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13 November 2013 MR. JUN MIRANDA No. 9 West Aguila Green Cross Subdivision, Quezon City Dear Mr.

Miranda, This letter is sent upon authority of our client MR. IAN ALBA, owner of the house and lot located at No. 9 West Aguila, Green Cross Subdivision, Quezon City. Please be informed that you have failed to pay and still continue to refuse to pay your rental for SIX (6) MONTHS, which have now amounted to THREE HUNDRED THOUSAND PESOS (Php 300, 000.00). We are reminding you that our client has sent you a number of demand letters asking you to pay your rentals and to vacate the premises. However, the same letters have been left unanswered. Let it be known then, that this letter is our clients FINAL DEMAND for you to PAY YOUR ACCOUNT within FIVE (5) DAYS from receipt and to VACATE THE premises within FIFTEEN (15) DAYS from receipt of this notice. Otherwise, you left our client with no choice but to commence suit to protect his interests. Respectfully yours, ATTY. JEFFREY C. WINGER GCC Law Office rd 23 F, Greendale Bldg., Left St., Bacolod City TEL/FAX: +634-444-2584

Republic of the Philippines MUNICIPAL TRIAL COURT IN CITIES


6th Judicial Region Branch 43, Bacolod City

IAN ALBA,

Plaintiff,

- versus JUN MIRANDA, Defendant. x ----------------------------------- x

Civil Case No. 81349 For: Ejectment

COMPLAINT
PLAINTIFF, by counsel, respectfully states that: 1. Plaintiff is a Filipino, of legal age, single and currently resides at 23 Breech St., Bacolod City; Defendant is a Filipino, of legal age, single and current resident of No. 9 West Aguila, Green Cross Subdivision, Quezon City, where he may be served with summons and other pertinent processes. 2. Plaintiff owns that property located at No. 9 West Aguila, Green Cross Subdivision, Quezon City which it leased to defendant for a term of two years starting on May 1, 2013, at a monthly rate of P 50,000. 3. Defendant, however, has not paid his rent for six (6) months from January 1, 2013 to June 30, 2013. 4. Despite demand duly made and received, defendant has refused to vacate the premises and continues to occupy the property without plaintiffs consent. 5. Defendants act of dispossession has caused plaintiff to suffer material injury. Defendants continued occupation of the premises has also forced plaintiff to sue and to incur legal expenses amounting to Fifty Thousand Pesos (P50, 000.00).

PRAYER WHEREFORE, plaintiff respectfully prays for judgment in its favor by ordering defendant to vacate the property and peacefully turn over possession to plaintiff and for defendant to pay plaintiff the amount of Three Hundred Thousand Pesos (P 300,000) representing rentals of the house and lot for six (6) months and Fifty Thousand Pesos (P50,000.00) for Attorneys fees. Other just and equitable reliefs are also prayed for. Respectfully submitted. Bacolod City; 14 December 2013.

JEFFREY C. WINGER
23rd F, Greendale Bldg., Left St., Bacolod City PTR No. 239087 B. C. Dec. 15, 2009 IBP No. 56780123 B. C. Dec. 15, 2009 ROLL OF ATTORNEYS NO. 65789

REPUBLIC OF THE PHILIPPINES } CITY OF BACOLOD } S.s. x==========================x VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING I, IAN ALBA, of legal age, after having been duly sworn in accordance with law, depose and state that: 1. I am a plaintiff in the above-stated case; 2. I caused the preparation of the foregoing complaint; 3. I have read the contents thereof and the facts stated therein are true and correct of my personal knowledge and/or on the basis of copies of documents and records in my possession; 4. I have not commenced any other action or proceeding involving the same issues in the Supreme Court, the Court of Appeals, or any other tribunal or agency; 5. To the best of my knowledge and belief, no such action or proceeding is pending in the Supreme Court, the Court of Appeals, or any other tribunal or agency; 6. If I should thereafter learn that a similar action or proceeding has been filed or is pending before the Supreme Court, the Court of Appeals, or any other tribunal or agency, I undertake to report that fact within five (5) days therefrom to this Honorable Court. IAN ALBA Affiant SUBSCRIBED AND SWORN TO before me in the City of Bacolod on this 14th day of December 2013, affiant exhibiting before me his Drivers License no. 10113913 issued on January 23, 2013 in Bacolod City. JEFFREY C. WINGER
23rd F, Greendale Bldg., Left St., Bacolod City PTR No. 239087 B. C. Dec. 15, 2009 IBP No. 56780123 B. C. Dec. 15, 2009 ROLL OF ATTORNEYS NO. 65789 Doc. No. 23; Page No. 10; Book No. 11; Series of 2013.

Case B
1. Remedies: File a petition for nullity of marriage and support and custody of their child File a Petition for Habeas Corpus of her child and Protection order under RA 9262

2. Outline: I. Preparations for Petition Obtain police report of the incident and medical certificate for the treatment of her injuries Machine copy of Marriage Certificate Machine copy of Birth Certificate of child File a Petition for Habeas Corpus File an Ex Parte Motion for Permanent Protection Order

II. III.

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