COMES NOW, the undersigned, Associate Prosecution attorney II, and unto this
Honorable Court, most respectfully offers the following exhibits for admission, to wit;
1
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.
.
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.
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.
NORMA U. USMAN
Associate Prosecution Attorney
Cc: