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SPECIAL PROCEEDINGS

1.PETITION FOR CHANGE OF NAME


2. PETITION FOR CORRECTION OF ENTRY IN A BIRTH CERTIFICATE
3. PETITION FOR DECLARATION OF PRESUMTION OF DEATH
4. PETITION FOR GUARDIANSHIP
5. PETITION FOR HABEAS CORPUS
6. PETITION FOR VOLUNTARY RECOGNITION OF A MINOR
7.PETITION FOR ADOPTION
PETITION FOR ADMINISTRATION



















1.PETITION FOR CHANGE OF NAME

REPUBLIC OF THE PHILIPPINES
REGIONAL TRIAL COURT
BRANCH 24
Baguio City


In the Matter of change of name
of ADOLF HITLER to ADOLF CRUZ. SP. PROC. NO. ____

ADOLF HITLER,
Petitioner.
x-----------------------------------------x

PETITION


PETITIONER, by counsel and to this Honorable Court, alleges:

1. Petitioner is of legal age, single and with residence at Bakbakan,
Baguio City.

2. Petitioner was born on October 11, 1988 and his fathers name was
JIM HITLER, while his mothers name was EMILY CRUZ. His birth certificate
showed that the name given as ADOLF HITLER, true copy of which is attached
hereto as Annex A. His school records until he finished high school carried
the name of ADOLF HITLER.

3. Petitioner has no alias name.

4. The family name, which he carries, HITLER, taken together with his
first name bear is similar to the name of the infamous Leader of the NAZI party
who committed numerous atrocities , which has evoked derisive laughter
among his schoolmates and neighbors and has caused him embarrassment, in
his social and school dealings.

5. Petitioner desires to change his name from ADLOF HITLER to ADOLF
CRuZ, which is the surname of his mother, to avoid derisive laughter among his
playmates and schoolmates in high school and prevent embarrassment, as he
now intends to further his studies in college, and, after college, to marry and go
into business.
WHEREFORE, petitioner prays that after notice, publication, and hearing,
judgment be rendered changing petitioners name from ADOLF HITLER to
ADOLF CRUZ.

Baguio City, Philippines, February 13,2014.
Respectfully submitted.

_________________
Counsel for the petitioner


VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING
AND JURAT
Copy furnished: (Through registered mail).

Civil Registrar of Baguio City
New Lucban, Baguio City

Office of the CITY PROSECUTOR
Justice Hall, Baguio City

EXPLANATION





2. PETITION FOR CORRECTION OF ENTRY IN A BIRTH
CERTIFICATE
REGIONAL TRIAL COURT
FRIST JUDICIAL REGION
BRANCH 1
BAGUIO CITY

IN THE MATTER OF THE PETITION
FOR THE CHANGE OF NAME AND/
OR CORRECTION OF ENTRY IN THE
CERTIFICATE OF LIVE BIRTH OF
BABY BOY A. GARCIA,

BABY BOY A. GARCIA also known as SPECIAL PROCEEDINGS
RENZ A. GARCIA
Petitioner. Case No. ___
x----------------------------------------------------------------x



PETITION FOR CHANGE OF NAME

WITH UTMOST DUE RESPECT TO THE HONORABLE COURT.

Petitioner, by and through the undersigned counsel, with sufficient
cause, hereby avers that:

1. Petitioner RENZ A. GARCIA is of legal age, married, Filipino citizen
and a resident of #69 Irisan, Baguio City;

2. Petitioner was born on July 10, 1981 in Baguio City to the spouses
Johnny H. Garcia and Demetria L. Garcia;

3. The fact of petitioners birth was reported and recorded in the Office of
the Local Civil Registrar of Baguio City. A photocopy of his Certificate of
Live Birth is hereto attached as Annex E and made an integral part
hereof;

4. In his Certificate of Live Birth, particularly under entry No. 8 (Name of
child), petitioners first name as indicated therein was erroneously
entered as BABY BOY, instead of his supposed correct name which
should have been RENZ;

