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REPUBLIC OF THE PHILIPPINES )

BAGUIO CITY ) S. S.

COMPLAINT-AFFIDAVIT

I, Leticia E. Aquino, 40 years of age, single, a resident of 476 Oak Road,


Crystal Cave, Baguio City after having been sworn to in accordance with law,
do hereby depose and state:

1. That on October 30, 2017 at around 3 o’clock in the afternoon


upon coming at the gate of our house, I met Eric Sandoval John thereat;

2. That without warning, Sandoval suddenly kicked the gate,


thereby hitting my head and knees, and I fell down on the ground;

3. That due to the said incident, I suffered contusions, a


depressed fracture on my right knee, and have been hospitalized for 10
days and have been advised complete bed rest for 2 weeks or more
until my knee brace will be removed;

5. In support of my Complaint, attached hereto and


marked as Annex “___” and made as an integral part hereof is
the affidavit of Vincent dela Cruz who was able to witness first-
hand the occurrences that transpired that day;

6. I am executing this Complaint-Affidavit to file a case of Less


Serious Physical Injuries and GraveScandal against Rejie John.

IN WITNESS WHEREOF, I have hereunto set my hand this 19th day of


January 2018 in Baguio City, Philippines.

Leticia E. Aquino
Complainant- Affiant

SUBSCRIBED AND SWORN to before me, the undersigned


prosecutor, this 13th day of March 2018 in the City of Baguio, Philippines.

The undersigned Prosecutor certifies that he personally


examined the affiant voluntarily executed and understood the
complaint-affidavit.
Anton John Vincent M. Frias
Assistant City Prosecutor

REPUBLIC OF THE PHILIPPINES


REGIONAL TRIAL COURT
First Judicial Region
Branch ____, Baguio City

PEOPLE OF THE PHILIPPINES,


Plaintiff,

-versus- Criminal Case No. _______


For: Serious Physical
Injuries

REJIE JOHN,
Accused.

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

INFORMATION

The undersigned Assistant City Prosecutor, upon sworn


complaint originally filed by the offended party, accuses REJIE JOHN
of the crime of SERIOUS PHYSICAL INJURIES, committed as follows:

That on or about January 16, 2017 at Maharlika Building along


Magsaysay Avenue in the City of Baguio and within the jurisdiction of this
Honorable Court, the said accused, with treachery and evident premeditation,
willfully, unlawfully, and feloniously, and without justifiable cause therefor,
attacked, assaulted, and employed violence upon one Rumi C. Chan by then
and there beating him with a baseball bat, thereby inflicting upon the latter a
depressed fracture on the right side of his head, a fractured left leg and two
broken ribs, as evidenced by his medico-legal certificate, hereby attached as
Annex “____”, which caused the injury of the said Rumi C. Chan for more than
30 days, and incapacitated him from performing his customary labor for the
same period of time.

Contrary to law.

City of Baguio, Philippines, February 3, 2018.

Emmanuel L. Fajilan
Assistant City Prosecutor

CERTIFICATE OF PRELIMINARY INVESTIGATION

This is to certify that a preliminary investigation has been


conducted in the above-entitled case, wherein the accused was given
a chance to appear and that on the basis of the evidence presented
there is reasonable ground to believe that the offense charged has
been committed and the accused is probably guilty thereof.
SUBSCRIBED AND SWORN to before me this 3rd day of
February, 2018 in the City of Baguio.

Emmanuel L. Fajilan
Assistant City Prosecutor

Approved:

Marco C. Banez
City Prosecutor

WITNESSES:

Will B. Jong
03 Magsaysay Avenue, Baguio City, Philippines

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