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Affi Dav

The document contains multiple affidavits involving Van Kyle G. Cabotot, including an Affidavit of Loss for a misplaced passport, an Affidavit of Denial regarding unauthorized access to his email, and a Rejoinder-Affidavit denying allegations in a case of estafa. Additionally, it includes a Counter-Affidavit from his spouse, Piolo Pascual, refuting claims of surveillance, and an Affidavit of Witness related to a criminal case. The various affidavits serve to clarify legal matters and assert the truth of the affiant's statements.
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0% found this document useful (0 votes)
14 views13 pages

Affi Dav

The document contains multiple affidavits involving Van Kyle G. Cabotot, including an Affidavit of Loss for a misplaced passport, an Affidavit of Denial regarding unauthorized access to his email, and a Rejoinder-Affidavit denying allegations in a case of estafa. Additionally, it includes a Counter-Affidavit from his spouse, Piolo Pascual, refuting claims of surveillance, and an Affidavit of Witness related to a criminal case. The various affidavits serve to clarify legal matters and assert the truth of the affiant's statements.
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
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Republic of the Philippines)

City of Tabuk )S.S.

AFFIDAVIT OF LOSS

1, VAN KYLE G. CABBOTOT, of legal age, Filipino, single, and with residence atBarangay. 94, Bulanao Centro,
Tabuk City City, after being duly sworn to in accordance with law, hereby depose and state:
1. That I was issued a Philippine Passport by the Department of Foreign Affairs RVIII;

2. That a month ago, said passport was misplaced and got lost;

3. That despite diligent search and effort to locate the said passport, I could not find the same such that I

now believe that it is now lost beyond recovery;

4. As such, I am executing this Affidavit of Loss to attest to the truth of the foregoing and for whatever

purposes it may serve.

IN WITNESS WHEREOF, I have hereunto set my hand this 14th day of November 2023 at Tabuk City,
Philippines.

VAN KYLE G. CABBOTOT


Affiant

SUBSCRIBED AND SWORN to before me this 14th day of November 2023 in Tabuk City , affiant personally
known to me.

WITNESS MY HAND AND SEAL.

Doc. No.
Page No.
Book No.
Series of 2019.
REPUBLIC OF THE PHILIPPINES)
CITY OF TABUK )S.S.
x………………………………………………x

AFFIDAVIT OF DENIAL

I, Van Kyle G. Cabbotot, 50 years, Filipino, married and a resident of 18 Dr Garcia St.,Barangay Sumilang ng
Tabuk City, after having been duly sworn to in accordance with law, depose and state:

1. That I was born on June 2, 2000 In Tabuk City;


2. That I established my permanent residence in 18 Dr Garcia St. Barangay Sumilang Tabuk City,
Philippines;
3. That I received an information and notification from my email account that on September 7, 2022 that
a certain jessicaleno09@gmail.com and Cellphone No 09977252736/09770394333 accessing my email
account and ending the same as recovery email address and number, whereby all my legal documents
and Identification Cards were uploaded through that email account;
1. That I hereby unequivocally deny involvement in whatever transaction that will occur without my
personal knowledge;
4. That I also declare under oath that I am not in any way involved in any transactions either online or
offline that may use my personal information that can be found in my email address and my lost
cellphone Samsung A12; may use my personal
5. That attached screenshots, affidavit of loss executing that my phone was lost last September 6, 2022
and my email address and other personal Information was jeopardize a day after (September 7, 2022);
and
6. That I am executing this Affidavit to attest to the foregoing facts and to deny absolutely and entirely any
involvement in the case/s aforementioned and for all legal intents and purposes.