5. As a consequence of the erroneous entry with respect to petitioners first
name, inconvenience, difficulty and confusion would continuously crop
up against him in so far as his identity, relationship with his relatives and
in his dealings with third person as well as his personal, professional and
business transactions;

6. Petitioner, however, has been using as his first name, RENZ, in all his
school, professional and business records and in signing any document
as well as in representing himself to third persons;

7. In order therefore to set Petitioners Certificate of Live Birth in
conformity with his correct and true identity; an Order of the Honorable
Court is therefore needed to effect the necessary changes in his
Certificate of Live Birth.

PRAYER
WHEREFORE, premises considered, it is respectfully prayed of this
Honorable Court that after due notice and hearing, to render a judgment:

DIRECTING THE LOCAL CIVIL REGISTRAR OF BAGUIO CITY TO
EFFECT THE CORRESPONDING CORRECTION IN THE ENTRY
APPEARING IN HIS CERTIFICATE OF LIVE BIRTH BY CHANGING HIS
FIRST NAME FROM BABY BOY TO RENZ.

Such other reliefs and remedies which may be just and equitable under
the circumstances are likewise prayed for.

Baguio City, Philippines. February 15, 2014.

Respectfully submitted.

_________________
Counsel for the petitioner


VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING
AND JURAT
Copy furnished: (Through registered mail).

Civil Registrar of Baguio City
New Lucban, Baguio City

Office of the CITY PROSECUTOR
Justice Hall, Baguio City

EXPLANATION




3. PETITION FOR DECLARATION OF PRESUMTION OF DEATH


Republic of the Philippines
FIRST JUDICIAL REGION
REGIONAL TRIAL COURT
BRANCH 5
Baguio City

RE:
Petition for Declaration of Presumption of Death of
Mcdo A. Burgers
SP. PROC. NO.
___

Jollibee B. Burgers,
Petitioner.
x-----------------------------------------------------------------------x

PETITION FOR DECLARATION OF PRESUMPTIVE DEATH

Petitioner, by counsel and to this Honorable Court, alleges that:

1. The petitioner is of legal age, Filipino citizen, and a residence and postal
address at #69 Irisan, Baguio City where she may be served with
summons and other court processes;

2. The petitioner and her husband, Mcdo A. Burgers, were married to each
other, on November 26, 1992, before Fr. James Desmet, CICM, at the
Saint William the Hermit, Roman Catholic Church, San Fernando City;
Attached herewith, marked as Annex A and made an integral part of
this petition is a copy of the marriage certificate;

3. Out of the said marriage, children were born, to wit:

NICOLE MAE B. BURGERS
Born on January 8, 1994 at Baguio City

BRYAN B. BURGERS
Born on November 7, 1996 at Baguio City
- and -

JOSHUA MARTIN B. BURGERS
Born on November 8, 1998 at Baguio City

(Attached herewith, are the birth certificates of said children
correspondingly marked as Annex B, Annex C and Annex D);

4. The petitioners husband left the conjugal abode sometime in 1999 and
no news about said respondent had been received since then;

5. The common children have since been legally adopted by the petitioners
parents who are U.S. citizens and have been living in the United States
since their respective adoptions were granted;

6. The petitioner has exhausted all possible means as mandated by law to
ascertain the whereabouts of her husband but to no avail;

7. Given the lapse of time since the last news or sighting of the petitioners
husband, the latter may now be declared legally dead for all intents and
purposes;


PRAYER

WHEREFORE, premises considered, it is most respectfully prayed of
this Honorable Court, that after due notice and hearing, a decision be rendered:

a. Declaring that the petitioners husband, MCDO A. BURGERS be
declared PRESUMPTIVELY DECEASED for all legal intents and
purposes;

b. That petitioner be given such other reliefs and remedies which may be
just and equitable under the circumstances.

Baguio City, Philippines. February 17, 2014.



Respectfully submitted.

_________________
Counsel for the petitioner


VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING
AND JURAT
Copy furnished: (Through registered mail).

