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HIPOLITO TUAZON VILLANUEVA

LAW OFFICES

ELFREN P. HIPOLITO JR. ELVIRA M. CALLENA


MARIA IMELDA Q. TUAZON Office Manager
CARLOS D. VILLANUEVA

HAZEL B. PANTIG
CAROL DEANG-TAN
JHOANNA MARIEKAR V. DE GUZMAN

16 April 2015

CENTRAL COUNTRY ESTATE, INC.,


Unit 3 Corporate House Building,
239 Boni Serrano St., Quezon City

Thru: MR. JODAN D. PARAS/


ENGR. ALEX DAVID

Re: Delay in the construction of residential property in


Woodbridge Village, The Lakeshore, Mexico,
Pampanga

Dear Gentlemen:

Our client, SPS. GETULIO E. RIVERA and NOEMI S. RIVERA has referred
to us for appropriate legal action the matter of the delay in the completion of their
residential house at Block 17, Lot 32 Woodbridge Village, The Lakeshore, Mexico,
Pampanga.

Based on the records presented to us, our client entered into a House
Construction Contract with your office for the construction of a residential house in
the above-mentioned subdivision; copy of said contract is hereto attached for your
easy reference. Pursuant to the said contract, the construction shall be substantially
finished within eight (8) to ten (10) months from the start thereof. Per information
provided us, the construction of the residential house of our client was commenced
sometime July 2014.

In March 2015, the project is already at 60% construction completion.


However to this date, no substantial development was done in the project from the
last inspection. It is clearly visible that if the construction goes at the same speed
then it is likely that the same would not be complete within the agreed period – until
May 2015.

Ground Floor, Angeles Business Center,


Nepo Mart Complex, Angeles City, Philippines
Landline: 436-1761
HIPOLITO TUAZON VILLANUEVA LAW OFFICES

In view thereof, demand is hereby made upon you to give our client a
progressive report on the completion of the project within ten (10) days from receipt
hereof. Further, demand is hereby made upon you to speed up the construction to
meet the deadline agreed upon without sacrificing quality of the project. Otherwise,
we shall be constrained to take all legal actions necessary to protect the interest of
our client, which shall invariably prove more costly on your part.

Please be guided accordingly

Very truly yours,

ATTY. JHOANNA MARIEKAR V. DE GUZMAN

At our instance:

SPS. GETULIO E. RIVERA AND NOEMI S. RIVERA