Republic of the Philippines )
City of General Santos ) S.S.
x- - - - - - - - - - - - - - - - - - - -x
AFFIDAVIT OF DENIAL
I, RAY JOHN A. ZAMORA, of legal age, Filipino, single and with
residence and postal address at Prk.11 San Roque, Brgy. Lagao, General
Santos City, after having been duly sworn to in accordance with law,
hereby depose and state:
1. That I am the same person whose personal circumstances are
mentioned above;
2. That I applied for a passport before the Office of the Department of
Foreign Affairs (DFA), General Santos City;
3. That when the said passport was about to be released, the officer
from the Department of Foreign Affairs informed me that a certain
person who was also named “RAY JOHN ANDO ZAMORA”
applied for the said passport and was even released with the same;
4. That in view thereof, I hereby deny that I was not the same person
who applied for passport with the office of the Department of
Foreign Affairs, General Santos City;
5. That I am willing to submit pertinent documents to prove my identity
as “RAY JOHN ANDO ZAMORA” and to clarify issues in relation to
my application for passport;
6. That I voluntarily execute this affidavit to attest as to the truth of the
foregoing facts and circumstances and for whatever legal purpose
this affidavit can properly serve.
IN WITNESS WHEREOF, I have hereunto set my hand on this 15 th
day of October 2024 at General Santos City, Philippines.
RAY JOHN ANDO ZAMORA
Affiant
SSS No. _________________
SUBSCRIBED AND SWORN TO before me this 28th of October
2024 at General Santos City, Philippines.
ATTY. BUGBOG SARADO
Doc. No.: 123 Notary Public
Page No.: 45 PNC No.12-12
Book No.: XXX Until December 31, 2024
Series of 2024 Roll No. 11111; 1-11-11
PTR NO. 2222222;22-22-22;GSC
IBP No. 333333;11-05-24;GSC
TIN 111-222-333-General Santos City
Republic of the Philippines)
City of General Santos ) S.S.
X-----------------X
AFFIDAVIT OF LOSS
I, RAY JOHN A. ZAMORA, of legal age, Filipino, single and with
residence and postal address at Prk.11 San Roque, Brgy. Lagao, General
Santos City, after having been duly sworn to in accordance with law, hereby
depose and state:
1. That I am a bona fide holder of a Professional Driver’s License duly
issued by the Land Transportation Office, General Santos City;
2. That however, the said Driver’s License was inadvertently lost in my
possession;
3. That upon learning of its loss, I exerted due diligence and earnest
efforts to locate the same, but all proved unavailing;
4. That I firmly believe that the said Driver’s License is now beyond
recovery and considered lost for all purposes;
5. That I was not apprehended by any traffic law enforcer for violation of
traffic rules and regulations that would warrant the confiscation of my
Driver’s License;
6. That I am executing this affidavit to attest to the truth of the above
narrated facts surrounding the loss of my Driver’s License and for such
legal purposes as this may properly serve.
IN WITNESS WHEREOF, I have hereunto set my hand on this 15 th
day of October 2024 at General Santos City, Philippines.
RAY JOHN ANDO ZAMORA
Affiant
SSS No. _________________
SUBSCRIBED AND SWORN TO before me this 28th of October
2024 at General Santos City, Philippines.
Doc. No.: 123 ATTY. BUGBOG SARADO
Page No.: 45 Notary Public
Book No.: XXX PNC No.12-12
Series of 2024 Until December 31, 2024
Roll No. 11111; 1-11-11
PTR NO. 2222222;22-22-22;GSC
IBP No. 333333;11-05-24;GSC
TIN 111-222-333-General Santos City
Republic of the Philippines)
City of General Santos ) S.S.