Civil Registrar of Baguio City
New Lucban, Baguio City

Office of the CITY PROSECUTOR
Justice Hall, Baguio City

EXPLANATION








VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING
AND JURAT





4. PETITION FOR GUARDIANSHIP


Republic of the Philippines
FIRST JUDICIAL REGION
REGIONAL TRIAL COURT
BRANCH 7
PANGASINAN

IN RE: IN THE MATTER OF
THE GUARDIANSHIP OF AN
INCOMPETENT PEPITO A. SANCHEZ
Sp. Proc. No.
________
MICHAEL SANCHEZ,
Petitioner.
x---------------------------------------------------------------x

PETITION

Petitioner, through the undersigned counsel and before this Honorable Court,
states that:

1. Petitioner is of legal age, a Filipino citizen, single and a resident of #1 Anda,
Pangasinan

2. PEPITO A SANCHEZ, whom guardianship is prayed is a 58-year-old person
suffering from severe cerebral palsy, and a resident of Anda, Pangasinan,
attached herewith is the medical certificate marked as Annex A;

3. PEPITO SANCHEZ due to the Cerebral Palsy, Which is a Permanent
physical disorder cannot, without outside aid, take care of
themselves and manage their property, becoming thereby an easy prey for
deceit and exploitation.

4. The names and residences of the relatives of PEPITO SANCHEZ are the
following:

NAME RELATION RESIDENCE
RUSSEL SANCHEZ BROTHER ANDA PANGASINAN
KEITH SANCHEZ BROTHER ANDA PANGASINAN
ALLEN SANCHEZ BROTHER ANDA PANGASINAN
BEN ILAO Jr. HALF-BROTHER AURORA HILL,
BAGUIO
JACK ILAO HALF-BROTHER AURORA HILL,
BAGUIO
MICHAEL SANCHEZ UNCLE ANDA PANGASINAN

5. PEPITO SANCHEZ has an estate of one-fourth undivided share of a parcel of
land with an area of 4 hectares (Assessed value: P24,000.00) and covered by
Transfer Certificate of Title No. T - 45678 acquired through inheritance from
his departed father PEDRO SANCHEZ and mother GENOVEVA ILAO.

6. Letters of guardianship over the person and properties are prayed for by
petitioner, who is the Uncle of the incompetent, and has been entrusted his
care by his father.


P R A Y E R

WHEREFORE, premises considered, it is most respectfully prayed of this
Honorable Court, that after due notice and hearing, the petitioner be appointed
guardian over the person and properties of PEPITO SANCHEZ and that
corresponding letters of guardianship be issued in his favor.


Such other reliefs and remedies which may be just and equitable under the
circumstances are likewise prayed for.

Baguio City, Philippines. February 13, 2014.

Respectfully submitted.


_________________
Counsel for the petitioner

VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING
AND JURAT


Copy furnished: (Through registered mail).

Civil Registrar of Baguio City
New Lucban, Baguio City

Office of the CITY PROSECUTOR
Justice Hall, Baguio City

EXPLANATION




5. PETITION FOR HABEAS CORPUS

Republic of the Philippines
FIRST JUDICIAL REGION
REGIONAL TRIAL COURT
BRANCH 2
Baguio City

MAGI SIMPSON,
Two (2) years of age,
Represented by her mother,
MARGE SIMPSON, S.P. No._______
Petitioner, For: HABEAS CORPUS

-versus-

HOMER SIMPSON and GRANMA SIMPSON,
Respondents.
x-------------------------------------------------------------x

P E T I T I O N

COMES NOW the petitioner, represented by her mother, MARGE SIMPSON,
through her undersigned counsel and unto this Honorable Court most respectfully
states that:

1. The petitioner is a minor, two years of age, and under the legal custody of and
residing with her mother MARGE SIMPSON at #69 Irisan, Baguio City while
the respondents are of legal age and are residing at Number 53-A Trancoville,
Baguio City where they may be served with processes;

