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COMPLAINT FOR EJECTMENT

COMES NOW the plaintiff by the undersigned attorney, and unto this Honorable
Court, respectfully allege:

1. That the plaintiff is of age and resident of _____________________ ; while


the defendant is also of age, with residence and post-office address at
________________ ;

2. That the plaintiff is the absolute owner and lessor of that certain building
located at ____________ ,and now leased and occupied by the defendant;

3. That the defendant leases and occupies the said building under the express
obligation of paying a rent of P ______________ a month payable in advance
within the first five(5) days of each month;

4. That the defendant has not paid the rents for the said building for the month
of _____________ and ______________ of the current year;

5. That the furthermore, the defendant has failed to comply with the conditions
of his lease namely_____________ ;

6. That the plaintiff has several times demanded of the defendant to vacate the
above premises and to pay his back rents, now amounting to
P_________________ , the last demand for payment having been made on him
personally and in writing on ___________________ or more than five days before
the filing of this complaint.

WHEREFORE, it is respectfully prayed that, after due hearing, judgment be


rendered in favor of the plaintiff:

(a) For the restitution of the above - mentioned premises;

(b) For the payment of P __________________, representing the arrears of


rent now overdue, with legal interest from the filing of this complaint, and costs of
this suit.

_________________ , this_______________ day of _____________, 19


_____________.

_____________________________________

( Attorney for the Plaintiff)


____________________________________

( Address)

VERIFICATION

JURAT

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