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This letter serves as a final notice to Mrs. Palor regarding legal action that will be taken against her and Jerry C. Palor for violating their children's rights. Jerry had signed a notarized agreement in 2005 to provide 1,500 pesos monthly in support for their children Josephine and Johann, increasing annually to cover education, healthcare, and other expenses. However, this agreement has been ignored and the children's needs have not been met, forcing the grandmother to support them instead. The letter demands reimbursement for the grandmother's expenses over the past 12 years and gives one week to contact the listed phone numbers to discuss the matter before legal action proceeds.
This letter serves as a final notice to Mrs. Palor regarding legal action that will be taken against her and Jerry C. Palor for violating their children's rights. Jerry had signed a notarized agreement in 2005 to provide 1,500 pesos monthly in support for their children Josephine and Johann, increasing annually to cover education, healthcare, and other expenses. However, this agreement has been ignored and the children's needs have not been met, forcing the grandmother to support them instead. The letter demands reimbursement for the grandmother's expenses over the past 12 years and gives one week to contact the listed phone numbers to discuss the matter before legal action proceeds.
This letter serves as a final notice to Mrs. Palor regarding legal action that will be taken against her and Jerry C. Palor for violating their children's rights. Jerry had signed a notarized agreement in 2005 to provide 1,500 pesos monthly in support for their children Josephine and Johann, increasing annually to cover education, healthcare, and other expenses. However, this agreement has been ignored and the children's needs have not been met, forcing the grandmother to support them instead. The letter demands reimbursement for the grandmother's expenses over the past 12 years and gives one week to contact the listed phone numbers to discuss the matter before legal action proceeds.
Blk 20 Lot 14 Tierra Nevada, Camella General Trias, Cavite
RE: FINAL NOTICE FOR INTERVENTION RELATIVE TO A LEGAL SUPPORT Dear Mrs. Palor This letter serves as final notice between you and JERRY C. PALOR before the undersigned would ask the intervention of the Court of Justice to effectuate legal action against your persons favorable to your children, JOSEPHINE H. PALOR and JOHANN CLAUDE H. PALOR in vindication of their rights whom you deprived and violated under R.A 9262 in relation to R.A 7610. It has been recall that Jerry C. Palor effected an instrument of support related to your children dated 28, February 2005 in the amount of ONE THOUSAND FIVE HUNDRED PESOS (P 1500.00) and whose support shall be increased year after and such support is to include, education, hospitalization and other expenses related thereto. However, such notarized agreement that carries with it the force and effect of law, has not only been mocked, disregarded and its contains grievously and regularly violated by Jerry C. Palor , it also prolonged the agony of your children who hangs into it for their support. Hence, this final demand letter before the commencement of possible intervention for legal action to protect the interest and rights of your children is brought to your attention as you are also a party hereto. So as not to deprive both of you from your constitutional right to due process, and so as to position yourself firmly should legal action is resorted from this, I am attaching you the Notarized Agreement of Support whom Jerry C. Palor has effected relative to this matter and whose enforcement of rights you also willfully and negligently ignored and violated as a consequence hereof, third party has suffered and affected. Meanwhile, in this letter, I am also demanding both of you the full reimbursement of my money that was regularly used to support your children due to your willful negligence and disregard to responsibility despite your capacity to support being a professional and capacitated person retroactive from the commencement of the violation of Jerrys signed agreement. Such shall not include damages incurred to my person as I lost more than 12 years of my productive professional life in exchange to my involuntary attainment of your kids. Such amount may latter be fixed by the Court. Hence, in relation to this, I am giving you a week and/or seven days from receipt hereof to get in touch with me in relation to this matter. You may call or text me through this number 09155092837 and/or to my legal consultants number 09081016587 in this behalf.
Immaculata Gallagher, Also Known as Lottie Gallagher v. Francis R. Smith, Former Collector of Internal Revenue for the First District of Pennsylvania, and United States of America, 223 F.2d 218, 1st Cir. (1955)