0% found this document useful (0 votes)
31 views2 pages

Ines

1. Philip P. Ines provided an affidavit stating that he has worked with George Lazaurs Alabanza as his Team Leader for over a year at STARTEK Iloilo. 2. Ines stated that Alabanza always ensured employees followed proper procedures on calls and treated all employees, including females, with respect. 3. Ines met Catherine Quinones when she joined the Midwest team and sat next to her. Ines observed that Quinones often made narcissistic comments and did not take accountability for her poor performance metrics. 4. Based on his experience working with Alabanza, Ines does not believe the allegations made by Quinones against Alabanza

Uploaded by

Poku Lot
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
0% found this document useful (0 votes)
31 views2 pages

Ines

1. Philip P. Ines provided an affidavit stating that he has worked with George Lazaurs Alabanza as his Team Leader for over a year at STARTEK Iloilo. 2. Ines stated that Alabanza always ensured employees followed proper procedures on calls and treated all employees, including females, with respect. 3. Ines met Catherine Quinones when she joined the Midwest team and sat next to her. Ines observed that Quinones often made narcissistic comments and did not take accountability for her poor performance metrics. 4. Based on his experience working with Alabanza, Ines does not believe the allegations made by Quinones against Alabanza

Uploaded by

Poku Lot
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
You are on page 1/ 2

Republic of the Philippines)

City of Iloilo ) S.S

AFFIDAVIT

I, PHILIP P. INES, of legal age, single/married, with resident address at Mandurriao,


Iloilo, City, Philippines, after having been sworn to in accordance with law, do hereby depose
and state that:

1. I am employed as Engagement Specialist in STARTEK Iloilo for ___________ years;

2. Sometime ________ to _________, George Lazaurs Alabanza (“Mr. Alabanza” for


brevity) was my Team Leader (TL) in Texas team and still my TL in Midwest;

3. He taught us about the do’s and don’ts in taking calls. He always sees to it that we will
do the right thing on all the calls;

4. He will throw jokes with us, but never malicious and had any offending comments. He
shows respect to us especially to our female co-employees;

5. Mr. Alabanza always approach us from his station or post all updates in share points;

6. I met Ms. Catherine Quinones, on the other hand, when I joined team Midwest, who
also became my seatmate;

7. We always talked about her likes and dislikes. When she sees something she she
doesn’t like, She always comments like “Hindi gid lang angayan pro” and such. She
always states that she is beautiful and we “team” will agree and just smile since we
know the fact that she is not;

8. She always gives comment from TL Pau’s team member, and she said that “time will
come, she will become sexy and beautiful. How about them? If they become chubby
and they’re not beautiful’;

9. Cath is narcissistic. We always tease her that she is deaf. That, God created equally and
no one is perfect and that makes her beautiful but deaf;

10. Since, she’s my seat mate, I always remind her of her DSAT and high AHT. She answers
me “never mind, I don’t care” and that she can always get away with it;
11. I also asked her if she have problems with Mr. Alabanza, and She will just say “never
mind”;

12. Knowing Mr. Alabanza for more than a year, he will never do such thing that will cause
conflict between him and his agents;

13. Hence, I do not believe that he could do such thing as Ms. Quinones’ alleged and that
the latter’s complaint are all lies and fabricated to get back at him because she is always
getting warnings and memoranda from our tram leader. That is why I believe that her
complaint should be dismissed.
14. In view of the foregoing, Ms. Quinones’ allegations against Mr. Alabanza are malicious
and does not have even the slightest light of truth.

IN WITNESS WHEREOF, I have hereunto set my hand this ____ of _____________ 2018
at Iloilo City, Iloilo, Philippines.

PHILIP P. INES
Affiant
ID No.:______________

SUBCSRIBED AND SWORN to before me this ____ of ______________ 2018 at Iloilo


City, Iloilo, Philippines, affiant showed me her competent proof of identity written under her
name as shown above and proved to me on satisfactory evidence to be the person who
appear before me.

Notary Public

Doc No._____
Page No. ____
Book No. ______
Series of 2018.

You might also like