X-----------------X
AFFIDAVIT OF DESISTANCE
I, RAY JOHN A. ZAMORA, of legal age, Filipino, single and with
residence and postal address at Prk.11 San Roque, Brgy. Lagao, General
Santos City, after having been duly sworn to in accordance with law,
hereby depose and state:
1. That I am the private complainant in the case THE PEOPLE OF
THE PHILIPPINES versus BUKANG LIWAYWAY of General Santos
City, which is docketed as I.S. No. 3256-1 for Reckless Imprudence
Resulting to Homicide now pending before the OFFICE OF THE CITY
PROSECUTOR, General Santos City;
2. That after a careful deliberation, we decided to settle the case
amicably, hence, I am no longer interested in further pursuing and
prosecuting the aforesaid case against BUKANG LIWAYWAY, either
criminally or civilly;
2. That I execute this Affidavit of Desistance to attest the truth of the
foregoing on my own free will and volition for the purpose of
seeking dismissal or signifying my intention to refrain from further
prosecuting BUKANG LIWAYWAY.
IN WITNESS WHEREOF, I have hereunto set my hand on this 15 th
day of October 2024 at General Santos City, Philippines.
RAY JOHN ANDO ZAMORA
Affiant
SSS No. _________________
SUBSCRIBED AND SWORN TO before me this 28th of October
2024 at General Santos City, Philippines.
Doc. No.: 123 ATTY. BUGBOG SARADO
Page No.: 45 Notary Public
Book No.: XXX PNC No.12-12
Series of 2024 Until December 31, 2024
Roll No. 11111; 1-11-11
PTR NO. 2222222;22-22-22;GSC
IBP No. 333333;11-05-24;GSC
TIN 111-222-333-General Santos City
Republic of the Philippines
MUNICIPAL TRIAL COURT IN CITIES
Branch 02
General Santos City
-ooOOOoo-
THE PEOPLE OF THE
PHILIPPINES, Crim. Case No. 15248
Plaintiff,
- versus - - for –
BUKANG LIWAYWAY, ESTAFA
Accused – Appellant
x- - - - - - - - - - - - - - - - - - - - - - - - - - -x
NOTICE OF APPEAL
ACCUSED-APPELLANT, through counsel, and unto this
Honorable Court, most respectfully notify that she is appealing to the
Honorable Court of Appeals, Manila, the DECISION of this Honorable
Court rendered in favor of plaintiff as against the accused in the present
case, the promulgation of said decision having been rendered in absentia
on September 30, 2004, but restoring upon accused the right to avail of
remedies provided for by law in the Order dated October 12, 2024, a copy
of which was received only on October 15, 2004.
Respectfully submitted.
General Santos City, 16 October 2004.
ATTY. BUGBOG SARADO
Counsel for the Accused BUKANG LIWAYWAY
RAZ Bldg., Niloloko St.,
9500 General Santos City
PTR No. 3333333; 1-3-11
IBP No. 111111; 10-20-24 (for 2024)
Roll No. 22222; 5-23-01
General Santos City
MCLE Compliance No. III-0012345; 05-11-2024
Copy furnished:
PROS. TAKIP SILIM
Office of the City Prosecutor
General Santos City
Republic of the Philippines)
Municipality of Maitim) S.S.
