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REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT


FOURTH JUDICIAL REGION BRANCH 7
TAGBILARAN CITY

PEOPLE OF THE PHILIPPINES CRIMINAL CASE NO. 01


Plaintiff.

-versus-

RICHARD RICARDE For: RAPE


Accused.
x----------------------------------------x

JUDICIAL AFFIDAVIT
OF ANTHONY TUKON

This judicial affidavit is executed to serve as his direct testimony in the instant case. This
judicial affidavit is offered to prove:

1. All the allegation in criminal case no. 01 entitled PP vs. RICHARD RICARDE;
2. Including all annexes appended thereto, which I respectfully requests to be
correspondingly marked as exhibits in this case;
3. All matters related thereto, with reservation to present additional exhibits in the
course of the proceedings of the instant case.

Questions were propounded by plaintiff’s counsel, Atty. Sharon Grace T. Vale in Tagalog, or in
English which the affiant fully understands, and answers were given by Anthony Tukon in
English :

1. Q: Do you swear to tell the truth and nothing but the truth?
A: I do.
2. Q: Are you aware that you may face criminal liability for false testimony or perjury if
you will not tell the truth?
A: I am.
3. Q: Please state your name, age, residence address and occupation?
A: I am Anthony Tukon, 10 years of age, a resident of Brgy. Sta. Rosa, Corella, Bohol
and I am studying at Sta. Rosa Elementary School, Grade 4.
4. Q: Do you know the accused in this case, Mr. Richard Ricalde?
A: Yes, he is my distant relative.
5. Q: Was there any untoward incident happened between you and the accused?
A: Yes. He raped me.
6. Q: When did such incident happen?
A: Sometime on January 31, 2002.
7. Q: On January 31, 2002, where were you?
A: At home.
8. Q: What did you do there?
A: I requested my mother to pick up Richard Ricalde at McDonald’s Bel-Air, Sta. Rosa
at past 8:00 p.m., for a dinner.
9. Q: Who planned for the said dinner?
A: I am.
10. Q: What is the reason you invited him for the said dinner?
A: To know him and have some conversation with him personally.
11. Q: What time was the dinner set to happen?
A: 8:30 p.m.
12. Q: What time did your mother and Richard Ricalde arrived?
Page 1 of 3
A: Past 8:00 p.m.
13. Q: By the time they arrived, what did you do?
A: I helped my mother to prepare our dinner.
14. Q: So what happened during dinner?
A: We just talked about random things.
15. Q: After the dinner, what did you do?
A: I was helping my mother to clean the table and heard her that Richard Ricardo can
spend the night at our house.
16. Q: Then what happened next?
A: Mr. Richard Ricarde slept on the sofa while I was on the living room floor.
17. Q: After that, what happened next?
A: It was around 2:00 a.m. when I awoke, I felt pain in my anus and stomach because
something inserted in it and I saw Mr. Richard Ricarde fondled my penis.
18. Q: What did you do next?
A: After Richard Ricarde returned to the sofa, I ran toward my mother’s room to tell
her what happened and I also told her that Richard Ricarde played with my sexual
organ.
19. Q: After you told her, what your mother did?
A: My mother armed herself with a knife for self defense when she confronted
Richard Ricarde about the incident.
20. Q: How did Richard Ricarde react with the confrontation of your mother?
A: He just remained silent.
21. Q: What your mother did after Mr. Richard Ricarde remained silent?
A: She asked him to leave the house.
22. Q: After Richard Ricarde leave the house, what happened next?
A: My mother accompanied me to the barangay hall where we were directed to report
the incident to the Sta. Rosa police station. The police referred us to the municipal
health center for medical examination.
23. Q: Who accompanied you in here?
A: My mother Carmela Tukon.
--------------------------------------END OF STATEMENT-----------------------------------------------

IN WITNESS WHEREOF, I hereunto set my hand below this 5 day of February, 2002, at
Tagbilaran City, Bohol, Philippines.

Anthony Tukon
Affiant

SUBCRIBED AND SWORN to before me this 5 day of February, 2002 at Tagbilaran City,
Bohol, Philippines. Further, I certify that I personally examined the herein affiant that he
voluntarily executed and fully understood his statements.

Administering Officer
Atty. Lansones Mambajao
Roll No. 000000-2002
IBP No.0000000-5/2/02
TR No. 0000000- 5/2/02
LE Compliance III No. 0000

ATTESTATION CLAUSE
The undersigned Atty. Sharon Grace T. Vale of legal age, single and with law office
address in Tagbilaran City, Bohol, on my oath as legal counsel of the affiant , hereby depose
and states:
1. That I have personally conducted the foregoing examination to the witness-affiant
in the above case;
Page 2 of 3
2. That I have faithfully recorded and translated into English languages asked of him
and the corresponding answers that he gave in response to the questions asked;
3. Neither I nor any other person/s coached this witness-affiant regarding the
answers given by him.

IN WITNESS WHEREOF, IN WITNESS WHEREOF, I hereunto set my hand below this 5


day of February, 2002, at Tagbilaran City, Bohol, Philippines.

