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LEGAL FORMS

JUSTICE HECTOR HOFILENA

A SHORT REVIEWIN

LEGAL FORMS

DO YOU KNOW THE MOST COMMONLY ASKED

FORMSIN THE LAST THIRTY YEARS?

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage with affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)Information for simple seduction, bigamy,

murder, rebellion, robbery, and libel (1 each)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage with affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage with affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage with affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage with affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage with affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage--affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage--affidavit of good faith (2)

Motion for extension to file answer (2)Certification (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage--affidavit of good faith (2)

Motion for extension to file answer (2)Certification, sworn (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)

Motion to quash (2)Holographic will (2)Petition for writ of habeas corpus (2)Contract of lease (2)Chattel mortgage--affidavit of good faith (2)

Motion for extension to file answer (2)Certification, sworn (2)Motion to dismiss (2)

Motions to lift order of default, for postponement, for consolidation of cases, for judgment on the pleadings (1 each)*

Information for simple seduction, bigamy, murder, rebellion, robbery, and libel (1 each)*

Motion to quash (2)*Holographic will (2)Petition for writ of habeas corpus (2)*Contract of lease (2)Chattel mortgage--affidavit of good faith (2)

Motion for extension to file answer (2)*Certification, sworn (2)Motion to dismiss (2)**JUDICIAL FORMS

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)Information for theft (3)Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)Answer (4)Information for homicide (4)Complaint for collection of sum of money (4)Deed of Sale (6)Complaint for unlawful detainer (9)

Information for estafa (3)*Information for theft (3)*Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)*Answer (4)*Information for homicide (4)*Complaint for collection of sum of money (4)*Deed of Sale (6)Complaint for unlawful detainer (9)*

JUDICIAL FORMS

Information for estafa (3)*Information for theft (3)*Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)*Answer (4)*Information for homicide (4)*Complaint for collection of sum of money (4)*Deed of Sale (6)Complaint for unlawful detainer (9)*

JUDICIAL FORMS – 80%

Information for estafa (3)*Information for theft (3)*Special power of attorney (3)Negotiable promissory note (3)Information for rape (3)*Answer (4)*Information for homicide (4)*Complaint for collection of sum of money (4)*Deed of Sale (6)Complaint for unlawful detainer (9)*

JUDICIAL FORMS – 80%BUSINESS FORMS – 20%

ALL LEGAL BUSINESS FORMS FALL INTO THREE PATTERNS OR MOLDS:

1. SWORN STATEMENT2. DEED 3. CONTRACT

ALL LEGAL BUSINESS FORMS FALL INTO THREE PATTERNS OR MOLDS:

1. SWORN STATEMENT2. DEED 3. CONTRACT

ALL LEGAL BUSINESS FORMS FALL INTO THREE PATTERNS OR MOLDS:

1. SWORN STATEMENT2. DEED 3. CONTRACT

ALL LEGAL BUSINESS FORMS FALL INTO THREE PATTERNS OR MOLDS:

1. SWORN STATEMENT2. DEED 3. CONTRACT

WHAT IS A SWORN STATEMENT?

IT IS A STATEMENT OF FACTS MADE UNDER OATH.

WHAT IS A SWORN STATEMENT?

IT IS A STATEMENT OF FACTS MADE UNDER OATH.

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

[VENUE]REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………….) SS.

[TITLE] AFFIDAVIT

[PERSON] I, HENRY ROBLES, of legal age, married, residing at 5 V.G. Cruz, Sampaloc, Manila, [OATH] state under oath that:

[STATEMENT] 1. I am a licensed physician.2. I examined accused Raul Ramos at 5 p.m. today and found him suffering from intestinal flue for which I prescribed medicine and bed rest for three days.

[SIGNATURE] HENRY ROBLES

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………….) SS.

[TITLE] AFFIDAVIT

[PERSON] I, HENRY ROBLES, of legal age, married, residing at 5 V.G. Cruz, Sampaloc, Manila, [OATH] state under oath that:

[STATEMENT] 1. I am a licensed physician.2. I examined accused Raul Ramos at 5 p.m. today and found him suffering from intestinal flue for which I prescribed medicine and bed rest for three days.

[SIGNATURE] HENRY ROBLES Affiant

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………….) SS.

AFFIDAVIT

[PERSON] I, HENRY ROBLES, of legal age, married, residing at 5 V.G. Cruz, Sampaloc, Manila, [OATH] state under oath that:

[STATEMENT] 1. I am a licensed physician.2. I examined accused Raul Ramos at 5 p.m. today and found him suffering from intestinal flue for which I prescribed medicine and bed rest for three days.

[SIGNATURE] HENRY ROBLES Affiant

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

REPUBLIC OF THE PHILIPPINES)OF MANILA ………………….) SS.

AFFIDAVIT

I, HENRY ROBLES, of legal age, married, residing at 5 V.G. Cruz, Sampaloc, Manila, [OATH] state under oath that:

[STATEMENT] 1. I am a licensed physician.2. I examined accused Raul Ramos at 5 p.m. today and found him suffering from intestinal flue for which I prescribed medicine and bed rest for three days.

[SIGNATURE] HENRY ROBLES Affiant

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

REPUBLIC OF THE PHILIPPINES)OF MANILA ………………….) SS.

AFFIDAVIT

I, HENRY ROBLES, of legal age, married, residing at 5 V.G. Cruz, Sampaloc, Manila, state under oath that:

[STATEMENT] 1. I am a licensed physician.

2. I examined accused Raul Ramos at 5 p.m. today and found him suffering from intestinal flu for which I prescribed medicine and bed rest for three days.

[SIGNATURE] HENRY ROBLES Affiant

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………….) SS.

AFFIDAVIT

I, HENRY ROBLES, of legal age, married, residing at 5 V.G. Cruz, Sampaloc, Manila, state under oath that:

1. I am a licensed physician.2. I examined accused Raul Ramos at 5

p.m. today and found him suffering from intestinal flu for which I prescribed medicine and bed rest for three days.

[SIGNATURE] HENRY ROBLES Affiant

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

WHAT ARE THE PARTS OF A TYPICAL SWORN STATEMENT?

1. The VENUE2. The TITLE3. The PERSON4. The OATH5. The STATEMENT6. The SIGNATURE 7. The JURAT

[JURAT] SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009 PTR# 56789 1-12-09 Manila

IBP # 24680 1-12-09 MCLE Compliance III-3456

1234 Quezon Avenue, Q.C.Doc. No. 23Page No. 3Book No. ISeries of 2009

TRY TO REMEMBER WHAT A JURAT CONTAINS. IT IS A PART OF MOST LEGAL FORMS.

TRY TO REMEMBER WHAT A JURAT CONTAINS. IT IS A PART OF MOST LEGAL FORMS.

TRY TO REMEMBER WHAT A JURAT CONTAINS. IT IS A PART OF MOST LEGAL FORMS.

CAN YOU WRITE ONE AFTER THIS?