Province of Salangit )
X------------------X
COUNTER-AFFIDAVIT
I, LUPA S. LANGIT, of legal age, Filipino, married and presently
residing at Barangay Maitim, Salangit Province, after having been duly
sworn to in accordance with law, hereby depose and say:
1. That I am the same person who stands accused in Criminal
Case No. 5174-M, for Theft, filed before the Municipal Circuit
Trial Court of Kambo-Maitim, by a certain BATO S. LANGIT;
2. That I vehemently deny and strongly oppose the allegations
contained in the affidavit-complaint of the private complainant as
well the allegations of his alleged witnesses because the truth of
the matter is as follows;
a. That sometime on July 18, 2023, at about 11:00 o’clock
in the morning, I was inside our house when I saw a
group of four persons were on their way to the highway
carrying bunches of banana fruits coming from the area
or premises I owned and occupied;
b. That I was able to identify the four persons to be:
CASINO GOLE, his wife DORI, and his two other
children namely RICO and RYAN;
c. That, prior to that, at about 7:00 o’clock in the morning of
the same day, I saw CASINO GOLE cutting the banana
trees found inside my area where I planted several
banana trees; the latter was using a “Krusmata”, a kind of
farm tools, in cutting the banana trees;
d. That, after CASINO GOLE cut the banana trees, he
gathered the fruits and tied the same, put them in the big
basket; thereafter, CASINO GOLE carried the said big
basket full of banana fruits, while his wife and two
children has to carry the other banana fruits that were in
excess of the said basket, on their way to the highway;
e. That although I saw them carrying the banana fruits
coming from the banana trees I planted, I did not mind in
calling their attention because I did not want further
trouble because there were already history in the past
that my brother BATO S. LANGIT and I had to face
several cases primarily because of boundary dispute
involving my land and that of BATO S. LANGIT;
3. That it is not true that I was the one who cut the banana trees
and gathered the banana fruits and brought the same to our
house, the said acts were being committed by the group of
CASINO GOLE, who happens to be one of the men of my
brother BATO S. LANGIT;
4. That assuming, for the sake of argument, that I was the one
who cut and gathered the banana fruits complained of by my
brother BATO S. LANGIT, then I was not committing any
offense because the said banana fruits were cut and gathered
inside my area or land I owned;
5. That I firmly believe that the present accusation is part of the
continuing demolition job being employed by my brother BATO
S. LANGIT the main object of which is to oust me from the land
or area I owned so that my brother BATO S. LANGIT will enjoy
the fruits thereof out of his worldly greed; my brother BATO S.
LANGIT is employing this tactics because he pretty know well
that I could not afford to pay the services of a lawyer to counter
whatever his move is;
6. That as a matter of fact, a case of qualified theft involving
coconuts found inside on the same area or land I owned was
filed against me by my brother BATO S. LANGIT sometime in
May, 2024, but the said case was dismissed for reasons stated
therein;
7. That I voluntarily execute this affidavit to attest as to the truth of
the foregoing facts and circumstances.
IN WITNESS WHEREOF, I have hereunto set my hand and affixed
my signature on this 15th day of October, 2024 at Barangay Maitim,
Salangit Province.
LUPA S. LANGIT
Affiant
ID No.____________________
SUBSCRIBED AND SWORN TO before me on this 15th day of
October, 2024 at Barangay Maitim, Salangit Province, Philippines. And I
hereby certify that I personally examined the affiant and I am satisfied that
the same is voluntarily executed by him and that he understood the
contents thereof.
Doc. No.: 123 ATTY. BUGBOG SARADO
Page No.: 45 Notary Public
Book No.: XXX PNC No.12-12
Series of 2024 Until December 31, 2024
Roll No. 11111; 1-11-11
PTR NO. 2222222;22-22-22;GSC
IBP No. 333333;11-05-24;GSC
TIN 111-222-333-General Santos City
Republic of the Philippines)
City of General Santos ) S.S.
X------------------X
AFFIDAVIT OF REPLY
WE, CANDIDA M. DADONG and CANDIDO N. BABANG, both of
legal age, Filipino citizens, married, and presently residing at Lot 123,
Brgy. Sapuso, General Santos City, Philippines, after having been duly
sworn to in accordance with law, hereby depose and say:
1. That we are authorized representative of Fama Livelihood and
Neighborhood Movement, Incorporated (FLANM, Inc.), of Lot 123,
Brgy. Sapuso, General Santos City filed a complaint against
Barangay Captain Rolly Paranila of Barangay Sapuso, General
Santos City;
2. That in reply to the Counter-Affidavit submitted by Brgy. Paranila,
we hereby deny and vehemently opposed the allegations of the
respondent for being conclusion of facts and laws, half-truths and
nothing but mere after-thoughts for having faced the possible
indictment as provided by law;
3. That instead of answering squarely the issues raised by
complainant, the respondent raised issues that pertains to an
appropriate forum and not pertaining to his office;
4. That is must be emphasized the we requested for issuance of
barangay clearance for the purpose of renewal of registration of our
association and that instead of giving us a formal explanation why
the respondent did not issue clearance so much so that we could
make our proper moves under the circumstances, the respondent
became adamant and refused to issue such clearance without any
justifiable reasons within the period provided for by law;
5. That what the respondent did was to make a counter-affidavit and
introduce issues that are not pertaining to his office such are
alleged illegal possession of the area we are presently residing;
such issues pertain to a court of law and not to the Office of the
Barangay Captain;
6. That such matters alleged in the counter-affidavit of the respondent
are irrelevant and immaterial to the case we filed against him
because it only shows his prior intention not to issue the clearance;
in fact, we were not even copy furnished of the alleged letter
addressed to the City Housing And Land Management Office of
General Santos City
7. That it must also be noted that the communication/documents
attached to the counter-affidavit does not have the imprimatur of
the Honorable Pedro Pande Coco who has the authority to tell
whether or not the action of the Barangay Captain for not issuing
barangay clearance within the prescribed period provided for by law
and can be duly supported by such alleged certification of the said
offices;
8. That we are executing this affidavit to attest as to the truth of the
foregoing facts of the circumstances and whatever legal purpose
this may properly serve.