2. The petitioner is the legitimate child of MARGE SIMPSON with the
respondent HOMER SIMPSON;

3. Due to several attempts made by respondent HOMER SIMPSON on the life of
his wife MARGE SIMPSON, the parties have separated with the minor child
remaining in the custody of her mother;

4. The legal custody of the said minor, being under five years of age, is vested in
MARGE SIMPSON;

5. On December 20, 2012, at about 2:30 in the afternoon, the respondent
HOMER SIMPSON, resorting to ruse and trickery, abducted with the
petitioner surreptitiously, leaving MAGI SIPMSON in a mall at Magsaysay
Avenue, Baguio City, without returning the said minor to the custody of her
mother;

6. The petitioner, in whose behalf this application is being made, is actually
restrained of her liberty by the respondent HOMER SIMPSON in the residence
of his mother GRANMA SIMPSON who has knowledge that her son is
continuously restraining the petitioner;

7. The petitioner is a child in a very delicate state of health and can easily get sick
without special care and attention;


8. The petitioner has exhausted all means allowed by law, and that she has no
other plain, speedy or adequate remedy to protect her rights except by
application for a writ of Habeas Corpus.


P R A Y E R

WHEREFORE, premises considered, it is most respectfully prayed of this
Honorable Court, that a Writ of Habeas Corpus be issued, directed to the respondents
HOMER SIMPSON and GRANMA commanding them to have the body of the minor,
MAGI SIMPSON before this Court at the time and place specified therein, and to
summon the said respondents then and there, to appear and to show the cause of the
detention of the said petitioner, and that after due proceedings, the said minor, MAGI
SIMPSON be discharged from restraint.

Such other reliefs and remedies which may be just and equitable under the
circumstances are likewise prayed for.

Baguio City, Philippines. February 13, 2014.

Respectfully submitted.


_________________
Counsel for the petitioner

VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING
AND JURAT









6. PETITION FOR VOLUNTARY RECOGNITION OF A MINOR

Republic of the Philippines
FIRST JUDICIAL REGION
REGIONAL TRIAL COURT
BRANCH 6
Baguio City



In the Matter of
Voluntary Recognition of Minor Child
MAGI SIMPSON,
SPECIAL
PROCEEDINGS
NO. _____

HOMER SIMPSON and MARGE SIMPSON,
Petitioners.
x- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -x


P E T I T I O N

WITH UTMOST DUE RESPECT TO THE HONORABLE COURT.

Petitioners, by and through the undersigned counsel, with sufficient cause,
hereby avers that:

1. Petitioners are of legal age, Filipino Citizens and with residence at #69 Irisan,
Baguio City;

2. HOMER SIMPSON is the natural father of the child MAGI SIMPSON, who is 7
years of age and lives with him and his wife MARGE SIMPSON, at the
indicated address and who, since birth, has been living with them at the above
indicated address. Petitioner and his wife have continuously recognized the
child as their legitimate child since birth, introduced him to other persons as
their child, and enrolled him as their child in the kindergarten and in the
elementary school as his legitimate child. The child has been part of any and
all family gatherings;

3. The natural mother of the child, LISA SIMPSON died during giving birth to
the child on January 30, 2006. Attached hereto is a copy of the Death
Certificate of Ms. LISA SIMPSON marked as Annex A;

4. That the petitioner, HOMER SIMPSON was never legally married to Ms. KIM
MUSTAFA as there are no records in the Local Civil Registrar that show that
the petitioner was married prior to his current marriage to Ms. MARGE
SIMPSON. Attached hereto is a certification by the Local Civil Registrar
marked as Annex B;

5. The names and residences of those who acknowledged the child, apart from
herein petitioners, and their compulsory heirs, are as follows:

APU NAZARIM - #70 Irisan, Baguio City
EDWARD BURNS - #65 Irisan, Baguio City


PRAYER

WHEREFORE, premises considered, it is respectfully prayed of this
Honorable Court that after due notice and hearing, to render a judgment approving
the voluntary recognition of MAGI SIMPSON as the natural child of the petitioners.
Such other reliefs and remedies which may be just and equitable under the
circumstances are likewise prayed for.