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2007 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 dated May 24, 2007.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2007PTR# 56789 1-12-05 Manila

IBP # 24680 1-12-07 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 dated May 24, 2007.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2007PTR# 56789 1-12-05 Manila

IBP # 24680 1-12-07 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 dated May 24, 2007.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2007PTR# 56789 1-12-05 Manila

IBP # 24680 1-12-07 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2007PTR# 56789 1-12-05 Manila

IBP # 24680 1-12-07 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2007PTR# 56789 1-12-05 Manila

IBP # 24680 1-12-07 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2007PTR# 56789 1-12-05 Manila

IBP # 24680 1-12-07 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009PTR# 56789 1-12-05 Manila

IBP # 24680 1-12-07 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009PTR# 56789 1-12-09 Manila

IBP # 24680 1-12-06 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009PTR# 56789 1-12-09 Manila

IBP # 24680 1-12-09 1234 Quezon Avenue Quezon City

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009PTR# 56789 1-12-09 Manila

IBP # 24680 1-12-09 MCLE Compliance III-3456

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009PTR# 56789 1-12-06 Manila

IBP # 24680 1-12-09 MCLE Compliance III-3456

1234 Quezon Avenue, Q.C.

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009PTR# 56789 1-12-06 Manila

IBP # 24680 1-12-09 MCLE Compliance III-3456

1234 Quezon Avenue, Q.C.

Doc. No. 23Page No. 3Book No. ISeries of 2007

Doc. No. 23Page No. 3Book No. ISeries of 2007

Doc. No. 23Page No. 3Book No. ISeries of 2007

Doc. No. 23Page No. 3Book No. ISeries of 2009

Doc. No. 23Page No. 3Book No. ISeries of 2009

CAN YOU TAKE A MOMENT AND WRITEA JURAT ON A PIECE OF PAPER FOR

PRACTICE?IF YOU DON’T DO IT NOW WHEN WILL YOU HAVE A CHANCE?

CAN YOU TAKE A MOMENT AND WRITEA JURAT ON A PIECE OF PAPER FOR

PRACTICE?IF YOU DON’T DO IT NOW WHEN WILL YOU HAVE A CHANCE?

CAN YOU TAKE A MOMENT AND WRITEA JURAT ON A PIECE OF PAPER FOR

PRACTICE?IF YOU DON’T DO IT NOW WHEN WILL YOU HAVE A CHANCE?

SUBSCRIBED AND SWORN to before me this 3rd day of July, 2009 in the City of Manila, Philippines. I identified affiant through his LTO Drivers License No. N10-68-054678 that expires on May 24, 2010.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678

Until December 31, 2009PTR# 56789 1-12-06 Manila

IBP # 24680 1-12-09 MCLE Compliance III-3456

1234 Quezon Avenue, Q.C.

Doc. No. 23Page No. 3Book No. ISeries of 2009

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

HOW CAN YOU MAKE SURE THAT THE FACTS IN YOUR SWORN STATEMENT ARE ADEQUATE?

YOU CAN BE SURE THEY ARE ADEQUATE BY ANSWERING THE QUESTIONS: WHO, WHAT, WHEN, AND WHERE. SOMETIMES YOU NEED TO SAY WHY AND HOW.

EXAMPLE: PREPARE AN AFFIDAVIT OF LOSS OF CAR REGISTRATION

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, and residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, and residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, and residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2006 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2007.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2006 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2006 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2006 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2006 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2005.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2007---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2007.

JOSE ONG Affiant

(JURAT)

I LOST MY CAR REGISTRATION IN A FIRE AT MY HOUSE ON MAY 5, 2005---------------------------------------------------

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ……………………..) SS.

AFFIDAVIT OF LOSS OF CAR REGISTRTION

I, Jose Ong, of legal age, married, residing at 5 V. G. Cruz, Sampaloc, Manila, state under oath that I lost the Registration of my car, a 2004 Toyota Corolla, with motor number A549086, body number B68940, and plate number XBC 123 in a fire at my house at 5 V.G. Cruz, Sampaloc, Manila, on May 5, 2007.

JOSE ONG Affiant

(JURAT)

CERTIFICATION OF BOARD RESOLUTION BY BOARD SECRETARY

I, MYRNA CASTRO, Secretary of Q-Prex Corp., certify under oath a) that the following is a true copy of a resolution unanimously approved by the board of directors of the corporation during its regular meeting at its offices in Makati City on June 30, 2005 and b) that such resolution remains in full force and effect and has not been revoked:

“RESOLVED that Amado Santos, President of the corporation, and Aida Ruiz, Treasurer, be authorized to open a bank account with Metro Bank and to sign on behalf of the corporation all checks and documents relative to such account.”

Myrna Castro Corporate Secretary

(Jurat)

CERTIFICATION OF BOARD RESOLUTION BY BOARD SECRETARY

I, MYRNA CASTRO, Secretary of Q-Prex Corp., certify under oath a) that the following is a true copy of a resolution unanimously approved by the board of directors of the corporation during its regular meeting at its offices in Makati City on June 30, 2005 and b) that such resolution remains in full force and effect and has not been revoked:

“RESOLVED that Amado Santos, President of the corporation, and Aida Ruiz, Treasurer, be authorized to open a bank account with Metro Bank and to sign on behalf of the corporation all checks and documents relative to such account.”

Myrna Castro Corporate Secretary

(Jurat)

CERTIFICATION OF BOARD RESOLUTION BY BOARD SECRETARY

I, MYRNA CASTRO, Secretary of Q-Prex Corp., certify under oath a) that the following is a true copy of a resolution unanimously approved by the board of directors of the corporation during its regular meeting at its offices in Makati City on June 30, 2007 [Do you see how this answers the questions who, what, where, and when?]and b) that such resolution remains in full force and effect and has not been revoked:

Bank and to sign on behalf of the corporation all checks and documents relative to such account.”

Myrna Castro Corporate Secretary

(Jurat)

CERTIFICATION OF BOARD RESOLUTION BY BOARD SECRETARY

I, MYRNA CASTRO, Secretary of Q-Prex Corp., certify under oath a) that the following is a true copy of a resolution unanimously approved by the board of directors of the corporation during its regular meeting at its offices in Makati City on June 30, 2007 [Do you see how this answers the questions who, what, where, and when?]and b) that such resolution remains in full force and effect and has not been revoked:

Bank and to sign on behalf of the corporation all checks and documents relative to such account.”

Myrna Castro Corporate Secretary

(Jurat)

CERTIFICATION OF BOARD RESOLUTION BY BOARD SECRETARY

I, MYRNA CASTRO, Secretary of Q-Prex Corp., certify under oath a) that the following is a true copy of a resolution unanimously approved by the board of directors of the corporation during its regular meeting at its offices in Makati City on June 30, 2007 and b) that such resolution remains in full force and effect and has not been revoked:

“RESOLVED that Amado Santos, President of the corporation, and Aida Ruiz, Treasurer, be authorized to open a bank account with Metro Bank and to sign on behalf of the corporation all checks and documents relative to such account.”

Myrna Castro Corporate Secretary

(Jurat)

CERTIFICATION OF BOARD RESOLUTION BY BOARD SECRETARY

I, MYRNA CASTRO, Secretary of Q-Prex Corp., certify under oath a) that the following is a true copy of a resolution unanimously approved by the board of directors of the corporation during its regular meeting at its offices in Makati City on June 30, 2007 and b) that such resolution remains in full force and effect and has not been revoked:

“RESOLVED that Amado Santos, President of the corporation, and Aida Ruiz, Treasurer, be authorized to open a bank account with Metro Bank and to sign on behalf of the corporation all checks and documents relative to such account.”