Atty. Sharon Grace T. Vale

SUBCRIBED AND SWORN to before me this 5 day of February, 2002 at Tagbilaran City,
Bohol, Philippines. Further, I certify that I personally examined the herein affiant that he
voluntarily executed and fully understood his statements.

Administering Officer
Atty. Lansones Mambajao
Roll No. 000000-2002
IBP No.0000000-5/2/02
TR No. 0000000- 5/2/02
LE Compliance III No. 00000

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REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
FOURTH JUDICIAL REGION BRANCH 7
TAGBILARAN CITY

PEOPLE OF THE PHILIPPINES CRIMINAL CASE NO. 01


Plaintiff.

-versus-

RICHARD RICARDE For: RAPE


Accused.
x-----------------------------------------x

JUDICIAL AFFIDAVIT
OF CARMELA TUKON

This judicial affidavit is executed to serve as her direct testimony in the instant case. This
judicial affidavit is offered to prove:

1. All the allegation in criminal case no. 01 entitled PP vs. RICHARD RICARDE;
2. Including all annexes appended thereto, which I respectfully requests to be
correspondingly marked as exhibits in this case;
3. All matters related thereto, with reservation to present additional exhibits in the
course of the proceedings of the instant case.

Questions were propounded by plaintiff’s counsel, Atty. Sharon Grace T. Vale in Tagalog, or in
English which the affiant fully understands, and answers were given by Carmela Tukon in
English :

1. Q: Do you swear to tell the truth and nothing but the truth?
A: I do.
2. Q: Are you aware that you may face criminal liability for false testimony or perjury if
you will not tell the truth?
A: I am.
3. Q: Please state your name, age, residence address and occupation?
A: I am Carmela Tukon, 37 years of age, a resident of Brgy. Sta. Rosa, Corella, Bohol
and I am a housewife.
4. Q: Do you know the accused in this case, Mr. Richard Ricalde?
A: Yes, he is my distant relative.
5. Q: Was there any untoward incident happened between your son and the accused?
A: Yes. He raped him.
6. Q: When did such incident happen?
A: Sometime on January 31, 2002.
7. Q: On January 31, 2002, where were you?
A: At home.
8. Q: What did you do there?
A: I was requested by my son to pick up Richard Ricalde at McDonald’s Bel-Air, Sta.
Rosa at past 8:00 p.m., for a dinner.
9. Q: Who planned for the said dinner?
A: My son.
10. Q: What is the reason he invited him for the said dinner?
A: To know him and have some conversation with him personally.
11. Q: What time was the dinner set to happen?
A: 8:30 p.m.

Page 1 of 3
12. Q: What time did you and Richard Ricalde arrived?
A: Past 8:00 p.m.
13. Q: By the time you and Richard Ricardo arrived, what did you do?
A: I prepared our dinner.
14. Q: So what happened during dinner?
A: We just talked about random things.
15. Q: After the dinner, what did you do?
A: I was watching the plate and clean the table and told Mr. Richard Ricardo that he
can spend the night at our house.
16. Q: Then what happened next?
A: Mr. Richard Ricarde slept on the sofa while I was on my bedroom.
17. Q: After that, what happened next?
A: It was around 2:00 a.m. when I was awoken by my son and told me what
happened.
18. Q: What happened between your son and Mr. Richard Ricarde?
A: He told me that he felt pain in his anus and stomach and something inserted with it
and he actually saw the accused fondled his penis.
19. Q: What did you do after being told by son?
A: I armed myself with a knife for self defense when I confronted Richard Ricarde
about the incident.
20. Q: How did Richard Ricarde react with the confrontation?
A: He just remained silent.
21. Q: What did you do after Mr. Richard Ricarde remained silent?
A: I asked him to leave the house.
22. Q: After Richard Ricarde leave the house, what happened next?
A: I accompanied my son to the barangay hall where we were directed to report the
incident to the Sta. Rosa police station. The police referred us to the municipal health
center for medical examination.
--------------------------------------END OF STATEMENT-----------------------------------------------

IN WITNESS WHEREOF, I hereunto set my hand below this 5 day of February, 2002, at
Tagbilaran City, Bohol, Philippines.

Carmela Tukon
Affiant

SUBCRIBED AND SWORN to before me this 5 day of February, 2002 at Tagbilaran City,
Bohol, Philippines. Further, I certify that I personally examined the herein affiant that she
voluntarily executed and fully understood his statements.

Administering Officer

Atty. Lansones Mambajao


Roll No. 000000-2002
IBP No.0000000-5/2/02
TR No. 0000000- 5/2/02
LE Compliance III No. 00000

ATTESTATION CLAUSE
The undersigned Atty. Sharon Grace T. Vale of legal age, single and with law office
address in Tagbilaran City, Bohol, on my oath as legal counsel of the affiant , hereby depose
and states:
1. That I have personally conducted the foregoing examination to the witness-affiant
in the above case;
Page 2 of 3
2. That I have faithfully recorded and translated into English languages asked of her
and the corresponding answers that she gave in response to the questions asked;
3. Neither I nor any other person/s coached this witness-affiant regarding the
answers given by her.

