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GARCIA
Unit N, 2nd Floor, FRC Building
Pastor Avenue, Pallocan West, Batangas City
Tel. No. 984-4827 or 706-2577; Mobile No. 0920-9818552
E-mail: garciajaero@yahoo.com
MARILOU M. ASINAS
San Ignacio, Rosario, Batangas
Rosario, Batangas 4225
According to our client, you incurred the abovementioned indebtedness through a Real
Estate Mortgage wherein you constituted as loan collateral that certain real property
containing an area of 500 square meters, together with all improvements existing
thereon, presently located in Brgy. San Ignacio, Rosario, Batangas and covered by Transfer
Certificate of Title No. T-123410 and Tax Declaration No. 041-00150.
Despite repeated demands made upon you by our client, you still failed and refused to pay
your loan obligations as mentioned above. Accordingly, LAST AND FINAL DEMAND is
hereby made upon you to immediately settle and pay in full your indebtedness to our client
within ten (10) days from receipt of this letter. Otherwise, much to our regret, we will initiate
any and all legal action including but not limited to the FORECLOSURE of the real estate
mortgage in order to protect the rights and interest of our client.
JAERO P. GARCIA
For the Firm
ATTY. JAERO P. GARCIA
Unit N, 2nd Floor, FRC Building
Pastor Avenue, Pallocan West, Batangas City
Tel. No. 984-4827 or 706-2577; Mobile No. 0920-9818552
E-mail: garciajaero@yahoo.com
February 6, 2019
JEANETH M. RAMOS
Kumintang Ibaba
Batangas City 4220
BUENO R. MORALES
Kumintang Ibaba
Batangas City 4220
According to our client, AIDA R. SANDL incurred the abovesaid indebtedness through a
Real Estate Mortgage wherein you constituted as loan collateral that certain real property
containing an area of 192 square meters, together with all improvements existing
thereon, presently located in Brgy. Sambat, Batangas City and covered by Transfer
Certificate of Title No. 052-2012001590 and Tax Declaration No. 053-06565.
On the other hand, you participated in the said loan as maker and co-maker, for which you
are jointly and solidarily liable to pay the said indebtedness.
Despite repeated demands made upon you by our client, you still failed and refused to pay
the loan obligations as mentioned above. Accordingly, LAST AND FINAL DEMAND is
hereby made upon you to immediately settle and pay in full your indebtedness to our client
within ten (10) days from receipt of this letter. Otherwise, much to our regret, we will initiate
any and all legal action including but not limited to the FORECLOSURE of the real estate
mortgage in order to protect the rights and interest of our client.
JAERO P. GARCIA
For the Firm