Myrna Castro Corporate Secretary

(Jurat)

CERTIFICATION OF BOARD RESOLUTION BY BOARD SECRETARY

I, MYRNA CASTRO, Secretary of Q-Prex Corp., certify under oath a) that the following is a true copy of a resolution unanimously approved by the board of directors of the corporation during its regular meeting at its offices in Makati City on June 30, 2007 and b) that such resolution remains in full force and effect and has not been revoked:

“RESOLVED that Amado Santos, President of the corporation, and Aida Ruiz, Treasurer, be authorized to open a bank account with Metro Bank and to sign on behalf of the corporation all checks and documents relative to such account.”

Myrna Castro Corporate Secretary (Jurat)

WHAT IS A DEED?

IT IS A WRITTEN ACT OF CONVEYING A THING OR A RIGHT TO ANOTHER.

WHAT IS A DEED?

IT IS A WRITTEN ACT OF CONVEYING A THING OR A RIGHT TO ANOTHER.

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

[A] ACKNOWLEDGMENT

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 to be the same person who executed the foregoing instrument, and he acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

THE PARTS OF A TYPICAL DEED ARE AS FOLLOWS:

TITLEANNOUNCEMENT PARTY ONE

CONSIDERATIONACT or CONVEYANCEPARTY TWO

SIGNATUREACKNOWLEDGEMENT

TAP CAP SA

WHAT IS THE IDEA BEHIND HAVING TO ACKNOWLEDGE CONVEYANCES OF PROPERTIES TO OTHERS BEFORE A NOTARY PUBLIC?

"Abraham weighed out to him the silver that Ephron had stipulated in the hearings of the Hittites, four hundred shekels of silver at the current market value."

"Abraham weighed out to him the silver that Ephron had stipulated in the hearings of the Hittites, four hundred shekels of silver at the current market value.“ (Genesis 24:16)

"Abraham weighed out to him the silver that Ephron had stipulated in the hearings of the Hittites, four hundred shekels of silver at the current market value.“ (Genesis 24:16)

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed. [Who, when, where, what?]

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

TAKE THIS MOMENT TO WRITE ON A PIECE OF PAPER THE

ACKNOWLEDGMENT THAT YOU SAW.

TAKE THIS MOMENT TO WRITE ON A PIECE OF PAPER THE

ACKNOWLEDGMENT THAT YOU SAW.

IF YOU DON’T DO IT NOW,WHEN DO YOU THINK

WILL YOU HAVE ANOTHER CHANCE?

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

BEN R. MADRID Notary Public

Attorney’s Roll 45678 Appointment No. 678 Until December 31,

2007 PTR# 56789 1-

12-07 ManilaIBP # 24680 1-12-07MCLE Compliance II-

34561234 Quezon Avenue,

Q.C.Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

This relates to the sale of two parcels of land and consists of four pages including the acknowledgment, with every page signed on the left margins by the parties and their witnesses.

BEN R. MADRID Notary Public Appointment No. 678 Until December 31, 2007 PTR# 56789 1-12-07 Manila

IBP # 24680 1-12-07MCLE Compliance II-34561234 Quezon Avenue, Q.C.

Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

This relates to the sale of two parcels of land and consists of four pages including the acknowledgment, with every page signed on the left margins by the parties and their witnesses.

BEN R. MADRID Notary Public Appointment No. 678 Until December 31, 2007 PTR# 56789 1-12-07 Manila

IBP # 24680 1-12-07MCLE Compliance II-34561234 Quezon Avenue, Q.C.

Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

ACKNOWLEDGMENTREPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2007 in the City of Manila, Philippines, personally appeared Angel Cruz, whom I have identified through his LTO Driver's License No. S40-66-047674 issued on July 8, 2007 and who executed the foregoing instrument and acknowledged to me that it is his free act and deed.

This relates to the sale of two parcels of land and consists of four pages including the acknowledgment, with every page signed on the left margins by the parties and their witnesses.

BEN R. MADRID Notary Public Appointment No. 678 Until December 31, 2007 PTR# 56789 1-12-07 Manila

IBP # 24680 1-12-07MCLE Compliance II-34561234 Quezon Avenue, Q.C.

Doc. No. 12;Page No. 8; Book No.II;Series of 2007.

CAN YOU CONVERT THE DEED OF SALE OF MOTOR VEHICLE YOU SAW EARLIER INTO A DEED OF ABSOLUTE SALE OF LAND, USING THE SAME TAP CAP SA MOLD?

YES!

CAN YOU CONVERT THE DEED OF SALE OF MOTOR VEHICLE YOU SAW EARLIER INTO A DEED OF ABSOLUTE SALE OF LAND, USING THE SAME TAP CAP SA MOLD?

YES!

CAN YOU CONVERT THE DEED OF SALE OF MOTOR VEHICLE YOU SAW EARLIER INTO A DEED OF ABSOLUTE SALE OF LAND, USING THE SAME TAP CAP SA MOLD?

YES!

CAN YOU CONVERT THE DEED OF SALE OF MOTOR VEHICLE YOU SAW EARLIER INTO A DEED OF ABSOLUTE SALE OF LAND, USING THE SAME TAP CAP SA MOLD?

YES!

T DEED OF SALE OF MOTOR VEHICLE

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

T DEED OF SALE OF MOTOR VEHICLEA KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of One Hundred Thousand Pesos (P100,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672

Serial/Chassis No. 89BR9876; File No. BT684980

Reg. Cert. No. T 758497 Plate No. XNM 908

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

CAN YOU CONVERT THE DEED OF SALE OF ABSOLUTE SALE OF LAND INTO A DEED OF CHATTEL MORTGAGE, USING THE SAME TAP CAP SA MOLD?

YES!

CAN YOU CONVERT THE DEED OF SALE OF ABSOLUTE SALE OF LAND INTO A DEED OF CHATTEL MORTGAGE, USING THE SAME TAP CAP SA MOLD?

YES!

CAN YOU CONVERT THE DEED OF SALE OF ABSOLUTE SALE OF LAND INTO A DEED OF CHATTEL MORTGAGE, USING THE SAME TAP CAP SA MOLD?

YES!

CAN YOU CONVERT THE DEED OF SALE OF ABSOLUTE SALE OF LAND INTO A DEED OF CHATTEL MORTGAGE, USING THE SAME TAP CAP SA MOLD?

YES!

T DEED OF ABSOLUTE SALE OF LANDA KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF ABSOLUTE SALE OF LAND

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Five Million Pesos (P5,000,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Fifty Thousand Pesos (P50,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Fifty Thousand Pesos (P50,000.00), A hereby sell, convey, and transfer my parcel of land on Dapitan St., Sampaloc, Manila, evidenced by TCT No. T-098765 of the Register of Deeds of Manila, more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Fifty Thousand Pesos (P50,000.00), A hereby convey by way of chattel mortgage my motor vehicle. more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Fifty Thousand Pesos (P50,000.00), A hereby convey by way of chattel mortgage my motor vehicle. more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Fifty Thousand Pesos (P50,000.00), A hereby convey by way of chattel mortgage my motor vehicle. more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Seller

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Fifty Thousand Pesos (P50,000.00), A hereby convey by way of chattel mortgage my motor vehicle. more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Mortgagor

A ACKNOWLEDGMENT

T DEED OF CHATTEL MORTGAGE

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C for and in consideration of the sum of Fifty Thousand Pesos (P50,000.00), A hereby convey by way of chattel mortgage my motor vehicle. more particularly described as follows:

(Description)

P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Mortgagor

A ACKNOWLEDGMENT

AFFIDAVIT OF GOOD FAITH

We, the undersigned MORTGAGOR and MORTGAGEE, state under oath a) that the foregoing chattel mortgage is executed to secure the obligation specified in it and for no other purpose and b) that the same is a just and valid obligation and one not entered into for the purpose of fraud.

CESAR PEREZ RAMON AGOS Mortgagor Mortgagee

(JURAT)

AFFIDAVIT OF GOOD FAITH

We, the undersigned MORTGAGOR and MORTGAGEE, state under oath a) that the foregoing chattel mortgage is executed to secure the obligation specified in it and for no other purpose and b) that the same is a just and valid obligation and one not entered into for the purpose of fraud.

CESAR PEREZ RAMON AGOS Mortgagor Mortgagee

(JURAT)

AFFIDAVIT OF GOOD FAITH

We, the undersigned MORTGAGOR and MORTGAGEE, state under oath a) that the foregoing chattel mortgage is executed to secure the obligation specified in it and for no other purpose and b) that the same is a just and valid obligation and one not entered into for the purpose of fraud.

CESAR PEREZ RAMON AGOS Mortgagor Mortgagee

(JURAT)

AFFIDAVIT OF GOOD FAITH

We, the undersigned MORTGAGOR and MORTGAGEE, state under oath a) that the foregoing chattel mortgage is executed to secure the obligation specified in it and for no other purpose and b) that the same is a just and valid obligation and one not entered into for the purpose of fraud.

CESAR PEREZ RAMON AGOS Mortgagor Mortgagee

(JURAT)

AFFIDAVIT OF GOOD FAITH

We, the undersigned MORTGAGOR and MORTGAGEE, state under oath a) that the foregoing chattel mortgage is executed to secure the obligation specified in it and for no other purpose and b) that the same is a just and valid obligation and one not entered into for the purpose of fraud.

CESAR PEREZ RAMON AGOS Mortgagor Mortgagee

(JURAT)

AFFIDAVIT OF GOOD FAITH

We, the undersigned MORTGAGOR and MORTGAGEE, state under oath a) that the foregoing chattel mortgage is executed to secure the obligation specified in it and for no other purpose and b) that the same is a just and valid obligation and one not entered into for the purpose of fraud.

CESAR PEREZ RAMON AGOS Mortgagor Mortgagee

(JURAT)

AFFIDAVIT OF GOOD FAITH

We, the undersigned MORTGAGOR and MORTGAGEE, state under oath a) that the foregoing chattel mortgage is executed to secure the obligation specified in it and for no other purpose and b) that the same is a just and valid obligation and one not entered into for the purpose of fraud.

CESAR PEREZ RAMON AGOS Mortgagor Mortgagee

(JURAT)

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T SPECIAL POWER OF ATTORNEY

A KNOW ALL MEN BY THESE PRESENTS:P I, ANGEL CRUZ, of legal age, single, with

postal address at No. 12 Apo St., Quezon City, C for and in consideration of a commission of 3% of the selling price of Three Hundred Thousand Pesos (P300,000.00) A hereby name, constitute, and appoint as my attorney-in-fact, with authority to sell, convey, and transfer my motor vehicle, more particularly described as follows:

Make: Toyota; Type Corolla; Motor No. 78KN5672Serial/Chassis No. 89BR9876; File No. BT684980Reg. Cert. No.T 758497 Plate No. XNM 908

P RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Principal

A Acknowledgment

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

T LAST WILL AND TESTAMENT

A KNOW ALL MEN BY THESE PRESENTS:

P I, ANGEL CRUZ, of legal age, single, with postal address at No. 12 Apo St., Quezon City, C being of sound and disposing mind and not acting under undue influence, violence, fraud, or intimidation, A hereby convey upon my demise all of my properties of whatever kind P to RICARDO LIM, of legal age, married, with postal address at No. 2 Bangkal St., Manila.

S ANGEL CRUZ Testator

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

ATTESTATION CLAUSE

WE, THE ATTESTING WITNESSES, CERTIFY: a) THAT THE TESTATOR, ANGEL CRUZ, MADE

KNOWN TO US HIS ABOVE WILL, CONSISTING OF TWO PAGES NUMBERED CONSECUTIVELY IN LETTERS ON THE UPPER PART OF EACH PAGE,

b) THAT HE HAS SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN OUR JOINT PRESENCE, AND

c) THAT WE, IN TURN, SIGNED THE SAME AND EVERY PAGE OF IT, ON THE LEFT MARGIN, IN THE PRESENCE OF THE TESTATOR AND IN THE PRESENCE OF EACH AND ALL OF US.

(Sgd.) Jaime Santos (Address)(Sgd.) Lucio Ramos (Address)(Sgd.) Raul Jacinto (Address)

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

JOINT ACKNOWLEDGMENT

BEFORE ME, Notary Public for and in the City of Manila, Philippines, this 10th day of June, 2005, personally appeared:

The testator, Angel Cruz, in possession of LTO Driver's License No. S40-66-047674 issued on July 8, 2004.

Jaime Santos, witness, in possession of LTO Driver's License No. V56-68-059654 issued on April 5, 2004.

Lucio Ramos, witness, in possession of LTO Driver's License No. G35-58-039643 issued on March 9, 2004.

Raul Jacinto, witness, in possession of LTO Driver's License No. Q67-63-045465 issued on June 7, 2004.

who signed the foregoing Will, the first as testator, and the last three as instrumental witnesses, and they respectively acknowledged to me that they signed the same as their own free act and deed.

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

I, Carlos Santos, of legal age, single, and a resident of 49 Vicente G. Cruz Street, Sampaloc, Manila, being of sound mind and discretion, hereby give and bequeath upon my death the whole of my estate unto my friend Julio Reyes, of legal age, single, and a resident of 189 Dapitan Street, Sampaloc, Manila.

Manila, May 1, 2005. Carlos Santos

WHAT IS A CONTRACT?

IT IS AN AGREEMENT WHERE THE PARTIES MAKE MUTUAL UNDERTAKINGS IN FAVOR OF EACH OTHER, USUALLY LASTING FOR A PERIOD OF TIME.

WHAT IS A CONTRACT?

IT IS AN AGREEMENT WHERE THE PARTIES MAKE MUTUAL UNDERTAKINGS IN FAVOR OF EACH OTHER, USUALLY LASTING FOR A PERIOD OF TIME.