IN WITNESS WHEREOF, IN WITNESS WHEREOF, I hereunto set my hand below this 5


day of February, 2002, at Tagbilaran City, Bohol, Philippines.

Atty. Sharon Grace T. Vale

SUBCRIBED AND SWORN to before me this 5 day of February, 2002 at Tagbilaran City,
Bohol, Philippines. Further, I certify that I personally examined the herein affiant that she
voluntarily executed and fully understood his statements.

Administering Officer
Atty. Lansones Mambajao
Roll No. 000000-2002
IBP No.0000000-5/2/02
TR No. 0000000- 5/2/02
LE Compliance III No. 00000

Page 3 of 3
REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
FOURTH JUDICIAL REGION BRANCH 7
TAGBILARAN CITY

PEOPLE OF THE PHILIPPINES CRIMINAL CASE NO. 01


Plaintiff.

-versus-

RICHARD RICARDE For: RAPE


Accused.
x-----------------------------------------x

JUDICIAL AFFIDAVIT
OF DR. ROY CAMARILLO

This judicial affidavit is executed to serve as his direct testimony in the instant case. This
judicial affidavit is offered to prove:

1. All the allegation in criminal case no. 01 entitled PP vs. RICHARD RICARDE;
2. Including all annexes appended thereto, which I respectfully requests to be
correspondingly marked as exhibits in this case;
3. All matters related thereto, with reservation to present additional exhibits in the
course of the proceedings of the instant case.
Questions were propounded by plaintiff’s counsel, Atty. Sharon Grace T. Vale in Tagalog, or in
English which the affiant fully understands, and answers were given by Dr. Roy Camarillo in
English :

1. Q: Do you swear to tell the truth and nothing but the truth?
A: I do.
2. Q: Are you aware that you may face criminal liability for false testimony or perjury if
you will not tell the truth?
A: I am.
3. Q: Please state your name, age, residence address and occupation?
A: I am Dr. Roy Camarillo, 42 years of age, a resident of Brgy. Poblacion, Corella, Bohol
and I was the assigned doctor in the Municipal Health Center at Sta. Rosa, Corella,
Bohol.
4. Q: Did you know the complaint Anthony Tukon?
A: Yes, he is my patient.
5. Q: Did you know why Anthony Tukon being examined?
A: Yes.
6. Q: What was that?
A: Because one of the finger of the accused was inserted in the anus which was the
cause of the pain felt by Anthony Tukon.
7. Q: How do you know that it was his finger being inserted to his anus?
A: According to my examination, even f there was no sign of trauma in his anal orifice
and also negative of spermatozoa, it can be determine by the examining his internal
anus part and other substance produced in the insertion.
8. Q: After the examination, what substance did you found in his anus?
A: There was a small amount of skin found in his anal orifice.
9. Q: Do you know where it came from?
A: Yes, according to the examination while we compared the substance found and the
accused was the same. During that incident, while the accused inserted his finger to
the victim, he doesn’t know the fact that he got change skin at the time.
--------------------------------------------END OF STATEMENT--------------------------------------------------------
Page 1 of 2
IN WITNESS WHEREOF, I hereunto set my hand below this 5 day of February, 2002, at
Tagbilaran City, Bohol, Philippines.

Dr. Roy Camarillo


Affiant

SUBCRIBED AND SWORN to before me this 5 day of February, 2002 at Tagbilaran City,
Bohol, Philippines. Further, I certify that I personally examined the herein affiant that he
voluntarily executed and fully understood his statements.

Administering Officer

Atty. Lansones Mambajao


Roll No. 000000-2002
IBP No.0000000-5/2/02
TR No. 0000000- 5/2/02
LE Compliance III No. 00000

ATTESTATION CLAUSE
The undersigned Atty. Sharon Grace T. Vale of legal age, single and with law office
address in Tagbilaran City, Bohol, on my oath as legal counsel of the affiant , hereby depose
and states:
1. That I have personally conducted the foregoing examination to the witness-affiant
in the above case;

2. That I have faithfully recorded and translated into English languages asked of his
and the corresponding answers that he gave in response to the questions asked;
3. Neither I nor any other person/s coached this witness-affiant regarding the
answers given by him.

IN WITNESS WHEREOF, IN WITNESS WHEREOF, I hereunto set my hand below this 5


day of February, 2002, at Tagbilaran City, Bohol, Philippines.

Atty. Sharon Grace T. Vale

SUBCRIBED AND SWORN to before me this 5 day of February, 2002 at Tagbilaran City,
Bohol, Philippines. Further, I certify that I personally examined the herein affiant that he
voluntarily executed and fully understood his statements.

Administering Officer
Atty. Lansones Mambajao
Roll No. 000000-2002
IBP No.0000000-5/2/02
TR No. 0000000- 5/2/02
LE Compliance III No. 00000

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