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REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT


NATIONAL CAPITAL REGION
BRANCH 266, PASIG CITY
PEOPLE OF THE PHILIPPINES
Plaintiff.
- versus -

CRIM CASES NO.


137105-07-TG
FOR: RAPE

JASON ZAMORA
Accused.
x--------------------------------------------------x
PEOPLE OF THE PHILIPPINES
Plaintiff.
- versus -

CRIM CASE NO.


137105-07-TG
FOR: RAPE

KENNETH MANLANGIT
Accused.
x--------------------------------------------------x

JUDICIAL AFFIDAVIT
I, BEVERLY A. AZUCENA, Filipino, of legal age, married/married and with
address at

, after having been

duly sworn in accordance with law, do hereby depose and state that:
QUESTION No. 1 (Q1): What is your current profession?
Answer (A):
Q2:

Where did you go for medical school?

A:
Q3:

How long have you been practicing your profession?

A:
Q4:

Where are you presently employed?

A:
Q5:

What position do you currently hold?

2
A:
Q6:

What are the principal functions and duties of your position?

A:
Q7:

Have you examined rape victims or persons alleging to be rape victims

before?
A:
Q8:

Have you been qualified to testify as expert in the past?

A:
Q9:

Where are you currently assigned?

A:
Q10: Where were you assigned on April of 2008?
A:
Q11: What position did you hold then?
A:
Q12: What were the principal functions and duties of that position?
A:

(Prepare Clinical Abstract/Medical Certificate?)

Q13: I have here a 3-page Medical Certificate dated April 14, 2008 from the
National Center for Mental Health, was this one of those Clinical Abstracts you
have prepared?
A:
Q14: If I show you such a document will you be able to identify it?
A:
Q15: I am showing to you the document entitled Clinical Abstract, is this
familiar?
A:
Q16: At the bottom left hand side of the third page, there appears to be a name,
Beverly A. Azucena, M.D.,FPPA. Is this your name?
A:

3
Q17:

At the bottom left hand side of the third page, there appears to be a

signature above the name Beverly A. Azucena, M.D.,FPPA. Is this your


signature?
A:
Q18: Who is the other signatory Ms. Alma Maunahan-Roxas?
A:
Q19: What is your relation to her?
A:
Q20: What is your relation to the Patient?
A:
Q21: What is the purpose of the document you prepared?
A:
Q22: What is the procedure in preparing the document?
A:
Q23: May you please explain to the court your findings as it appears in that
report?
A:
(She is mildly
special

mentally retarded and that she has to undergo

training etc)
Q24: What are your basis for these findings?
A:
for

(Why was she found mildly mentally retarded as well as the purpose

the training etc.)


Q25: Based on the findings as to the mental and psychological exams, what
was your diagnosis?
A: (Based on the mental, psychological exams, she is mentally retarded..
Q26: Based on the other findings as to the physical and psychological
examinations, what was your diagnosis?
A: (based on the physical report, she was Sexually Abused)

In witness whereof, I have hereunto set my hand this


2011 in
.

day of June

BEVERLY A. AZUCENA
Affiant

No.

Subscribed and sworn to before me this


day of June 2011 in
with the affiant exhibiting to me her Identification Card
issued on
by
.

Doc. No.
Page No.
Book No.
Series of

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