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;

Witnesseth that:

W WHEREAS, the LESSOR wants to lease the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;Witnesseth that:

W WHEREAS, the LESSOR wants to lease the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;

Witnesseth that:

W WHEREAS, the LESSOR wants to lease the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;

Witnesseth that:

W WHEREAS, the LESSOR wants to lease the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;

Witnesseth that:

W WHEREAS, the LESSOR wants to lease the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;

Witnesseth that:

W WHEREAS, the LESSOR wants to lease the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;

Witnesseth that:

W WHEREAS, the LESSOR wants to lease the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

T CONTRACT OF LEASE

A Know All Men By These Presents:

P This Contract executed by and between:FELIPE DE GUZMAN, Filipino, of legal age,

single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the LESSOR;

- and -ARTHUR MIRANDA, Filipino, of legal age,

married to Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the LESSEE;

Witnesseth that:

W WHEREAS, the LESSOR wants to lease to the LESSEE the residential apartment located at #30 Aurora Blvd., Quezon City; and

WHEREAS, the LESSEE wants to lease the same from the LESSOR;

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

A NOW THEREFORE, the LESSOR hereby leases the subject apartment to the LESSEE who accepts it C under the following terms and conditions:

1. The lease shall be for one year from the signing of this agreement;

2. The monthly rental on the apartment leased shall be P5,000.00 per month, payable in advance within the first five (5) days of each month;

3. The apartment has been received by the LESSEE in good, habitable condition; and

4. The LESSEE shall not sublet the apartment to any one without the written consent of the LESSOR;

S FELIPE DE GUZMAN ARTHUR MIRANDA Lessor Lessee

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

A NOW THEREFORE, the LESSOR hereby leases the subject apartment to the LESSEE who accepts it C under the following terms and conditions:

1. The lease shall be for one year from the signing of this agreement;

2. The monthly rental on the apartment leased shall be P5,000.00 per month, payable in advance within the first five (5) days of each month;

3. The apartment has been received by the LESSEE in good, habitable condition; and

4. The LESSEE shall not sublet the apartment to any one without the written consent of the LESSOR;

S FELIPE DE GUZMAN ARTHUR MIRANDA Lessor Lessee

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

A NOW THEREFORE, the LESSOR hereby leases the subject apartment to the LESSEE who accepts it C under the following terms and conditions:

1. The lease shall be for one year from the signing of this agreement;

2. The monthly rental on the apartment leased shall be P5,000.00 per month, payable in advance within the first five (5) days of each month;

3. The apartment has been received by the LESSEE in good, habitable condition; and

4. The LESSEE shall not sublet the apartment to any one without the written consent of the LESSOR;

S FELIPE DE GUZMAN ARTHUR MIRANDA Lessor Lessee

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

A ACKNOWLEDGMENT

REPUBLIC OF THE PHILIPPINES)CITY OF MANILA ………………...) SS.

BEFORE ME, this 19th day of July, 2OO7 in the City of Manila, Philippines, personally appeared Felipe de Guzman and Arthur Miranda, whom I have identified through their LTO Driver's License No. Q56-67-024778 issued on July 8, 2007 and Y67-45-097845, respectively, to be the same persons who executed the foregoing instrument, and they acknowledged to me that it is their free acts and deeds.

BEN R. MADRID Notary Public

(Appointment; expiration of commission; PTR, IBP, MCLE, address)

(Entries in Notarial Book)

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

THE PARTS OF A TYPICAL CONTRACT ARE :

TITLEANNOUNCEMENTPARTIES

WHEREASESAGREEMENT CONDITIONS

SIGNATURESACKNOWLEDGEMENT

TAP WAC SA

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

T CONTRACT TO SELL

A Know All Men By These Presents:P This Contract executed by and between:

FELIPE DE GUZMAN, Filipino, of legal age, single, with address at # 28 Aurora Blvd., Quezon City, hereinafter called the SELLER;

- and -ARTHUR MIRANDA, Filipino, of legal age, married to

Agnes Sison, with address at # 30 Aurora Blvd., Quezon City, hereinafter called the BUYER;

Witnesseth that:

W WHEREAS, the SELLER wants to sell the parcel of land located at #30 Aurora Blvd., Quezon City, covered by TCT No. T-09876 of the Register of Deeds of Quezon City, more particularly described as follows: (describe) WHEREAS, the BUYER wants to buy the same from the SELLER;

A NOW THEREFORE, the SELLER hereby agrees to sell, convey, and transfer the subject parcel of land to the BUYER who agrees to buy the same C under the following terms and conditions:

1. The price shall be Two Million Pesos (P2,000,000.00);

2. The BUYER shall pay P300,000.00 upon the signing of the agreement and the rest of the price by equal monthly installment of P100,000 thereafter until it is fully paid;

3. The SELLER shall execute a deed of absolute sale immediately upon the completion of payment; and

A NOW THEREFORE, the SELLER hereby agrees to sell, convey, and transfer the subject parcel of land to the BUYER who agrees to buy the same C under the following terms and conditions:

1. The price shall be Two Million Pesos (P2,000,000.00);

2. The BUYER shall pay P300,000.00 upon the signing of the agreement and the rest of the price by equal monthly installment of P100,000 thereafter until it is fully paid;

3. The SELLER shall execute a deed of absolute sale immediately upon the completion of payment; and

A NOW THEREFORE, the SELLER hereby agrees to sell, convey, and transfer the subject parcel of land to the BUYER who agrees to buy the same C under the following terms and conditions:

1. The price shall be Two Million Pesos (P2,000,000.00);

2. The BUYER shall pay P300,000.00 upon the signing of the agreement and the rest of the price by equal monthly installment of P100,000 thereafter until it is fully paid;

3. The SELLER shall execute a deed of absolute sale immediately upon the completion of payment; and

A NOW THEREFORE, the SELLER hereby agrees to sell, convey, and transfer the subject parcel of land to the BUYER who agrees to buy the same C under the following terms and conditions:

1. The price shall be Two Million Pesos (P2,000,000.00);

2. The BUYER shall pay P300,000.00 upon the signing of the agreement and the rest of the price by equal monthly installment of P100,000 thereafter until it is fully paid;

3. The SELLER shall execute a deed of absolute sale immediately upon the completion of payment; and

A NOW THEREFORE, the SELLER hereby agrees to sell, convey, and transfer the subject parcel of land to the BUYER who agrees to buy the same C under the following terms and conditions:

1. The price shall be Two Million Pesos (P2,000,000.00);

2. The BUYER shall pay P300,000.00 upon the signing of the agreement and the rest of the price by equal monthly installment of P100,000 thereafter until it is fully paid;

3. The SELLER shall execute a deed of absolute sale immediately upon the completion of payment; and

A NOW THEREFORE, the SELLER hereby agrees to sell, convey, and transfer the subject parcel of land to the BUYER who agrees to buy the same C under the following terms and conditions:

1. The price shall be Two Million Pesos (P2,000,000.00);

2. The BUYER shall pay P300,000.00 upon the signing of the agreement and the rest of the price by equal monthly installment of P100,000 thereafter until it is fully paid;

3. The SELLER shall execute a deed of absolute sale immediately upon the completion of payment; and

4. The SELLER shall pay for the capital gains tax while the BUYER shall pay the transfer fees and charges.

S FELIPE DE GUZMAN ARTHUR MIRANDA Seller Buyer

A ACKNOWLEDGMENT

4. The SELLER shall pay for the capital gains tax while the BUYER shall pay the transfer fees and charges.

S FELIPE DE GUZMAN ARTHUR MIRANDA Seller Buyer

A ACKNOWLEDGMENT

4. The SELLER shall pay for the capital gains tax while the BUYER shall pay the transfer fees and charges.

S FELIPE DE GUZMAN ARTHUR MIRANDA Seller Buyer

A ACKNOWLEDGMENT

4. The SELLER shall pay for the capital gains tax while the BUYER shall pay the transfer fees and charges.

S FELIPE DE GUZMAN ARTHUR MIRANDA Seller Buyer

A ACKNOWLEDGMENT

PROMISORY NOTE

Manila, July 2, 2007

P20,000.00

Thirty (30) days after date, I, Dante R. Lopez, promise to pay to the order of Vicente M. Ruiz, the sum of Twenty Thousand Pesos (P20,000.00), Philippine Currency.

