
7.
On June 28, 2008, the plaintiff, after returning from Japan, was surprised to
discover that the defendant did not vacate the property as he expected. Worse, he
installed a sari-sari store in the original building structure of the house unit.
8.
The plaintiff confronted the defendant about it but the defendant claimed that it
was a DEED OF SALE which they signed and not a CONTRACT OF LEASE and
therefore, the defendant is the new owner of the house unit.
9.
On August 20, 2008, after continuous demands, the defendant constantly refuses
to vacate the house unit and even invited relatives to stay with him.
10. The defendant willfully and maliciously violated the agreement which they mutually
agreed upon, and which the defendant signed.

PRAYER
WHEREFORE, premises considered, it is most respectfully prayed of this Honorable
Court that judgement be rendered in favor of the plaintiff and that after judgement;
a.
b.

The defendant shall vacate the house unit owned by the plaintiff.
The defendant shall be ordered to pay P 120, 000 for the Attorneys Fees.
Such other reliefs and remedies under the premises are likewise prayed for.
Baguio City, Philippines, this 28th day of September 2008.

Poging Attorney
Counsel for the Plaintiff
PTR No. 18909595:1-04-07:B.C.
IBP No, 693095:1-04-07:B.C.
Roll No. 42481:5-10-97: Manila
Rm. 4 2/F Baguio Boating Center
180 Burnham Lake, Baguio City

VERIFICATION AND CERTIFICATION


I, Mr. Uzumaki Naruto, of Legal age, married, Filipino Citizen and a resident of
Puguis, La Trinidad Benguet, after being sworn according to law, hereby depose and
state that;
1. I am a plaintiff in the above-stated case;
2. I caused the preparation of the foregoing complaint;
3. I have read the contents thereof and the facts stated therein are true and
correct of my personal knowledge and/or on the basis of copies of documents
and records in my possession;
4. I have not commenced any other action or proceeding involving the same
issues in the Supreme Court, the Court of Appeals, or any other tribunal or
agency;

5. To the best of my knowledge and belief, no such action or proceeding is


pending in the Supreme Court, the Court of Appeals, or any other tribunal or
agency;
6. If I should thereafter learn that a similar action or proceeding has been filed
or is pending before the Supreme Court, the Court of Appeals, or any other
tribunal or agency, I undertake to report that fact within five (5) days therefrom
to this Honorable Court.
Uzumaki Naruto
Complainant
In witness thereof, I, Mr. Poging Attorney, counsel of the plaintiff, have herunto set
my hand this 29th of September at Baguio City.

Poging Attorney
Counsel for the Plaintiff
PTR No. 18909595:1-04-07:B.C.
IBP No, 693095:1-04-07:B.C.
Roll No. 42481:5-10-97: Manila
Rm. 4 2/F Baguio Boating Center
180 Burnham Lake, Baguio City

Republic of the Philippines


National Capital Judicial Region
REGIONAL TRIAL COURT
Branch 147
Makati City
PEOPLE OF THE PHILIPPINES,
Plaintiff,
Crim Case No. 123456
- versus -

for
Homicide

AKU SADO,
Accused.
x - - - - - - - - - - - - - - - - - - - - -x
INFORMATION
The undersigned Assistant City Prosecutor hereby accuses Aku Sado of the crime of
Homicide committed as follows:
That on or about August 12, 2013, Makati City within the jurisdiction of this court,
the said accused, armed with a bladed weapon, with intent to kill, did then and there
willfully, unlawfully and feloniously attack, assault and stab one VIC TIMA, thereby
inflicting upon him a fatal wound which directly caused his death.
Contrary to law.
Makati, Philippines, August 22, 2013.
ATTY. BEN TONG
Private Prosecutor
WITNESSES:
MARIA MAKILING

JUAN TAMAD

CERTIFICATION
I hereby certify that a preliminary investigation was conducted in the aboveentitled case, and there is prima facie evidence that the crime of Homicide has been
committed and that the accused is probably guilty thereof.
ATTY. BEN TONG
Private Prosecutor
Bail Recommended: None

LAW 5C
5:30 - 6:30

Karen Mae D. Adlawan

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