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REPUBLIC OF THE PHILIPPINES)

PROVINCE OF NUEVA VIZCAYA)S.S.


MUNICIPALITY OF VILLAVERDE)
AFFIDAVIT
I, PCI JOHN YARCIA RICOMANO,of of legal age , married and Chief of Police
of Villaverde Police Station, Villaverde, Nueva Vizcaya after having been duly sworn to
an oath in accordance with law, do hereby depose and say the following to wit:
1 That on November 18,2016 I received a copy of a case from the office of the
Ombudsman entitled Julius Cesar Guinto , jr et al., Vs PCI JOHN YARCIA
RICOMANO OMB-P-C-14-0049 ( for Art 287, 2nd Par 9 Unjust Vexation) and
OMB-P-A-14-0054 FOR Simple misconduct; conduct Prejudicial to the best
interest of the service; oppression;
2 That I vehemently denied the above accusation imputed against me for it is all
product of their colorful imagination design to malign the undersigned , The
matter of fact are the following;
3 Sometimes on September 8, 2013 as Chief of Police of Cabarroguis
Municipal Police Station the capital town of the province we were tasked by
the office of the Governor to assist them in the maintenance of orderliness
within the stalls along the Provincial road wherein it was lease to Charles
Corpuz relative to the celebration of Quirino Day to avoid traffic congestion;
4 That accordingly, Household owner along Provincial road of barangay San
Marcos, Cabarroguis, Quirino believed and claiming that they have the right
to collect stall payment installed/erected in front of their houses using the
Provincial road and not the contractor;
5 That on September 9,2013 at around 7:00 0clock in the evening while I and
my men are patrolling the stretch of the Provincial road where stalls are being
placed my attention was called by Charles Corpuz and asked me to assist
them to have a peaceful dialogue with Complainant Julius Cesar Guinto Jr to
finally resolved their issue as to whom has the right to collect payment of the
stalls erected along the Provincial road in which I acceded;
6 That while at the area, Charles Corpuz and complainant Julius Cesar Guinto
jr had a talk in a peaceful and orderly manner in my presence. After their
conversation sensing that there were no possible heated altercation to be
happened I went away from the area and proceeded in our patrol car to
continue our routinely patrolling ;
7 That i never uttered unpleasant and undesirable words to quote HINDI YAN
TAONG KAUSAP.MAGULANG,SWAPANG,PULIS PA NAMAN ANG TATAY
MO,INSPECTOR
NGA
RETIRED
NAMAN,ITO
AND
TANDAAN
NYO,HABANG AKO ANG COP DITO AKO ANG MSUSUSNOD HINDI
KAYONG MGA SIBILYAN GAGO KANG KAUSAP! KAHIT IGLESAI NI
CRISTO KAYO WALANG IGLE-IGLESIA NI CRISTO SA AKIN;
8 That I am executing this affidavit to the best of my knowledge and to attest to
the truthfulness of the foregoing facts;

In witness whereof, we hereto affix our hand and signature this ______ day of
November 2016 at Villaverde, Nueva Vizcaya.

PCI JOHN Y RICOMANO


Affiant

SUBSCRIBED AND SWORN to before me this _______ day of November 2016


at Bayombong, Nueva Vizcaya, Philippines. Further certify I personally examined the
witnesses and found to be same person who executed the above affidavit.

REPUBLIC OF THE PHILIPPINES)


PROVINCE OF NUEVA VIZCAYA)S.S.
MUNICIPALITY OF VILLAVERDE)
AFFIDAVIT
I, Mark Antony Padilla ,30 years old , married and a resident of Brgy
Aggub,Solano,, Nueva Vizcaya after having been duly sworn to an oath in accordance
with law, do hereby depose and say the following to wit:
1. Sometimes on September 8,2013 I went at Gundaway,Cabaroguis Quirino
and stay at my relative thereat;
2. That while thereat I learned that it was the celebration of Quirino day and
being a Perya Boy amusement center worker, I decided to apply at the
Peryahan;
3. That on September 9,203 at around 6:00 oclock in the evening I went at the
the (peryahan) amusement center located at San Marcos, Cabaroguis
Qurino to apply as drop ball boy;
4. That while looking for Charles Corpuz whom they told me that he is just
around when I saw a policeman went into a sari-sari store together with him
(Charles). While thereat I went near the store until I noticed that a person
whom later identified as Julius Cesar Guinto Jr (store owner) together with
PCI Ricomano and Charles were having a peaceful conversation;

5. That after few minutes of peaceful conversation, PCI Ricomano went away
from the store and proceeded into their patrol car;
6. That during the course of conversation of Charles Corpuz and Julius Cesar
Guinto Jr I never heard PCI Ricomano uttered unsavory, Degrading,
oppressive and defamatory words against Julius Cesar Guinto Jr as he just
witnessed the dialogue;
7. That I am executing this affidavit to the best of my knowledge and to attest to
the truthfulness of the foregoing facts;
In witness whereof, we hereto affix our hand and signature this ______ day of
November 2016 at Villaverde, Nueva Vizcaya.

Mark Antony Padilla


Affiant

SUBSCRIBED AND SWORN to before me this _______ day of November 2016


at Bayombong, Nueva Vizcaya, Philippines. Further certify I personally examined the
witnesses and found to be same person who executed the above affidavit.

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