(Signed) Dante R. Lopez

PROMISORY NOTE

Manila, July 2, 2007

P20,000.00

Thirty (30) days after date, I, Dante R. Lopez, promise to pay to the order of Vicente M. Ruiz, the sum of Twenty Thousand Pesos (P20,000.00), Philippine Currency.

(Signed) Dante R. Lopez

PROMISORY NOTE

Manila, July 2, 2007

P20,000.00

Thirty (30) days after date, I, Dante R. Lopez, promise to pay to the order of Vicente M. Ruiz, the sum of Twenty Thousand Pesos (P20,000.00), Philippine Currency.

(Signed) Dante R. Lopez

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

CAP Republic of the PhilippinesNational Capital Judicial RegionMETROPOLITAN TRIAL COURT

Branch 2, Makati City

PEOPLE OF THE PHILIPPINES, Plaintiff,

-versus- Criminal Case No. 87654Slight Physical Injuries

REX GO, Accused.

x----------------------------------------x

CAP Republic of the PhilippinesNational Capital Judicial RegionMETROPOLITAN TRIAL COURT

Branch 2, Makati City

RENATO DE JESUS, Petitioner,

-versus- Sp. Civil Action No. 87654

Unlawful Detainer

REX GO, Respondent.

x---------------------------------x

CAP Republic of the PhilippinesNational Capital Judicial Region

REGIONAL TRIAL COURTBranch 2, Makati City

IN THE MATTER OF THE ADOPTION OF RAMON GONZALES,

Sp. Proceeding No. 87654RENATO DE JESUS, Petitioner,

x---------------------------------x

CAP Republic of the PhilippinesNational Capital Judicial RegionMETROPOLITAN TRIAL COURT

Branch 2, Makati City

JULIO LOPEZ, Plaintiff,

-versus- Civil Case No. 87654Action for Money

REX GO, Defendant.

x--------------------------x

T COMPLAINT

I Plaintiff, by counsel, respectfully states:

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

CAP Republic of the PhilippinesNational Capital Judicial RegionMETROPOLITAN TRIAL COURT

Branch 2, Makati City

JULIO LOPEZ, Plaintiff,

-versus- Sp. Civil Action No. 87654For Unlawful Detainer

REX GO, Defendant.

x--------------------------x

T COMPLAINT

I Plaintiff, by counsel, respectfully states:

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

CAP Republic of the PhilippinesNational Capital Judicial RegionMETROPOLITAN TRIAL COURT

Branch 2, Makati City

JULIO LOPEZ, Plaintiff,

-versus- Sp. Civil Action No. 87654For Unlawful Detainer

REX GO, Defendant.

x--------------------------x

T COMPLAINT

I Plaintiff, by counsel, respectfully states:

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

B The Parties

1. Plaintiff Julio Lopez is of legal age and a resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be serve with summons.

Cause of Action

--Plaintiff’s right in relation to the defendant

--Defendant’s violation of that right

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be serve with summons.

Cause of Action

--Plaintiff’s right in relation to the defendant

--Defendant’s violation of that right

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action

--Plaintiff’s right in relation to the defendant

--Defendant’s violation of that right

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action

--Plaintiff’s right in relation to the defendant

--Defendant’s violation of that right

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action

--Plaintiff’s right in relation to the defendant

--Defendant’s violation of that right

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action

--Plaintiff’s right in relation to the defendant

--Defendant’s violation of that right

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action

--Plaintiff’s right in relation to the defendant

--Defendant’s violation of that right

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action3. On February 1, 2007 plaintiff leased to

defendant that property known as 2 Santos St., San Antonio Village, Makati City, for a monthly rent of P5,000.00.

4. Defendant has not paid his rents for the months of May and June 2005.

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action3. On February 1, 2007 plaintiff leased to

defendant that property known as 2 Santos St., San Antonio Village, Makati City, for a monthly rent of P5,000.00.

4. Defendant has not paid his rents for the months of May and June 2007.

B The Parties1. Plaintiff Julio Lopez is of legal age and a

resident of 12 M. dela Fuente St., Sampaloc, Manila.

2. Defendant Rex Go is also of legal age and a resident of 2 Santos St., San Antonio Village, Makati City, where he may be served with summons.

Cause of Action3. On February 1, 2007 plaintiff leased to

defendant that property known as 2 Santos St., San Antonio Village, Makati City, for a monthly rent of P5,000.00.

4. Defendant has not paid his rents for the months of May and June 2007.

5. Plaintiff wrote defendant a letter, Annex A, demanding that he pay the rent and vacate the property but he ignored such demand.

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-

2006 PTR No. 77345 01-02-2006

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-

2006 PTR No. 77345 01-02-2006

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-

2006 PTR No. 77345 01-02-2006

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance III-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

R WHEREFORE, plaintiff respectfully prays that, after hearing, judgment be rendered ordering the defendant to turn over possession of the above-described property and to pay rents due on it to plaintiff.

Plaintiff prays for such other and further reliefs as are just and equitable.

Makati City, July 15, 2007.

A RICARDO ROBLES Counsel for the Plaintiff

4055 Arellano Street Palanan, Makati City

Atty. Roll No. 23456 IBP No. 52458 12-14-2006

PTR No. 77345 01-02-2006 MCLE Compliance II-3456

Tel. No. 6346790 Fax No. 634791 Robleslex@yahoo.com

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

TRY TO WRITE A VERIFICATION AND A NON-FORUM

SHOPPING CERTIFICATION

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

PLUS Verification and Certification

I, Julio Lopez, states under oath a) that I have read the above complaint and b) that the allegations in it are true and correct of my personal knowledge or based on authentic record.

I also certify under oath a) that I have not previously filed any action involving the same issues in any court, tribunal or quasi-judicial agency b) that, to the best of my knowledge, no such action is pending in any of them; and c) if I should learn of the filing of a such action, I shall report it to the court within five (5) days of hearing about it.

JULIO LOPEZ Affiant

(JURAT)

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

WHAT ARE THE PARTS OF A TYPICAL JUDICIAL FORM?

CAPTION

TITLEIDENTITY OF PLEADERBODYRELIEFATTORNEY

PLUS AS REQUIRED

CAP TIBRA PLUS

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B Admissions and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B Admissions and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B Admissions and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B Admissions and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B Admissions and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B Admissions and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

CAP OMITTEDT ANSWER

I Defendant, by counsel, respectfully states:

B Admissions and Denials1. Defendant admits the allegations of

paragraphs 1, 2, 3, and 5 of the complaint.2. He denies the allegations in paragraph 4

the truth being that stated below in the special and affirmative defenses.

