Republic of the Philippines)
__________,________) s.s
x---------------------------------x
AFFIDAVIT OF WITNESS
I, Mr. Jack E. Bagbaga, of legal age, single, resident of 123 A Purok 1 Pinsao Pilot Project,
Baguio City, after having sworn in accordance with law, do hereby depose and state that:
1. I was present at the crime scene during the commission of the crime committed by the suspect
against the victim and I was able to personally see the act of the suspect firing shots towards the
victim.
2. On May 5, 2018 at around 9 o'clock in the evening, Nestor De la Torre y Urdas, the victim, and
I met at the Botanical Garden to have a chat regarding our plan to venture into business together.
3. At 10:00 o'clock of the same day and at the same place, while we were having a chat as we were
walking towards the entrance/exit of the Botanical Garden to go home, two men walked towards
us and one of those men, the suspect, brought out a gun pointing towards the victim. The suspect
immediately pulled the trigger and fired the gun three times against the victim which caused him
to fall down the ground.
4. The suspect and his companion hurriedly escaped and rode a red Honda Civic car parked outside
the entrance of Botanical Garden.
5. Shocked by the incident, I checked upon the victim who was unconscious whose abdomen was
extremely bleeding.
6. I shouted for help but to no avail.
7. About few minutes after, a police car parked and ran towards us.
I executed this affidavit to attest the truthfulness of the foregoing facts and to support the filing of
Criminal Case of Murder against Alakdan D. Magiba, the suspect.
IN WITNESS WHEREOF, I hereby affix my signature this 10th day of May 2018 at Baguio
City, Philippines.
Affiant
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REPUBLIC OF THE PHILIPPINES
PROVINCE OF CAVITE) S.S
MUNICIPALITY OF GEN.E AGUINALDO
x-----------------------------------------------------x
AFFIDAVIT OF BUSINESS CLOSURE
I, JACQUELINE GLORIANI DE TAZA, Filipino, of legal age and with residence and postal
address at 44 Mapagsangguni Street, Sikatuna Village, Quezon City, after having been duly sworn
in accordance with law, hereby depose and say:
1. That I am the legitimate owner of De Taza's Snack House located Pascual Poblete Street, Brgy.
Gombalza, Naic, Cavite;
2. That such business has not been operational due to its closure last November 15, 2016;
3. That such business has been closed because of the expiration of the lease contract;
4. That I am executing this Affidavit to attest the truth and for whatever legal purpose this may
serve and specifically for compliance purposes as required by the Business Permit and Licensing
Office of the Municipality of Naic, Cavite.
IN WITNESS WHEREOF, I have hereunto set my hand this 17th day of January 2017 at Gen. E.
Aguinaldo, Cavite, Philippines.
Affiant
SUBSCRIBED AND SWORN TO BEFORE ME, a Notary Public for and in the Province of
Cavite this 17th day of January 2017. Ms. Jacqueline G. De Taza personally came and appeared,
known to me as the same person who personally signed the foregoing instrument before me and
avowed under penalty of law to the whole truth of the contents of said instrument.
Doc. No.
Page No.
Book No.
Series of 2017.
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AFFIDAVIT OF LOSS
I, LUISITO F. BATICANO, JR., of legal age, Filipino, single and a resident of Block 112 Lot 8,
Phase 2 C II Karangalan Village, Pasig City, after having been duly sworn to in accordance with
law, depose and state THAT:
1. I am a duly licensed driver in accordance with pertinent Land Transportation laws, rules and
regulations, and was issued a corresponding Non- Professional Driver's License with number D16-
05-301715 which is valid until January 13, 2008;
2. Sometime in October 2011, said driver's license was misplaced and got lost;
3. Efforts were exerted to locate said driver's license, but in spite of diligent search, it could not be
found and the same is now beyond recovery;
4. Said Driver's License has not been confiscated by the LTO, Police or other Traffic Enforcers for
any traffic violation;
5. As such, I am executing this Affidavit of Loss to attest to the truth of the foregoing and to support
my application for the issuance of a new Non - Professional Driver's License, in lieu of the one
that was lost;
IN WITNESS WHEREOF, I have hereunto set my hand this 30th day of May 2014 in Pasig City,
Metro Manila, Philippines.
LUICITO F. BATICANO, JR.
AFFIANT
SUBCRIBED AND SWORN TO before me this 30th day of May 2014 in Pasig City, Philippines,
affiant exhibiting to me his competent evidence of identity by way of Voter's I.D VIN 7403-
0660BA1387LFB10000 issued at Pasig City.