Baguio City, Philippines. February 13, 2014.

Respectfully submitted.


_________________
Counsel for the petitioner

VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING
AND JURAT

Copy furnished: (Through registered mail).

Civil Registrar of Baguio City
New L
ucban, Baguio City

Office of the CITY PROSECUTOR
Justice Hall, Baguio City

EXPLANATION





7. PETITION FOR ADOPTION
Republic of the Philippines
REGIONAL TRIAL COURT, BRANCH 9
(FAMILY COURT FOR BENGUET PROVINCE)
FIRST JUDICIAL REGION
La Trinidad, Benguet


IN THE MATTER OF PETITION
FOR THE ADOPTION OF MINOR SPECIAL PROCEEDINGS
JOHN M. IRANDA.

CASE NO. ____________
JOHAN P. DOHOW and
JHAYNE P. DOHOW,
Petitioners.
X - - - - - - - - - - - - - - - - - - - - - - - - - -X

PETITION

COME NOW the petitioners through counsel, unto this Honorable Court,
most respectfully allege:

1. That petitioners are husband and wife, both of legal age, Filipinos, with
residence at Tolmod, Lubo, Kibungan, Benguet, where they maybe
served with notices, orders and decisions of this Honorable Court;

2. That sometime on April 2004, the herein petitioners took into their care
and custody a minor, JOHN M. IRANDA, who was born on February 9,
2004 at Tolmod, Lubo, Kibungan, Benguet by way of home delivery
whose date of birth was duly registered in the Local Civil Registrar of
the Municipality of Kibungan, copy of the Certificate of Live Birth is
hereto attached as Annex A hereof;


3. That petitioners were legally married on January 12, 1995 before Rev.
Father Claudio Banasan, a Roman Catholic Priest at the Holy Family
Church, Lubo, Kibungan, Benguet, copy of their Marriage Contract is
hereto attached as Annex B hereof;

4. That despite they had been married for a period of 12 years, they have
not begotten any child;

5. That they desire to adopt the minor, JOHN M. IRANDA in accordance
with the Provisions of the Family Code of the Philippines and other
related laws having cared and developed mutual love with the minor
and that he has been always treated as their child;

6. That the natural mother of the minor has given her written consent to
this Petition for Adoption;

7. That the natural father of the minor has not acknowledged the paternity
affiliation of the child; hence, his written consent cannot be possibly
secured;

8. That petitioners believe that the adoption of this minor JOHN M.
IRANDA will serve the best interest of the child;

9. That petitioners possess all the qualifications and none of the
disqualification to adopt the said minor;

PRAYER
WHEREFORE, premises considered, it is respectfully prayed of this
Honorable Court that after due notice, publication and hearing, it shall render a
decision granting this petition for adoption, declaring JOHN M. IRANDA as the child
of the petitioners with the same rights, privileges and duties as though he is a
legitimate child as well as legal heir of the petitioners;

Further, petitioners pray that the child be allowed to use the middle name
PALINGET and the family name DOHOW;
Finally, it is prayed that the Local Civil Registrar of Kibungan Municipality be
ordered to issue an amended Certificate of Live Birth of the adopted child JOHN M.
IRANDA bearing the middle name and family name of the petitioners;
Other reliefs, deemed, just and equitable under the premises are prayed for.
Baguio City for La Trinidad, Benguet.
January ____, 2014.

JIM PAR T. IYAL
Counsel for the Petitioners

(VERIFICATION AND CERTIFICATION)

(JURAT)















8.PETITION FOR ADMINISTRATION


Republic of the Philippines
REGIONAL TRIAL COURT
First Judicial Region
Branch__
Baguio City


IN THE MATTER OF PETITION
FOR ISSUANCE OF LETTERS
OFADMINISTRATION
SPECIAL PROCEEDINGS
CASE No. ___________
JACKY PALASYO,
Plaintiff.

- versus -


MANNY PALASYO,
Respondent.
x ---------------------------------- x

PETITION

COME NOW, the Plaintiff by and through the undersigned counsel and this
Honorable Court, most respectfully states:

1. That plaintiff is of legal age, married, Filipino Citizen, and a resident of
Monticello Camp 7, Baguio City, Philippines;
2. That he is the legitimate son of deceased MARIANNE PALASYO who
died intestate in the City of Baguio on December 25, 2013;
3. That the deceased MARIANNE PALASYO left the following legal heirs to
wit:
a. JACKY PALASYO, eldest son, of legal age, married, and a resident of
Monticello Camp 7, Baguio City;
b. MANNY PALASYO, husband, of legal age, and a resident of
Monticello Camp 7, Baguio City, Philippines;
c. MARIA PALASYO, daughter, of legal age, and a resident of
Monticello Camp 7, Baguio City, Philippines;
d. MYLA PALASYO, daughter, a minor of 16 years of age, and a resident
of Monticello Camp 7, Baguio City, Philippines;

4. That the deceased MARIANNE PALASYO, during her marriage with the
above-named MANNY PALASYO, acquired real and personal property,
particularly described as follows, to wit:
5. That the surviving husband MANNY PALASYO, even during the lifetime
of his legitimate wife or the deceased MARIANNE PALASYO had been
maintaining marital relations with another woman with whom he has at
present several children;
6. That the surviving husband, MANNY PALASYO, since the death of his
wife, MARIANNE PALASYO, had not made any settlement, judicial or
extrajudicial, of the property of his deceased wife;
7. That, on the contrary, they said surviving husband Manny PALASYO,
continued to manage and control the property left by the deceased wife,
Marianne PALASYO, to his own benefit and advantage, to the exclusion
of the legal rights of the above-named heirs, some of whom are already of
age, married, and heads of families;
8. That the herein petitioner, as one of the legal heirs of the deceased,
Marianne PALASYO, had on several occasions, requested of his father,
to make a settlement and liquidation of the estate left by the said deceased,
and to deliver to all the legal heirs what is due to each and every one of
them, but they said father refused to do so, without any justifiable reason;
9. That the said husband Manny PALASYO is managing and controlling the
estate of the deceased Marianne PALASYO to his own advantage and to
the advantage and benefit of his illegitimate wife and illegitimate children,
and to the damage and prejudice of the herein petitioner and his co-heirs,
that unless another administrator is appointed by this Honorable Court,
the property sought herein to be divided and which was left by the deceased
at the time of her death will likely diminished, if not entirely perish;
10. That the petitioner, as the eldest son of the deceased is competent and
willing to act as such administrator of the estate of the deceased;
11. That for the protection of the rights and interests of the minor children
Myla PALASYO, a guardian ad litem to be appointed by this Honorable
Court, for the purposes of this proceedings;
12. That the petitioner is also competent to act as such guardian ad litem for
the minor Myla PALASYO;

PRAYER
WHEREFORE, in view of the foregoing, it is respectfully prayed:
a. That after due hearing, letters of administration be issued to the herein
petitioner for the administration of the estate of the deceased
Marianne PALASYO, upon giving of a bond in such reasonable sum
as this Honorable Court may fix;
b. That petitioner, Jacky PALASYO, be appointed guardian ad litem for
the minor Myla PALASYO, for the purposes of this proceedings;
c. That after all the property of the deceased have been inventoried and
expenses and just debts, if any, have been paid and the legal heirs of the
deceased fully determined, that the said estate of the deceased be
settled and distributed among the legal heirs of the deceased, all in
accordance with law;
d. Other relief and/or remedies just and equitable under the premises are
likewise prayed for.

Baguio City, Philippines this February 6, 2014.

CHUCK TEE L. AWYEHIR
Counsel for Plaintiff


(Copy Furnished)

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