Special and Affirmative Defenses3. Plaintiff bought a cell phone worth

P10,000 from defendant but did not pay from it. Consequently, defendant is entitled to set it off against the rents for May and June.

Counterclaim4. Because of this malicious suit,

defendant was compelled to retain the services of counsel for P50,000.00.

R WHEREFORE, defendant respectfully prays the Court to dismiss the complaint for lack of merit and order plaintiff to pay defendant attorney's fees of P50,000.00.

Makati City, August 15, 2005.

A JAIME RIVERA Counsel for the Defendant

(Details omitted)

PLUS Verification (OMITTED)

Copy furnished: (by personal service)

Atty. Rey C. De VillaRm. 814Clover Tower109 Rivera StreetPalanan, Makati City

R WHEREFORE, defendant respectfully prays the Court to dismiss the complaint for lack of merit and order plaintiff to pay defendant attorney's fees of P50,000.00.

Makati City, August 15, 2005.

A JAIME RIVERA Counsel for the Defendant

(Details omitted)

PLUS Verification (OMITTED)

Copy furnished: (by personal service)

Atty. Rey C. De VillaRm. 814Clover Tower109 Rivera StreetPalanan, Makati City

R WHEREFORE, defendant respectfully prays the Court to dismiss the complaint for lack of merit and order plaintiff to pay defendant attorney's fees of P50,000.00.

Makati City, August 15, 2005.

A JAIME RIVERA Counsel for the Defendant

(Details omitted)

PLUS Verification (OMITTED)

Copy furnished: (by personal service)

Atty. Rey C. De VillaRm. 814Clover Tower109 Rivera StreetPalanan, Makati City

R WHEREFORE, defendant respectfully prays the Court to dismiss the complaint for lack of merit and order plaintiff to pay defendant attorney's fees of P50,000.00.

Makati City, August 15, 2005.

A JAIME RIVERA Counsel for the Defendant

(Details omitted)

PLUS Verification (OMITTED)

Copy furnished: (by personal service)

Atty. Rey C. De VillaRm. 814Clover Tower109 Rivera StreetPalanan, Makati City

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

CAP (OMITTED) T MOTION TO DISMISS

I Defendant, by counsel, respectfully states:B Ground

1. The complaint should be dismissed on the ground that plaintiff’s claim has been paid.

2. Plaintiff did not pay his P30,000 debt to defendant because he has obtained a final judgment against him from the MTC of Manila in Civil Case 78912 for P50,000.

Argument3. Under the Civil Code, automatic

compensation takes place when two persons, in their own rights, are creditors and debtors of each other. Since plaintiff owes defendant P50,000 by reason of the MTC judgment, the latter can set off plaintiff’s claim of P30,000 against it.

R WHEREFORE, plaintiff respectfully prays that the complaint be dismissed on the above ground.

Makati City, July 15, 2005.

A CARLOS C. REYES Counsel for the

Defendant (Details omitted)

PLUS Notice of Hearing

Atty. Ricardo Robles4055 Arellano StreetPalanan, Makati City(Personal Service)

Please be on notice that defendant will present the foregoing motion to the Court for its consideration and resolution on July 20, 2005 at 2 p.m.

CARLOS C. REYES

R WHEREFORE, plaintiff respectfully prays that the complaint be dismissed on the above ground.

Makati City, July 15, 2005.

A CARLOS C. REYES Counsel for the

Defendant (Details omitted)

PLUS Notice of Hearing

Atty. Ricardo Robles4055 Arellano StreetPalanan, Makati City(Personal Service)

Please be on notice that defendant will present the foregoing motion to the Court for its consideration and resolution on July 20, 2005 at 2 p.m.

CARLOS C. REYES

R WHEREFORE, plaintiff respectfully prays that the complaint be dismissed on the above ground.

Makati City, July 15, 2005.

A CARLOS C. REYES Counsel for the

Defendant (Details omitted)

PLUS Notice of Hearing

Atty. Ricardo Robles4055 Arellano StreetPalanan, Makati City(Personal Service)

Please be on notice that defendant will present the foregoing motion to the Court for its consideration and resolution on July 20, 2005 at 2 p.m.

CARLOS C. REYES

R WHEREFORE, plaintiff respectfully prays that the complaint be dismissed on the above ground.

Makati City, July 15, 2005.

A CARLOS C. REYES Counsel for the

Defendant (Details omitted)

PLUS Notice of Hearing

Atty. Ricardo Robles4055 Arellano StreetPalanan, Makati City(Personal Service)

Please be on notice that defendant will present the foregoing motion to the Court for its consideration and resolution on July 20, 2005 at 2 p.m.

CARLOS C. REYES

R WHEREFORE, plaintiff respectfully prays that the complaint be dismissed on the above ground.

Makati City, July 15, 2005.

A CARLOS C. REYES Counsel for the

Defendant (Details omitted)

PLUS Notice of Hearing

Atty. Ricardo Robles4055 Arellano StreetPalanan, Makati City(Personal Service)

Please be on notice that defendant will present the foregoing motion to the Court for its consideration and resolution on July 20, 2005 at 2 p.m.

CARLOS C. REYES

R WHEREFORE, plaintiff respectfully prays that the complaint be dismissed on the above ground.

Makati City, July 15, 2005.

A CARLOS C. REYES Counsel for the

Defendant (Details omitted)

PLUS Notice of Hearing

Atty. Ricardo Robles4055 Arellano StreetPalanan, Makati City(Personal Service)

Please be on notice that defendant will present the foregoing motion to the Court for its consideration and resolution on July 20, 2005 at 2 p.m.

CARLOS C. REYES

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Affidavit of Preliminary AttachmentI, ROMEO GARCIA, plaintiff in the case,

state under oath that:1. I have sufficient cause of action against

the defendant;2. My action is one of those mentioned in

Sec. 1 of the Rule 57 of the Rules of Court, where a writ for preliminary attachment may issue, namely, that defendant has sold his residential house with intent to defraud his creditors.

3. I have no other sufficient security for my claim.

4. The amount due me is as much as the sum for I seek an order of attachment, above all defendant’s legal counterclaim.

ROMEO GARCIA (JURAT OMITTED)

Explanation: A copy of this motion has been served on the adverse party by registered mail because no available messenger can personally serve it.

Raul Castro Counsel for the

Defendant

CAP Republic of the PhilippinesNational Capital Judicial Region

REGIONAL TRIAL COURTBranch 5, Manila

PEOPLE OF THE PHILIPPINES plaintiff, -versus- Crim. Case. No. 05-0789 (I.S. No. 93-456)Carlos Lim, For Homicide accused. x----------------------------------------x

T INFORMATION

I The undersigned accuses CARLOS LIM of the crime of homicide, committed as follows:

CAP Republic of the PhilippinesNational Capital Judicial Region

REGIONAL TRIAL COURTBranch 5, Manila

PEOPLE OF THE PHILIPPINES plaintiff, -versus- Crim. Case. No. 05-0789 (I.S. No. 93-456)Carlos Lim, For Homicide accused. x----------------------------------------x

T INFORMATION

I The undersigned accuses CARLOS LIM of the crime of homicide, committed as follows:

CAP Republic of the PhilippinesNational Capital Judicial Region

REGIONAL TRIAL COURTBranch 5, Manila

PEOPLE OF THE PHILIPPINES plaintiff, -versus- Crim. Case. No. 05-0789 (I.S. No. 93-456)Carlos Lim, For Homicide accused. x----------------------------------------x

T INFORMATION

I The undersigned accuses CARLOS LIM of the crime of homicide, committed as follows:

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2005

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2005

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2005

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2005

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2005

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2005

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death. [When, where, who, what, how]

Contrary to law.Manila, August 2, 2005

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2007

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2007

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

B That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the said accused did then and there willfully, unlawfully, and feloniously, with the intent to kill Ramon Cruz, assault, attack, and wound him with a fan-knife, directing blows against the vital parts of the latter's body, thereby inflicting upon him wounds, which directly caused his death.