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Republic of the Philippines)
Taguig City) s.s
x---------------------------------x
AFFIDAVIT OF COMPLAINT
The UNDERSIGNED, Sarah De Guzman, accuses Roberto Cruz, of THEFT, committed as
follows, to wit:
That on June 21, 2017, at about eight o'clock in the morning, in the residence of the complainant
in Brgy. 123 Lower Bicutan, Taguig City, Philippines, the said accused did then and there willfully,
unlawfully, feloniously, and by means of taking of personal property, committed THEFT, upon the
undersigned directly by overt acts to wit:
1. The accused visited the house of the complainant, looking for the of complainant's husband,
Ronald De Guzman, saying that they have a friend to meet that day of June 21, 2017;
2. The complainant let the accused enter their house and asked him to stay in the sofa of their living
room while waiting for their husband;
3. The complainant asked the accused whether he wants something to drink while waiting for her
husband;
4. When complainant has prepared the drink for the accused while waiting, she found out that her
Gucci wallet containing cash amounting to thousand pesos (P10,000.00), various IDs and credit
cards and her cellphone, Iphone X, that she left at the table near the sofa were gone.
5. That complainant is very much sure that no one has entered their house except the accused.
6. Upon inquiry with the accused, he denied having taken these mentioned personal properties.
The undersigned executed this affidavit to attest the truthfulness of the foregoing facts and to
support the filing of Criminal Cases against Roberto Cruz for violations of Article 308 of the
Revised Penal Code for the crime of THEFT.
Executed this 30th day of June, 2017.
Sarah De Guzman
Offended Party
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SUBSCRIBED AND SWORN to before me this 30th day of June, 2017 at Taguig City. I
HEREBY CERTIFY that I have personally examined the herein offended party and I am satisfied
that they voluntarily executed and understood their given affidavit.
Philip Briones
PUBLIC PROSECUTOR
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REPUBLIC OF THE PHILIPPINES)
CITY OF MANDAUE) S.S
AFFIDAVIT OF SUPPORT
I, BERNIE B. BITON, of legal age, married, Filipino, and with resident and postal address at
SD Ybanez Private Road, FB Cabahug St., Mandaue City, Cebu, Philippines after having been
duly sworn to in accordance with law, do hereby depose and say:
1. That I am the father of HELEN MAY R. BITON, who was born on May 1, 1981 in Polomolok,
South Cotabato.
2. That Helen May Biton will undergo schooling at Metro College of Technology, Pty. Ltd. 478
Logan Road, Greenslopes, Brisbane, Queensland, Australia 4120;
3. That I support her financially on her studies in the said school until she finishes her course
including her stay in Australia;
4. That I have the capacity to support her financially on her studies in the said school and the funds
I have put in evidence are available to cover the costs of her education and living in Australia for
the full period of her studies there;
5. That I am executing this affidavit in order to attest to the truth of the foregoing and for the
purpose of her application for Student Visa in the Australian Embassy, Makati, Manila.
IN WITNESS WHEREOF, I have hereunto affixed my signature this 12th day of September,
2014 in Cebu City, Philippines.
BERNIE B. BITON
Affiant
SUBSCRIBED AND SWORN TO before me this 12th day of September 2014, at Mandaue City,
Cebu, personally to me and with affiant showing to me his ID as shown above with picture and
signature as competent evidence of identity under the 2004 RULES OF NOTARIAL PRACTICE.
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DEPOSITION OF WITNESS
Republic of the Philippines
REGIONAL TRIAL COURT
Branch 33, Buenavista
PEOPLE OF THE PHILIPPINES SEARCH WARRANT NO. 10359
Plaintiff
-versus- For
Apryl Love S. Maraon Violation 28 (B) Republic
Respondent Act 10591 of Section 1 Republic Act 9516
x------------------------x
DEPOSITION OF WITNESS
We, the undersigned after having been duly sworn to testifies, as follow:
A- What are your name and other personal circumstances?
A-We are SPO2 Cyrah Jin Malaque and SPO3 Phoebe Marize C. Durada both of legal ages,
and single and presently assigned with the Buenavista Police Station 2.
A- Do you know Police Senior Inspector James Gavarro, the applicant for Search Warrant?
A- Yes your Honor, he is the Chief of Police
A- Do you know the premises of Apryl Love S. Maraon
A- Yes your Honor she is residing in P-1 Rizal Buenavista
A- Do you have personal knowledge that in said premises the following properties are being
kept, being used or intended to be used without proper documents, to wit:
1.) Three (3) pieces of hand grenade
2.) Dynamite and other materialsused in making the same.
3.) One (1) unit M16 (Armalite) rifle
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A-Yes your honor
A-Do you know who is or who is the person or persons who have or have control of him above-
described properties?
A-Yes your honor, her name is Apryl Love S. Maraon, 30 years old, female, single, waitress, and
a resident of P-1 Rizal Buenavista.
A-How did you know that the said properties are kept in his/her premises which are subject of the
offense?
A-We conducted discreet surveillance and it was confirmed that Ms. Apryl Love Maraon is
keeping Three (3) pieces of hand grenade, Dynamite and other materialsused in making the same,
One (1) unit M16 (Armalite) rifle in her residence.
SPO2 Cyrah Jin Malaque SPO3 Phoebe Marize C. Durada
Affiant Affiant
SUBSCRIBED AND SWORN to before me this February day of 21, 2023 at Buenavista
Municipality Philippines.
Hon. Roger A. Barrios
Judge
8
Republic of the Philippines)
Quezon City, Metro Manila) s.s
AFFIDAVIT OF DENIAL
I, MARK ANTHONY SORIANO Y SARMIENTO, of legal age, Married, Filipino Citizen, and
a resident of 22 - A Callejon II Street, Bgy. San Juan, Taytay, Rizal, after having been duly sworn
to in accordance with law, do hereby depose and say:
1. That I am a petitioner for probation in Criminal Case No. 147544 for Slight Physical Injuries,
Metropolitan Trial Court Branch 43 - Quezon City;
2. That Records Check from the National Bureau of Investigation (NBI) reveal that the following
Criminal Cases were filed against MARK ANTHONY SORIANO, as follows:
2.a SORIANO, MARK ANTHONY (no middle initial/name) @ Kirat Brgy. Parayao,
Binmaley, Pangasinan
Unjust Vexation
CC# 152010
Municipal Trial Court - Binmaley, Pangasinan
Filed 04-16-2010
Charged
2.b SORIANO, MARK ANTHONY (no middle initial/name) Sitio Opias, Brgy. Bacnar, San
Carlos City, Pangasinan
Wanted for Robbery
CC# SCC-5727
Regional Trial Court Branch 56 San Carlos City, Pangasinan
Filed 05-17-2010
2.c SORIANO, MARK ANTHONY (no middle initial/name)
37 Ipil St., Marikina Heights, Marikina City
Wanted for Qualified Theft
CC# 01-21737
Regional Trial Court Branch 74 - Antipolo, Rizal
Filed 08-19-2002
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2.d SORIANO, MARK ANTHONY (no middle initial/name)
Brgy. Calius Gueco, Concepcion, Tarlac
Wanted for Viol. of Sec. 5 (B) of RA 7610
CC# 4435-11
Regional Trial Court Branch 66 - Capas, Tarlac
Filed 12-13-2011
3. That I am not the same person stated in the above-mentioned cases 2.a to 2.d as revealed in the
result of Records Check from the NBI;
Affidavit of Denial
Mark Anthony Sarmiento Soriano
p2
4. That I have never been a resident of nor have settled in Binmaley and San Carlos City, both in
Pangasinan; Capas, Tarlac; and Antipolo, Rizal, except in my place of residency (Taytay, Rizal);
5. That I have never been accused and charged of any case except for my case-at-bar;
6. That I am executing this Affidavit to attest to the truth of the foregoing facts stated therein.
IN WITNESS WHEREOF, I have hereunto affixed my signature this day of June 2013, in
Quezon City, Philippines.
Affiant further sayeth naught.
MARK ANTHONY SARMIENTO SORIANO
Affiant
SUBSCRIBED AND SWORN to before me this __________________ in Quenzon City,
Philippines
10
Republic of the Philippines)
MAKATI CITY) s.s.
x----------------------------------x
AFFIDAVIT OF ARREST
We, SP01 Antonio Rodriguez and P02 Manuel Santos, both members of the Philippine National
Police, presently assigned at the Makati City, Police Station, do hereby depose and state THAT:
01. That on or about 11 o'clock in the evening April 25, 2008, I, 2nd affiant received a report thru
a phone call from Jose Garcia, security guard of Fiamma Bar in Jupiter St., Makati City, that an
alleged trouble in progress at Fiamma Bar.
02. That immediately after receiving the report, we proceeded in the reported place and that thereat,
we saw the persons of Baron Geisler, Patricia Martinez and Jose Garcia.
03. That upon interview on Patricia Martinez - she alleges that Baron Geisler committed an act of
lasciviousness with Patricia Martinez, by touching her breast and left thigh.
04. That we invited Baron Geisler to go with us in the Police Station to clarify things which he
readily acceded.
05. That we informed Baron Geisler that he is being held for allegedly committing acts of
lasciviousness and apprised him of his Constitutional Rights as stated in the Miranda Doctrine. We
then brought and indorsed the case for proper investigation.
06. IN TRUTH TO THESE WE HEREUNTO affixed our signatures below to the truthfulness of
the foregoing.
SPO1 Antonio Rodriguez PO2 Manuel Santos
1st Affiant 2nd Affiant
SUBSCRIBED AND SWORN to before me this Makati City, Philippines. day of at Makati City,
Philippines
RODRIGO DELA CRUZ
Police Inspector
Oath Administering Officer
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