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REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT


9th Judical Region
Branch 15
Zamboanga City

PEOPLE OF THE PHILIPPINES, CRIMINAL CASE NO. 20258


Plaintiff.
-Versus- For

JULIBER LIM y TAGLE Violation of Sec. 5 and Sec 11 of


Accused, ART. II of R.A. 9165
x-- -----------------------------------x

FORMAL OFFER OF EVIDENCE


(For the prosecution)

COMES NOW, the undersigned, Associate Prosecution attorney II, and unto this
Honorable Court, most respectfully offers the following exhibits for admission, to wit;

EXHIBIT “A” and its submarkings REQUEST FOR LABORATORY


EXAMINATIO
N
PURPOSE:
Offered to form part of the testimony of Mercedes Diestro and PO2 Proceso Remegio Jr.
(The Police investigator), Independently to prove that two small sizes transparent plastic
pack with markings “STJ” and “JML” containing white crystalline substances and
suspected to be shabu were forwarded and requested to be examined at the PNP crime
laboratory, Regional Office 9 by the members of Zamboanga City Mobile Group in order
to determine the presence of Methamphetamine Hydrochloride, “Shabu, a dangerous
drug” and that said request was submitted personally with the said office by the
investigator himself.

EXHIBIT “B” and its submarkings SMALL SIZE TRANSPARENT PACK


CONTAINING SHABU
(0.0254 gram)
PURPOSE:
Offered to form part of the testimony of Mercedes Diestro, a Forensic Chemist,
P03 Samuel T. Jacinto and PO2 Proceso Remegio Jr. And independently to prove that one
small size heat sealed transparent plastic pack containing shabu was turned by the
members of the Zamboanga City Mobile Group to the Crime laboratory, Regional Office
9, in order to determine the presence of Methamphetamine Hydrochloride, “Shabu, a
dangerous drug” and the same was the subject of the Qualitative examination at the said
office. Likewise to prove that Exhibit “B” was the very sachet of Shabu that was sold by
the accused to the poseur buyer on November 20, 2003.

EXHIBIT “C” and its submarkings SMALL SIZE TRANSPARENT PACK


CONTAINING SHABU
(0.0125 gram)
PURPOSE:
Offered to form part of the testimony of Mercedes Diestro, a Forensic Chemist,
P02 Jason M. Lahaman and PO2 Proceso Remegio Jr. And independently to prove that
one small size heat sealed transparent plastic pack containing suspected shabu was turned

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over by the members of the Zamboanga City Mobile Group to the Crime laboratory,
Regional Office 9, in order to determine the presence of Methamphetamine
Hydrochloride, “Shabu, a dangerous drug” and the same was the subject of the
Qualitative examination at the said office. Likewise to prove that Exhibit “C” was the
very sachet of Shabu that was confiscated and seized from the control and possession of
the accused by P02 Jason M. Lahaman on November 20, 2003.
.

EXHIBIT “D” CHEMISTRY REPORT D-509-2003


PURPOSE:
Offered to form part of the testimony of Mercedes Diestro and independently to prove
that Exhibit “ B-” weighing 0.0254 gram and Exhibit “ C” weighing 0.0125 gram
were subjected to qualitative examinations and that those gave positive results for the
presence of Methamphetamine Hydrochloride, “Shabu”, a dangerous drug.

EXHIBIT “E” and its submarkings AFFIDAVIT OF


PO3 SAMUEL T. JACINTO
(POSEUR-BUYER)
PURPOSE:
Offered to form part of the testimony of P03 Samuel T. Jacinto. And independently to
prove that what he declared before the filing of this case was substantially confirmed and
affirmed during their oral testimony in Court.

EXHIBIT “F” and its submarkings AFFIDAVIT OF


PO2 JASON M.
LAHAMAN
PURPOSE:
Offered to form part of the testimony of P02 Jason M. Lahaman. And independently to
prove that what he declared before the filing of this case was substantially confirmed and
affirmed during their oral testimony in Court.

EXHIBIT “G” and its submarkings REGISTRATION OF MARKED MONEY


PURPOSE:
Offered to form part of the testimony of PO2 Proceso Remegio Jr. And independently to
prove that the serial number of EXHIBIT ‘H’ was duly registered before the office of the
City Prosecutors of Zamboanga before it was used in November 20, 2003 buy bust
operation.

EXHIBIT “H” and its submarkings MARKED MONEY ( P100.00 BILL)


WITH SN HG101423
PURPOSE:
Offered to form part of the testimony of P03 Samuel T. Jacinto, P02 Jason M. Lahaman
and PO2 Proceso Remegio Jr. And to prove that EXHIBIT ‘H’ was duly registered and
that it was used on November 20, 2003 buy bust operation and that it was the very
marked money that was used by the poseur buyer herein in buying a sachet of shabu
(small size) from the accused, Juliber Lim, and that after lawful arrest it was recovered
back from his control and possession.

EXHIBIT “I” and its submarkings COMPLAINT ASSIGNMENT SHEET


No. 1120-
30

2
PURPOSE:
Offered to form part of the testimony of P02 Jason M. Lahaman and PO2 Proceso
Remegio Jr. And independently to prove that accused, Juliber Lim, was conducted to the
office of Zamboanga City Mobile Group after he after lawful arrested due to selling and
possessing sachets of shabu (two small size transparent plastic packs) and that those
items sold by and confiscated from the accused were turnover to the police investigator
and so with the recovered marked money.

EXHIBIT “J” and its submarkings CASE REPORT


DATED November 20 ,
2003
PURPOSE:
Offered to form part of the testimony of PO2 Proceso Remegio Jr. And to prove that
investigation was conducted by the herein police investigator relative to the buy bust
operation conducted on November 20, 2003 and that accused was found to have
committed the wrong he was reported to have done.

EXHIBIT “K” and its submarkings FORWARDING REPORT


DATED November 21 ,
2003

PURPOSE:
Offered to form part of the testimony of PO2 Proceso C. Remigio Jr. And to prove after
the investigation was conducted by the herein police investigator relative to the buy bust
operation, done on November 20, 2003 and that the result thereof along with the affidavit
of complaint and other documentary evidences were forwarded to the Prosecutor’s
Office for appropriate action.

WHEREFORE, in view of the foregoing and with the admission of the above-
enumerated documentary evidences, the prosecution respectfully rest its case.

Respectfully submitted.

Zamboanga City, Philippines, August 11, 2008.

NORMA U. USMAN
Associate Prosecution Attorney

Cc:

ATTY. MELCHOR SADAIN


Counsel for the Accused

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