Contrary to law.Manila, August 2, 2007

R (Omitted since the law already sets the penalty for conviction.)

A (Sgd,) Asst. City Prosecutor

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

Witnesses:

Vivian Cruz, 12 Vicente G. Cruz, Sampaloc, Manila Lauro Sy, 487 Dapitan St., Sampaloc, Manila

Bail recommended - P100,000.00

Witnesses:

Vivian Cruz, 12 Vicente G. Cruz, Sampaloc, Manila Lauro Sy, 487 Dapitan St., Sampaloc, Manila

Bail recommended - P100,000.00

Witnesses:

Vivian Cruz, 12 Vicente G. Cruz, Sampaloc, Manila Lauro Sy, 487 Dapitan St., Sampaloc, Manila

Bail recommended - P100,000.00

Witnesses:

Vivian Cruz, 12 Vicente G. Cruz, Sampaloc, Manila Lauro Sy, 487 Dapitan St., Sampaloc, Manila

Bail recommended - P100,000.00

THE PREPARATION OF A CRIMINAL INFORMATION IS A HIGH FAVORITE IN ALL BAR EXAMINATIONS.

YOU’LL NOT MAKE A MISTAKE IF YOU TRY AT THIS TIME TO PREPARE THE PROSECUTOR’S CERTIFICATION IN A CRIMINAL INFORMATION. (2 MINUTES)

THE PREPARATION OF A CRIMINAL INFORMATION IS A HIGH FAVORITE IN ALL BAR EXAMINATIONS.

YOU’LL NOT MAKE A MISTAKE IF YOU TRY AT THIS TIME TO PREPARE THE PROSECUTOR’S CERTIFICATION IN A CRIMINAL INFORMATION. (2 MINUTES)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. City Prosecutor

(JURAT OMITTED)

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

PLUS Certification

I certify a) that I conducted a preliminary investigation in the case; b) that I examined the complainant and his witnesses; c) that based on the evidence presented, there is reasonable ground to believe that the accused is probably guilty of the offense charged; d) that I gave him the opportunity to submit controverting evidence; and e) that the filing of this information has been approved by the City Prosecutor.

Asst. Prosecutor

Subscribed and sworn to before me this 12th day of May, 2007 in the City of Manila, Philippines

2nd Asst. City Prosecutor

RAPE:

That on or about June 5, 2007, in the City of Manila, Philippines, the accused entered the house of Delilah Reyes who was then and there alone, and by means of force and intimidation, willfully, unlawfully, and feloniously did lie, and succeed in having carnal knowledge of her.

RAPE:

That on or about June 5, 2007, in the City of Manila, Philippines, the accused entered the house of Delilah Reyes who was then and there alone, and by means of force and intimidation, willfully, unlawfully, and feloniously did lie, and succeed in having carnal knowledge of her.

RAPE:

That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the accused entered the house of Delilah Reyes who was then and there alone, and by means of force and intimidation, willfully, unlawfully, and feloniously did lie, and succeed in having carnal knowledge of her.

RAPE:

That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the accused entered the house of Delilah Reyes who was then and there alone, and by means of force and intimidation, willfully, unlawfully, and feloniously did lie, and succeed in having carnal knowledge of her.

RAPE:

That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the accused entered the house of Delilah Reyes who was then and there alone, and by means of force and intimidation, willfully, unlawfully, and feloniously did lie, and succeed in having carnal knowledge of her.

RAPE:

That on or about June 5, 2007, in the City of Manila, Philippines, within the jurisdiction of this Court, the accused entered the house of Delilah Reyes who was then and there alone, and by means of force and intimidation, willfully, unlawfully, and feloniously did lie, and succeed in having carnal knowledge of her.

THEFT:

That on or about June 5, 2007, in the City of Manila, Philippines, the accused did, then and there, willfully, unlawfully, feloniously, with intent of gain and without the consent of the owner, take, steal, and carry away the cellphone belonging to Samson Lopez, of the total value of P10,000.00, Philippine currency.

THEFT:

That on or about June 5, 2007, in the City of Manila, Philippines, the accused did, then and there, willfully, unlawfully, feloniously, with intent of gain and without the consent of the owner, take, steal, and carry away the cellphone belonging to Samson Lopez, of the total value of P10,000.00, Philippine currency.

THEFT:

That on or about June 5, 2007, in the City of Manila, Philippines, and within the jurisdiction of this Court, the accused did, then and there, willfully, unlawfully, feloniously, with intent of gain and without the consent of the owner, take, steal, and carry away the cellphone belonging to Samson Lopez, of the total value of P10,000.00, Philippine currency.

THEFT:

That on or about June 5, 2007, in the City of Manila, Philippines, and within the jurisdiction of this Court, the accused did, then and there, willfully, unlawfully, feloniously, with intent of gain and without the consent of the owner, take, steal, and carry away the cellphone belonging to Samson Lopez, of the total value of P10,000.00, Philippine currency.

THEFT:

That on or about June 5, 2007, in the City of Manila, Philippines, and within the jurisdiction of this Court, the accused did, then and there, willfully, unlawfully, feloniously, with intent of gain and without the consent of the owner, take, steal, and carry away the cellphone belonging to Samson Lopez, of the total value of P10,000.00, Philippine currency.

THEFT:

That on or about June 5, 2007, in the City of Manila, Philippines, and within the jurisdiction of this Court, the accused did, then and there, willfully, unlawfully, feloniously, with intent of gain and without the consent of the owner, take, steal, and carry away the cellphone belonging to Samson Lopez, of the total value of P10,000.00, Philippine currency.

THEFT:

That on or about June 5, 2007, in the City of Manila, Philippines, and within the jurisdiction of this Court, the accused did, then and there, willfully, unlawfully, feloniously, with intent of gain and without the consent of the owner, take, steal, and carry away the cellphone belonging to Samson Lopez, of the total value of P10,000.00, Philippine currency.

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

ESTAFA:That on or about June 5, 2007, in the

City of Manila, Philippines, the accused did then and there willfully, unlawfully, and feloniously defraud Ramon Rivera by falsely and fraudulently representing that he owns the Quezon Bridge and has authority to sell it to Rivera for P1 million, which representation he well knew was false and fraudulent and made only to induce Rivera to give and deliver such sum to him, and once in possession of it, willfully appropriated it for his own use and benefit, to the damage and prejudice of Rivera in the same amount of money."

GOOD LUCK!!!

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