IN WITNESS WHEREOF, I hereby affixed my signature this 10th day of January 2023 in Tabuk City, Kalinga,
Philippines.
VAN KYLE G. CABBOTOT
Affiant

SCRIBED AND SWORN to before me this10th day of January 2023 in the City of Tabuk, Kalinga, Philippines, the
affiant exhibiting to me her TIN ID with No. 383-573-449-000 as competent proof of her identity

Doc. No.
Page No.
Book No.
Series of 2022.
Republic of the Philippines.
National Police Commission
PHILIPPINE NATIONAL POLICE
NATIONAL CAPITAL REGION POLICE OFFICE
Camp Bagong Diwa, Bicutan, Taguig City
Tel No. 350-1073/pnas.com

AFFIDAVIT OF UNDERTAKING
CIC SENDING UNIT

I, Van Kyle G. Cabbotot of legal age, residing at Bulanao, Tabuk City, Kalinga a bonafide member of Philippine
National Police, designated as District C, DIDMD/Chief of Police/Chief, HRDD Training Division Head after
having duly sworn to in accordance with law, do hereby depose and state:

That I am recommending the following personnel to undergo Criminal Investigation Course, to wit;

1. PO1 Juan Dela Crus


2. PO2 Pendro Penduko, and
3. PO3 María Ciara
That, after taking the said course, I shall ensure that the following personnel shall be assigned to District
Station Investigation under my jurisdiction for at least five (5) years and shall not not be be relieved from said
unit/station for the same period provided that they are not holding a case under investigation or a witness to a
crime pending in court or for cause.
I attest to the truthfulness of these undertakings and submit to the legal and administrative consequences
thereof if ever the statements above are wanting in truth and in substance.

Van Kyle G. Cabbotot


Affiant
PNP ID No. 2018013777
Date: June 3, 2023
Place:Tabuk City Kalinga

SUBSCRIBED AND SWORN TO before me this 4th day of June 2023 at Bulanao Tabuk City, Kalinga, Philippines.
Psupt. Regie Pannogan
(Administering Officer)
Republic of the Philippines
Department of Justice
NATIONAL PROSECUTION SERVICE
Office of the City Prosecutor City

Rita Aguilar,
Complainant,
NPS Docket No.2343
FOR: ESTAFA
-versus-

Van Kyle G. Cabbotot


Respondent.
x……………………………………………………..x
REJOINDER-AFFIDAVIT

1. Van Kyle G. Cabbotot, of legal ages Filipino, and with residence and postal address at Calamba, Laguna, after
having been duly sworn to in accordance with law, do hereby state under oath, that:
1. As respondents in the instant case, I have been in receipt of the Reply dated June 18, 2023 on 19
August 2023.
2. I deny the allegations under paragraph 3 of the Reply that "the alleged APECO projects did not exist at
all as they did not materialize", for lack of knowledge to form a sufficient belief as to the truthfulness of
the same. The fact that there was a "Contract for Delivery And Payment Of Money" executed. between
the parties, which even provided for onerous interest therem, only shows that indeed, both parties
believed of the existence of the APECO project. Parties would not have entered into the said contract, if
they did not believe in such project.
3. 1 specifically deny the allegations in paragraph 4 of the Reply, the fact being that it is stated in their
Contract for Delivery and Payment of Money that the amount borrowed shall be used exclusively for
the facilitation of the APECO project. Complainant is very much aware of the need of the respondents
in borrowing the said amount from her. Parties met several times before the agreement was executed.

4. I deny the allegations in paragraphs 5 and 6 of the Reply. the fact being that the project is located in
Aurora, would only mean that the transportation and representation expenses needed would be
substantial, if not, would eat a portion of the amount borrowed. Respondents were expecting to get a
notice of award in one of the APECO project, that's why several trips were made to the project site
itself. And it never occurred to
b. On the basis of the representations of the FIRST PARTY that they will secure notices of award for the
project/s within working days from date of execution hered, they shall use the principal sum exclusively
to facilitate the on-going project's in APECO with the further agreement that upon issuance of Uut
mososary notice of award to the FIRST PARTY's contracine of cholesu, thay shall return the principal
amount of P300,000.00 phis interest equivalent to 1% of the tatal cost of the project's which the FIRST
PARTY and their contractors have secured, but in ne case later than 01 March 2013 (fifteen working
days from 08 Falesuary 2013
them that there would be an accounting, as herein complainant is now demanding, on how the amount
was used. To stress, the money was used for this purpose only and not for any other use.
5. I deny the allegations in paragraphs 7 and 8 of the Reply, the fact being that it was beyond the control
of the herein respondents when they were told to wait for further advice by the APECO people. It is for
this reason that we returned the P200,000.00 to the complainant, while awaiting for the said advice.
6. It bears stressing at this point that respondents are still seeking the compassion of the complainant to
give them more time to sort their finances and settle this problem on a more easier and reasonable
terms.
7. I am executing this Affidavit to attest to the truth of our foregoing statements, in support of our Joint
Counter Affidavit. and to rebut the allegations against us in the Complaint and Reply

IN WITNESS WHEREOF. We have hereunto set our hands this 23rd day of June 2023 at Tabuk City.

VAN KYLE G. CABBOTOT


Affiant

SUBSCRIBED AND SWORN to before me this this 23rd day of June 2023 at Tabuk City, Philippines.

CERTIFICATION
I hereby certify that I have personally examined the affiants and I am fully convinced that they voluntarily
and freely executed the foregoing Joint Rejoinder Affidavit and they understood the contents thereof.

ASSISTANT PROSECUTOR
CITY

Copy furnished:
Complainant
REPUBLIC OF THE PHILIPPINES)
TABUK CITY )S.S.
KALINGA PROVINCE )

COUNTER-AFFIDAVIT

I, PIOLO PASCUAL, 24 years of age, married to Van Kyle G. Cabbotot, and residing in Barangay Bulanao,
Tabuk City, having taken the oath of law, freely and voluntarily set forth the following:

1. From 24 March 2016 to 24 April 2016 we were building a second floor of our house;
2. My husband and I used to wake up early in the morning, my husband woke up at four in the morning
and he woke me up at five o'clock in the morning;
3. When I woke up in the morning, I used to make coffee and feed our pets on the roof of our house and
then feed our chickens that were outside the house;
4. The opposite is true of the story of the mother. Maria Linette Longan , the above mentioned routines
we do every morning we continue to do from 24 March 2016 to 24 April 2016, particularly on 31 March
2016, 4 and 5 April 2016 when the complainant says that I am spying on her;
5. Contrary to the complainant's statement, on 5 April 2016, I was just inside our house and talking to my
husband about the housework and how much more materials would be needed;
6. My husband and I were discussing how much more would be needed to decorate the exterior wall of
our house;
7. That the testimony to the photo taken by the complainant on 5 April 2016 and attached to his account
is that I just stared at the outer wall of the second floor of our house to find out how much additional
materials would be needed for the plaster;
8. I strongly deny the allegation of unjust vexation, which according to his account is based on the
surveillance that took place on 31 March 2016, 4 and 5 April 2016, because I did not cover him;
9. As further proof that I cannot make the allegation of surveillance, the said window in the complainant's
account, in which I am accused of spying, is a jalousie smoked glass window with the bottom closed
and although the top is open there is a curtain hanging and is more than four meters away from our
window;

IN WITNESS WHEREOF, I am signing this account today 20th day of July 2016 in Tabuk City, Kalinga Province.

PIOLO PASCUAL
Respondent/affiant
CERTIFICATION
SUBSCRIBED AND SWORN to before me this 20th day of July 2016 in Tabuk City, Kalinga Province. affiant
attested to the truth of the foregoing. I further certify that I have personally examined the affiant and I am fully
satisfied that he voluntarily executed the same, and fully understood the contents thereof.

LANY MENDUSA
ADMINISTERING OFFICER
REPUBLIC OF THE PHILIPPINES)
CITY OF MANILA ) S.S.
AFFIDAVIT OF DESISTANCE

I, Juan del la Cruz, of legal age, single, and a resident of # 123 Main St., Malate, Manila, after having duly
sworn to in accordance with law hereby depose and state:
1. I am the complaining witness for Serious Physical Injuries against Jesus Santos in the case
entitled "People of the Philippines versus Jesus Santos", Criminal Case No. 12345, Metropolitan Trial Court,
Branch No. 11, City of Manila.
2. After my sober and soul searching assessment and analysis of the incident, I have realized that because I
was not wearing my eyeglasses and it was dark, I can not point out, without a doubt the accused or any other
person/s who inflicted harm against me.
3. Since I could not state with certainty and without doubt the liability of Jesus Santos, in fairness to him, I
am permanently withdrawing my complaint against him. I clear him of whatever responsibility or liability to
me.
4. I hereby inform the City Prosecutor of Manila that I am withdrawing my complaint for Serious Physical
Injuries in Criminal Case No. 12345 entitled "People of the Philippines versus Jesus Santos", Metropolitan Trial
Court, Branch No. 11, City of Manila.

5. I likewise request the Metropolitan Trial Court, Branch No. 11, City of Manila to dismiss with prejudice
the said criminal case.

AFFIANT FURTHER SAYETH NAUGHT.


IN WITNESS WHEREOF, I hereby set my hand this 14th day of September 2024 at the City of Manila.

Van Kyle Cabbotot


Complaining Witness

SUBSCRIBED AND SWORN to before me this 22nd day of January 2025 at the City of Manila, Philippines.

Beyag Isaac
Public Prosecutor
Republic of the Philippines )
City of Tabuk ) s.s.
x- - - - - - - - - - - - - - - - - - - - - -x

AFFIDAVIT OF WITNESS

I, Van Kyle G. Cabbotot, age, civil status, resident of purok 3, Bulanao,


Tabuk City Kalinga, after having sworn in accordance with law, do hereby depose and state THAT:

1. That I am an employee of Chava Chenes Logistica Services shipping and receiving personnel:
2. That on 26 May 2018, I was on my way to the company when Mr. Manoban, husband of Mrs.
Manoban, called me and handed me a letter and asked me to give it to Ms. Matilda Matias De
Loon;
3. That when I arrived at the company, I went to the respective office of Ms. De Leon and gave her the
letter from Mrs. Manoban;
4. That I executed this affidavit to attest the truthfulness of the foregoing facts unil to support the
filing of criminal case against Matilda Matias De Leon, for Qualified Theft.

IN WITNESS WHEREOF I hereby affixed my signature this 22nd day of in Tabuk City, Philippines.

VAN KYLE G. CABBOTOT


Affiant

SUBSCRIBED AND SWORN to before me this 22nd day of June 2023 atTabuk City. I HEREBY CERTIFY that I have
personally examined the herein affiants and I am satisfied that they voluntarily executed and understood their
given affidavit.

Claire Gulingan
Associate Prosecution attorney II
REPUBLIC OF THE PHILIPPINES)
CITY OF TABUK ) s.s

AFFIDAVIT OF ARREST

PO3 Van Kyle G. Cabbotot of legal age, bona fide member of the Philippine National Police presently assigned
at the Tabuk City Police District as Beat Patrol with tour of duty from 8:00 AM to 8:00 P.M. daily that can be
extended in the exigency of service, after having been duly swom to in accordance with law, do hereby state
the following to wit that:

1. At around 7:00P.M. of 28 March 2020, while SPO1 Joe H. Hand and I were on Beat Patrol at JP Soriano
Street, Blueridge, Tabuk City, we saw Ms. Heart Evangel with his live-in partner "Jack" walking along the same
street when suddenly, without apparent reason and without even saying a nga word, Ms. Heart Evangel pulled
a gun tucked on her waist and pointed the gun towards us. SPO1 Joe H. Hand immediately called out the
suspect and made proper introduction as to our identity and authority to arrest.

2. After SPO1 Joe H. Hand informed the arresting person of the circumstances of her arrest and recited the
Miranda Waming and Anti-torture Warning in a dialect or language known to her, we secured and handcuffed
the suspect. We conducted thorough search for weapons and other illegal materials on the person arrested
and surroundings within her immediate control and was able to seize a Pistol Caliber 9mm Glock 17 Gen 4 with
SN PNP59566 and Mag Assy without Ammunition.

3. Afler securing the arrested person, we requested Mr. Jack Son, live-in partner of Ms. Evangel to come with
us, to bring Ms. Evangel to the police station

We brought the suspect together with the pieces of evidence at the Police Station for proper disposition. That
inside the Police Station, the suspect identified herself as Heart Mark Evangel, 35 years old, born on March 28,
1985.single laborer, native of and resident at OD-432 Purok 4. Barangay Talipapa, Tabuk City, with contact
number 09213671130.SPO1 Joe H Hand immediately reported the incident to the Tactical Operations Center
and to PSUPT Rest Hoon, Chief of Police

5. SPO1 Joe H. Hand then received the confiscated items, photographed and marked the same as evidence,
and issued a turn-over receipt in lieu thereof;

8. That I am execuling the affidavit to attest to the truthfulness of the foregoing facts and to support the filing
of a complaint against the suspect Heart Mark Evangel in violation of R.A. 10591

IN WITNESS WHEREOF, I have hereunto affixed my signature this 28th day of March 2024 Tabuk City,
Philippines

PO3, Van Kyle G. Cabbotot


Affiant

SUBSCRIBED AND SWORN to me before this 28th day of March 2023 at Tabuk City, Philippines

Stée L. Leto
Police Senior Inspector
Administering Officer
Republic of The Philipines
OFFICE OF THE EXECUTIVE JUDGE
REGIONAL TRIAL COURT
City of Tabuk
People of the Philippines ,
Plaintiff,
-versus- SW NO. 123456
FOR: Violation of RA 10591
(illegal possession of firearms)

GINO ANDREW VALENCIA


1507 ANSATACIA St. PUROK ,
BULANAO, TABUK CITY

Respondent,
X---------------------------------------------------x

REPUBLIC OF THE PHILIPPINES)


CITY OF TABUK ) s.s
X----------------------------------x

AFFIDAVIT OF ARREST

I, PCINSP Van Kyle G. Cabbotot, of legal age, married active member of the Philippine National
Police and presently designated as Chaowei NORPO located at Ayala Avem City Pohem Polka D D
kalau City, after having been duly sworn to, in accordance with the law do hereby depose and state;

1. On February 7, 2019 at about 1:30 pm, Station Intelligence Section personnel of


Makati City Police Station led by PCINSP AARON ELAGO, implemented the Search
Warrant issued by this Honorable Court for Violation of R.A. 10591 (illegal
possession of firearm) at 1027 Badas St., Barangay South Cembo, Makati City. The
implementation of the Search Warrant resulted in the arrest of four (4) suspects
including the target of the SW namely Jerald Paul Tayamora y Borda and recovery
of two (2) caliber .38 revolver, one (1) Caliber .45 airsoft pistol with one magazine,
one (1) 5.56 Air soft Rifle with one magazine and Seven (7) pieces medium heat-
sealed sachet of shabu;

2. After the arrest of the suspects, the undersigned subjected suspect Jerald for
investigation wherein he revealed the name of the leader and supplier of firearms he
is illegally selling. Suspect revealed a certain Gino, who have under his possession
and control one (1) caliber 45 pistol and one (1) 9mm and several ammunitions of
the same caliber inside his house and his private vehicle located at Anastacio St.,
Corner Antipolo St., Barangay Guadalupe Nuevo, Makati;

3. Wherefore, with this information given by suspect Jerald supported by the Spot
Report submitted by the Chief, Intelligence Section, Makati City Police Station who
implemented the Search Warrant at 1027 Badas St., Barangay South Cembo,
Makati City has reason to believe that Gino Andrew Valencia, residing at 1507
Anastacio St., Corner Antipolo St., Barangay Guadalupe Nuevo, Makati City is
involved in gunrunning activities and the above-described firearms revealed by
Jerald Paul Tayamora were under his possession and control, that is contrary to law;

4. That I am executing this Affidavit to attest to the veracity of the facts taken above
and for the purpose of supporting the application of Search Warrant;

AFFIANT FURTHER SAYETH NAUGHT;

IN WITNESS WHEREOF, have hereunto set my hand this February 2019 at Tabuk City, Philippines.

PCINSP Van Kyle G. Cabbotot


affiant

SUBSCRIBED AND SWORN TO before me this22nd of February 2024 of Tabuk City, Philippines

AW-AS DABID
Executive Judge

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