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January, 7 2019

TO: ENGR. LEANDRO L. DE JESUS


OIC CENRO OFFICER
DENR-CENRO BAGUIO
DENR Compound, Gibraltar Road,
Baguio City

LETTER OF PROTEST

The protestant, MEL GASPAR, of legal age and a


residence of #83 Central Ave, Quezon City, Metro Manila,
respectfully comes before your office and depose that:

On December 22, 2017, a TRANSFER CERTIFICATE OF


TITLE ORIGINAL CERTIFICATE OF TITLE NO. 1546 was
issued in the name of JURIELLE DHAVE CHUA located at
#235 Barangay Bakakeng Central, Baguio City;

Before the said issuance, particularly on June 14, 2015,


the aforesaid parcel of land has been the subject of a real
estate mortgage as a security for a loan entered into by ERIC
GAMBOA(creditor) and the father of JURIELLE, IVAN
CHUA(debtor). In which case, when the debt became due and
demandable particularly on July 21, 2014, IVAN CHUA failed
to pay the debt. This caused ERIC GAMBOA to move for the
foreclosure of the real estate mortgage.

In the public auction, MEL GASPAR, was the highest


bidder. A certified copy of the final order of the court
confirming the sale had been registered in the registry of deeds
of Baguio City. The certificate of title in the name of IVAN
CHUA, had already been cancelled, and a new certificate of
title in the name of MEL GASPAR was issued on March 25,
2016. The Certificate of Title has been attached and marked
as ANNEX A;

However, after the issuance of the certificate of title in the


name of MEL GASPAR, JURIELLE DHAVE CHUA and his
family refused to honor the judgment of the court and refused
to leave the premises; claiming that MEL GASPAR’s survey
plan was only issued on November 20, 2017.
As such, the protestant prays humbly before your office
that his rights be recognized and respected and that necessary
actions be made for the cancellation and transfer of the title to
the protestant’s name. Hoping for your immediate action and
attention.

Respectfully yours,

MEL GASPAR
PROTESTANT
VERIFICATION AND CERTIFICATION AGAINST NON-
FORUM SHOPPING

I, MEL GASPAR, of legal age and a residence of #83 Central


Ave, Quezon City, Metro Manila, after having been duly
sworn in accordance with law, depose and state that:

1. In am the protestant in the above-entitled letter of protest


and have prepared the aforesaid protest;

2. I have read and understood its contents which are true


and correct of my own personal knowledge and based on
authentic records;

3. I have not commenced any action or proceeding involving


the same issue in any tribunal or agency. To the best of our
knowledge, no such action or proceeding is pending in any
court, tribunal or agency. If we should learn that a similar
action or proceeding has been filed or is pending before these
courts, tribunals or agency, I undertake to report that fact to
the Agency within five (5) days from such notice.

In witness whereof, I hereunto affixed my signature this 7TH


of January, 2019 in Baguio City, Philippines.

MEL GASPAR
Affiant/ Protestant

SUBSCRIBED AND SWORN to before me this 7TH day of


January in Baguio City, affiant, MEL GASPAR, exhibiting to
me her Community Tax Certificate No. 123456969 issued on
June 1, 2018 in Quezon City.
Atty. Eros Ancheta
Notary Public for Baguio City
Until January 1, 2025
Roll No. 006
PTR No. 246810, 06-14-20, Baguio City
IBP No. 3691215, 12-01-22, Baguio City
MCLE Compliance No. 481216, 6-01-20

Doc. No._51015__
Page No._612__
Book No._XX__
Series of 2017

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