IN WITNESS WHEREOF, I have hereunto set my hand and affixed
my signature on this 15th day of October, 2024 at Barangay Maitim,
Salangit Province.
CANDIDA M. DADONG CANDIDO N. BABANG
Affiant Affiant
SUBSCRIBED AND SWORN TO before me on this 15th day of
October, 2024 at Barangay Maitim, Salangit Province, Philippines. And I
hereby certify that I personally examined the affiant and I am satisfied that
the same is voluntarily executed by him and that he understood the
contents thereof.
Doc. No.: 123 ATTY. BUGBOG SARADO
Page No.: 45 Notary Public
Book No.: XXX PNC No.12-12
Series of 2024 Until December 31, 2024
Roll No. 11111; 1-11-11
PTR NO. 2222222;22-22-22;GSC
IBP No. 333333;11-05-24;GSC
TIN 111-222-333-General Santos City
Republic of the Philippines
REGIONAL TRIAL COURT
Eleventh Judicial Region
Branch 22
General Santos City
-oo0oo-
PEOPLE OF THE PHILIPPINES, CRIM. CASE NO. 17899
Plaintiff,
- versus - - for –
TOLE TOLERO SLANDER (ORAL DEFAMATION,
Accused. ART 358 (1), RPC)
x - - - - - - - - - - - - -- - - - - - x
MOTION FOR RECONSIDERATION
(To the order dated 11 October 2024)
Accused through the undersigned counsel and unto this Honorable
Office, respectfully moves for the reconsideration of the Order dated
October 11, 2024 which was received on October 14, 2024, to wit:
1. That the arraignment of the accused in the above-entitled case
was set on October 11, 2024. However, accused failed to
appear before the Honorable Court when her case called, and
an Order for the issuance of a warrant for her arrest was issued
accordingly;
2. That the accused did not intend to be absent from said
arraignment, as she was in fact by the Court’s lobby, waiting for
her counsel to arrive, when her case was called. Her failure to
make her presence known to the Court was due to want of
knowledge of court proceedings;
3. That accused most respectfully requests this Honorable Court
that the Order dated October 11, 2024 be reconsidered in the
interest of substantial justice.
WHEREFORE, premises considered, it is respectfully prayed of this
Honorable Office that the Order dated October 11, 2024 for the issuance
of warrant of arrest against the accused be reconsidered in the interest of
substantial justice.
Such other reliefs that are just and equitable are likewise prayed
for.
General Santos City, Philippines, 15 October 2004.
ATTY. BUGBOG SARADO
Counsel for the Accused TOLE TOLERO
RAZ Bldg., Niloloko St.,
9500 General Santos City
PTR No. 3333333; 1-3-11
IBP No. 111111; 10-20-24 (for 2024)
Roll No. 22222; 5-23-01
General Santos City
MCLE Compliance No. III-0012345; 05-11-2024
Copy furnished:
PROS. TAKIP SILIM
Office of the City Prosecutor
General Santos City