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REPUBLIC OF THE PHILIPPINES

METROPOLITAN TRIAL COURT


6TH JUDICIAL REGION
BACOLOD CITY, BRANCH 6

JUANA,
Plaintiff,
-VERSUS-

CIVIL CASE NO. ____


FOR: EJECTMENT

MARIO,
Defendant.
x------------------------------------x
COMPLAINT
COMES NOW the plaintiff by the undersigned counsel and unto this
Honorable Court, respectfully avers:
1. That plaintiff is of legal age, Filipino, single, and a resident of
Apartment unit 25-A, Lacson St., Bacolod City;
2. That plaintiff is the absolute owner and lessor of the certain apartment
building situated at Lacson St., Bacolod City;
3. That defendant, Mario, is a tenant of said apartment building, and is
occupying Apartment Unit 25C, under the express obligation of
paying a rent in the amount of Php 4,285 per month, payable on or
before the 5th of each month;
4. That plaintiff has several times demanded of the defendant to vacate
the said apartment unit and to pay the sum of Php 30,000 for back
rentals, the last demand having been made to him personally and in
writing more than two (2) weeks before the filing of this complaint.
WHEREFORE, it is respectfully prayed that, after due hearing, judgment
be rendered in favor of the plaintiff:
1. For the restitution of the above-mentioned premises;
2. For the payment of Php 30,000, representing the arears of rent now
overdue, with legal interest from the filing of this complaint, and cost
of suit.

Such other relief as may be just and equitable under the premises are
likewise prayed for.
Bacolod City, February 11, 2015.
JARVY M. PINONGAN
Counsel for PLAINTIFF
Goldcrest Village, Brgy. Bata, Bacolod City
P.T.R. No. _______ * Bacolod City * January 11, 2015
I.B.P No. ______ __* Bacolod City * January 10, 2015
MCLE No.______ __* Bacolod City * January 10, 2012
Roll No. _____

VERIFICATION AND CERTIFICATION OF NON-FORUM


SHOPPING
I, Juana, of legal age, Filipino, single, and a resident of Apartment
Unit 25-A, Lacson St., Bacolod City, under oath declare that:
1.

I am the plaintiff in the above-entitled case;

2.

I have caused the preparation of this complaint;

3.
I have read it and its contents are true and correct of my personal
knowledge and/ or based on authentic records.
4.
I have not earlier commenced a similar action against the defendant
for the same cause with any other court, tribunal or quasi-judicial agency;
and if I should learn that a similar action or proceeding has been filed or is
pending before any other court, tribunal or quasi-judicial agency, I hereby
undertake to notify this Honorable Court within five (5) days from such
notice.

(sgd.) JUANA

JURAT
SUBSCRIBED AND SWORN to before me this 11TH day of
February 2015 at Bacolod City, Negros Occidental. Affiant presented to me
her Drivers License with License No. F01-48-011415 expiring on 2016-1115.

JARVY M. PINONGAN
Notary Public
Commission Serial No.______
Notary Public for Bacolod City
Goldcrest Village, Brgy. Bata, Bacolod City
P.T.R. No. ___ Bacolod City 02/11/2015
I.B.P. No._____ Bacolod City 02/11/2015
MCLE No.____Bacolod City 02/11/ 2015
Roll No. _____

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