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Republic of the Philippines

Regional Trial Court of Palawan


and Puerto Pincesa City
Fourth judicial region
Puerto Princesa City
People of the Philippines
Plaintiff,

Criminal Case No: 05-1396

- versus -

for

Rodrigo Bato y Espinosa,


Respondent.
x - - - - - - - - - - - - - - - - - - - - -- - - - - x

violation of Sec 5 Art II of RA 9165

INFORMATION
The undersigned hereby accuses Rodrigo Bato y Espinosa of the crime of Section 5
article II of RA 9156, committed as follows:
That on or about the __th day of __________, in Puerto Princesa City,
Palawan, Philippines, a place within the jurisdiction of this Honorable Court, the
above-named accused, without being authorized by law, did then and there
willfully, unlawfully and feloniously sell distribute and transport, weighing zero
point zero four (0.04) gram of Methylamphetamine Hydrochloride (Shabu), which
is a dangerous drug, in violation of the above-cited law.
CONTRARY TO LAW.
Puerto Princesa City, Philippines, ____________.
_____________________
Assistant City
Prosecutor
Witness:
____________________________

CERTIFICATION
I hereby certify that a preliminary investigation was conducted in the above
entitled case, and there is prima facie evidence that the crime of Section 5 article II of
RA 9156 has been committed and that the accused probably guilty thereof.
_____________________
Assistant City
Prosecutor
___________________________
City Prosecutor
Bail Recommended:

Republic of the Philippines


Regional Trial Court of Palawan
and Puerto Pincesa City
Fourth judicial region
Puerto Princesa City
People of the Philippines
Plaintiff,
- versus -

Criminal Case No: 05-1397


for

Rodrigo Bato y Espinosa,


Respondent.
x - - - - - - - - - - - - - - - - - - - - -- - - - - x

violation of Sec 5 Art II of RA 9165

INFORMATION
The undersigned hereby accuses Rodrigo Bato y Espinosa of the crime of Section 5
article II of RA 9156, committed as follows:
That on or about the ________________, in Puerto Princesa City,
Palawan, Philippines, a place within the jurisdiction of this Honorable Court, the
abovenamed accused, not lawfully authorized to possess or otherwise use any
dangerous drug and without the corresponding license or prescription, did then
and there willfully, unlawfully and feloniously have in his possession, direct
custody and control weighing zero point zero four (0.04) gram and zero point ten
(0.10) gram or [a] total weight of zero point fourteen (0.14) gram of
Methylamphetamine Hydrochloride (Shabu), which is a dangerous drug, in
violation of the above-cited law.
CONTRARY TO LAW.
Puerto Princesa City, Philippines, ____________.
_____________________
Assistant City
Prosecutor
Witness:
____________________________

CERTIFICATION OF PRELIMINARY INVESTIGATION


I hereby certify that a preliminary investigation was conducted by me in
accordance with law; that I examined the complainant and the witnesses; that there is
reasonable ground to believe that the offense charged had been committed and that the
accused is probably guilty thereof; that the accused was informed of the complaint and
of the evidence submitted against him and was given the opportunity to submit
controverting evidence; and that the filing of this Information is with prior authority and
approval of the City Prosecutor.
_______________________
Assistant City
Prosecutor
___________________________
City Prosecutor
Bail Recommended: