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Republic of the Philippines REGIONAL TRIAL COURT FIRST JUDICIAL REGION Branch 6 Baguio City IVY CARMELA MERCADO,

JUNE JAY ESMINO JAJA FLORES Petitioners. PETITION FOR INVOLUNTARY INSOLVENCY Case No.: _____ -vsVIRGEL AMOR VALLEJOS, Respondent. x------------------------------------------------------x PETITION Petitioners, respectfully allege: through counsel, and unto this Honorable Court,

1. That they are merchants engaged in the merchandising business in Baguio City, Philippines; 2. That the debtor VIRGEL AMOR VALLEJOS, is a resident of No. 34 Palma Road, Baguio City, within the jurisdiction of this Court; 3. That the petitioners are creditors of the said debtor in the aggregate amount of FIVE HUNDRED THOUSAND PESOS, all of which accrued in the Philippines; 4. That none of the petitioning creditors is a creditor by assignment within thirty (30) days from the filing of this petition; 5. That the said debtor has committed the following acts of insolvency under Section 20 of Act 1956 or the Insolvency Law: (a) Making conveyance, assignment or transfer of her property to defraud creditors, (b) Making conveyance, assignment or transfer of her property in contemplation of insolvency, (c) Default of to pay her current obligations for a period of 30 days. 6. That the petitioners are willing to put up a bond with sufficient sureties in such sum as this Honorable Court may fix, to answer for all costs, expenses, and damages occasioned by these proceedings, should this petition be found without merit. WHEREFORE, petitioners pray that, upon the filing of a bond in such sum as this Honorable Court may fix, conditioned as required under the Insolvency Law, an order be issued:

(a) Requiring the above-named debtor to show cause at a time and place to be designated by this Honorable Court why he should not be adjudged an insolvent debtor; (b) Forbidding the payments of any debts, and the delivery of any property belonging to such debtor to him or to any other person for his use or the transfer of any property by him; and (c) That after due notice and hearing, he be adjudged insolvent an, and his property administered for the benefit of his creditors, in accordance with the provisions of the Insolvency law. Baguio City, Philippines, this 5th day of March 2012. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio City/01-11-12 Roll of Atty. No. 012345 IBP Lifetime Membership No. 9031984 Baguio-Benguet

REPUBLIC OF THE PHILIPPINES ) CITY OF BAGUIO ) S.S. VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING We, IVY VARMELA MERCADO, JUNE JAY ESMINO and JAJA FLORES, all of legal ages, Chinese citizens and residents of No. 34 Upper Pinget, Baguio City, after being duly sworn in accordance with law, hereby depose and state: 1. That we are the petitioners in the above-entitled case; 2. That we have caused the preparation of the petition for involuntary insolvency; 3. That we have read the material and relevant allegations therein contained are true and correct of our personal knowledge and authentic documents; 4. That we hereby certify that we have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; 5. That to the best of our knowledge, there is no such pending action or claim, and that if we should hereafter learn that the same or similar action or claim has been filed or is pending, we shall report such fact within five (5) days therefrom to the Honorable Court.

IN WITNESS WHEREOF, we have hereunto affix our signatures this 5 day of March 2012, in the City of Baguio, Philippines.
th

IVY CARMELA MERCADO FLORES Passport No. ZZ0345235 Passport No. ZZ0423437 Expires January 31, 2016 Expires May 11, 2014

JUNE JAY ESMINO Affiants Passport No. ZZ3432534 Expires March 30, 2013

JAJA

SUBSCRIBED AND SWORN to before me in the City of Baguio this 5 th day of March 2012 by, IVY CARMELA MERCADO, JUNE JAY ESMINO and JAJA FLORES who have exhibited to me their respective identification documents as appearing below their names and signatures and who are the same persons who personally signed before me the foregoing affidavit and acknowledged that they executed the same.

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ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-Benguet

Republic of the Philippines REGIONAL TRIAL COURT FIRST JUDICIAL REGION Branch 6 Baguio City IN RE: PETITION FOR SUSPENSION OF PAYMENTS JANILET CARILLO, Petitioner. x--------------------------------------x PETITION Petitioner, through respectfully alleges: counsel, and unto this Honorable Court,

Insolvency proceedings Case No.: _____

1. That he is a merchant, resident, and engaged in the business of manufacturing for the last 5 years, in Baguio City within the jurisdiction of this Court; 2. That while he possesses sufficient property to cover all his debts, he nevertheless, foresees the impossibility of meeting them when they respectively fall due; 3. That the reason for this impossibility is that other creditors and banks will be paid by the petitioner. 4. That attached hereto and made integral parts hereof are: SCHEDULE A which contains a full and true statement of all his debts and liabilities, together with a list of those to whom said debts and liabilities are due; and INVENTORY B which contains an accurate description of all his real and personal property, estate, and effects, and creditors in his favor;

5. That he requests the following proposed agreement of creditors: a. to pay the creditors on or before December 1, 2012 b. to pay the creditors the total amount of the principal with legal interest. c. to make statements that other creditors are paid WHEREFORE, petitioner prays of this Honorable Court that he be declared in the state of suspension of payments; that a meeting of creditors mentioned in SCHEDULE A be called for the purpose of approving the said proposed agreement, and to ender such orders as may be necessary in these proceedings. Baguio City, Philippines, this 5th day of March 2012. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio City/01-11-12 ; 9031984 Baguio-Benguet REPUBLIC OF THE PHILIPPINES ) CITY OF BAGUIO ) S.S. VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, JANILET CARILLO, of legal age, Filipino citizen and a resident of No. 34 Upper Pinget, Baguio City, after being duly sworn in accordance with law, hereby depose and state: 1. That I am the petitioner in the above-entitled case; 2. That I have caused the preparation of the petition for suspension of payments; 3. That I have read the material and relevant allegations therein contained are true and correct of my personal knowledge and authentic documents; 4. That I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; 5. That to the best of my knowledge, there is no such pending action or claim, and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days therefrom to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affixed my signature this 2 nd day of March 2012, in the City of Baguio, Philippines. Roll of Atty. No. 012345 IBP Lifetime Membership No.

JANILET CARILLO Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 5 th day of March 2012 by JANILET CARILLO, who is personally known to me, and who is the same person who personally signed before me the foregoing affidavit and acknowledged that he executed the same.

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ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No.

Republic of the Philippines REGIONAL TRIAL COURT FIRST JUDICIAL REGION Branch 6 Baguio City IN RE: PETITION FOR VOLUNTARY INSOLVENCY Insolvency proceedings Case No.: _____ VIRGEL AMOR VALLEJOS, Petitioner. x--------------------------------------x PETITION Petitioner, through respectfully alleges: counsel, and unto this Honorable Court,

1. That he is a merchant, resident, and engaged in the business of manufacturing and has his principal place of business in Baguio City for the last 5 years, within the jurisdiction of this Court; 2. That he owes debts amounting to FIFTY THOUSAND PESOS which he is unable to pay in full;

3. That he is willing to surrender all his property and effects not exempt from execution for the benefit of his creditors; 4. That attached hereto and made integral parts hereof are: SCHEDULE A which contains a full and true statement of all his debts and liabilities, together with a list of those to whom said debts and liabilities are due; and INVENTORY B which contains an accurate description of all his real and personal property, estate, and effects, and creditors in his favor. WHEREFORE, petitioner prays of this Honorable Court that he be declared in the state of voluntary insolvency and to enter such orders as may be necessary in these proceedings. Baguio City, Philippines, this 5th day of March 2012. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. 9031984 Baguio-Benguet REPUBLIC OF THE PHILIPPINES ) CITY OF BAGUIO ) S.S. VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, VIRGEL AMOR VALLEJOS, of legal age, Filipino citizen and a resident of No. 88 Upper Crystal Cave, Baguio City, after being duly sworn in accordance with law, hereby depose and state: 1. That I am the petitioner in the above-entitled case; 2. That I insolvency; have caused the preparation of the petition for voluntary

; City/01-11-12

3. That I have read the material and relevant allegations therein contained are true and correct of my personal knowledge and authentic documents; 4. That I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency;

5. That to the best of my knowledge, there is no such pending action or claim, and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days therefrom to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affixed my signature this 5th day of March 2012, in the City of Baguio, Philippines. VIRGEL AMOR VALLEJOS Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 5 th day of March 2012 by VIRGEL AMOR VALLEJOS, who is personally known to me, and who is the same person who personally signed before me the foregoing affidavit and acknowledged that he executed the same. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No.

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Republic of the Philippines REGIONAL TRIAL COURT First Judicial Region Branch 6 Baguio City SAMANTHA M. DELROY, Plaintiff.

Civil Case No.123 For: Conveyance of Title Obtained in Breach of Trust

versus-

ALFER L. MAXIMO Defendant. x-----------------------------------------x COMPLAINT Plaintiff, through counsel, respectfully alleges unto this Honorable Court: 1. That both plaintiff and the defendant are of legal age, and residents of Baguio City; 2. That the plaintiff is the legitimate heir of SILVIA M. DELROYwho died in Baguio City on January 3, 2011; 3. That the defendant, prior to the death of said SILVIA M. DELROY, had been in charge of a certain parcel of land situated along Ambiong Road, Aurora Hill, Baguio City, belonging to the deceased, and which was then unregistered. 4. That upon the death of the decedent, the defendant continued to take charge and administer the above-said property for the interest and benefit of the heirs of the deceased who were then in Manila to pursue their college education; 5. That on March 12, 2012, upon arriving home from Manila, the plaintiff learned that the defendant, through fraud and misrepresentation, and in breach of trust and without the knowledge of the heirs of the deceased, succeeded in registering said property in his own (defendant) name, to the exclusion of the plaintiff and the other heirs of the true owner thereof; 6. That the said parcel of land is now covered by Original Certificate of Title No. R62869in the defendants nameand more particularly described as follows, to wit: TRANSFER CERTIFICATE OF TITLE TECHNICAL DESCRIPTION A parcel of Land (Lot 5, Blk. 11, Psd-1-014521, being a portion of Lot 19, II-11894, L.R.C. Rec. No. 88), situated in Aurora Hill, City of Baguio, Island of Luzon. Bounded on the SE., along line 6-1-2 by Lot 4, Blk. 11, on the SW., along line 2-3 by Alley Lot 5, on the NW., along line 3-4 by Lot 5, Blk. 11, on the NE., along line 4-5-6 by Drainage I Lot 6, all of the Psd-1-014521. Beginning at a point marked 1 of Lot 5 Blk. 11, on plan being S. 4 deg. 13W., 797.98 m. from B.L. No. 7, Baguio Townsite, thence: S. 86 deg. 16W., 5.40 m. to point 2; N. 51 deg. 24W., 2.98 m. to point 3; N. 3 deg. 44W., 9.70 m. to point 4; S. 83 deg. 29E., 4.48 m. to point 5; S. 51 deg. 08E., 11.06 m. to point 6; S. 51 deg. 41W., 6.02 m. to point of beginning, containing an area of ONE HUNDRED FIFTY (150) SQUARE METERS, more or less. 7. That no rights of innocent purchasers for value have as yet intervened which would bar an action for conveyance in this case.

WHEREFORE, it is respectfully prayed, that the defendant be ordered TO CONVEY the title he has fraudulently obtained on the land in question and TO TRANSFER the same to the plaintiff and the other legal heirs of the deceased with damages and costs. Other reliefs just and equitable under the premises are likewise prayed for. Baguio City, Philippines, this 6th day of March, 2012. ART MIGUEL B. SANLAO Counsel for Petitioner PTR No. 1874586/Baguio City/January 11, 2012 Roll of Attorney No. 12345 IBP Lifetime No. 601414; Baguio City MCLE Compliance No. 28894 Baguio-Benguet REPUBLIC OF THE PHILIPPINES } DONE: IN THE CITY OF BAGUIO } S.S. x--------------------------------------------x VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, SAMANTHA M. DELROY, of legal age, Filipino citizen and a resident of No. 30 Brookspoint, Aurora Hill, Baguio City, after being duly sworn in accordance with law, hereby depose and state: 1. That I am the petitioner in the above-entitled case; 2. That I have caused the preparation of the petition for the conveyance of title obtained in breach of trust; 3. That I have read the materialand relevant allegations contained therein, and that the same are true and correct of my personal knowledge and authentic documents; 4. That I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; 5. That to the best of my knowledge, there is no such pending action or claim, and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days therefrom to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affixed my signature this 12thday of March 2012, in the City of Baguio, Philippines. SAMANTHA M. DELROY Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 bySAMANTHA M. DELROY,who exhibited to me his Non-Professional Drivers License No. AO1-09-091987 which expires on September 19, 2014 as competent proof of his identity, and who is the same person who personally signed before me the foregoing affidavit.

ART MIGUEL B. SANLAO Counsel for Petitioner PTR No. 1874586/Baguio City/January 11, 2012 Roll of Attorney No. 12345 IBP Lifetime No. 601414; Baguio City MCLE Compliance No. 28894 Baguio-Benguet Doc. No.__; Page No. _; Book No. I_; Series of 2012

The Commissioner of Land Registration Authority

APPLICATION FOR REGISTRATION OF LAND

Sir/Madam:

I, CECIL JAMES, of legal age, single, Filipino, and a resident of 01 # 12 Aurora Hill,Baguio City hereby apply to have the land hereafter described brought under the operation of the Land Registration Act, and to have my title therein registered and confirmed. And I declare: 1. That I am the owner in fee simple of a certain parcel of land thereon situated in Benguet, and more particularly described as follows, to wit: A parcel of land (Lot 2735-D of subdivision plan (LRA) Psd377547, approved as a non-subdivision project, being a portion of Lot 2735, Cad-656-D, Case 6, Tuba Cadastre; L.R.C. Record No. Free Pat., situated in the Barrio of Taloy Sur, Municipality of Tuba, Province of Benguet, Island of Luzon. Bounded on the N., points 3 to 5 by Lot 2735-H; on the NE., points 5 to 6 by Lot 2735F; on the NE., and N., points 7 to 8 by Lot 2735-E all of the subdivision plan; on the NE., points 8 to 9 by the Marcos Highway (30.00 m. wide); on the SE., & SW., points 9 to 12 & 12 to 1 by Lot 2735-B; on the SE., points 1 to 2 by Lot 2735-C both of the subdivision plan; and on the SW., points 2 to 3 by Lot Marcos Highway (30.00m. wide). Beginning at a point marked 1 on plan, being S. 71 deg. 49W., 4606.77 m. from BLLM #1-A, Tuba Cadastre; then S. 84 deg. 54W., 26.41 m. to point 2; then N. 18 deg. 14W., 37.17 m. to point 3; then N. 85 deg. 01E., 9.90 m. to point 4; then S. 85 deg. 49E., 36.61 m. to point 5; thence S. 21 deg. 18E., 12.00 m. to point 6; thence S. 21 deg. 18E., 14.51 m. to point 7; thence N. 79 deg. 52E., 21.35 m. to point 8; thence S. 9 deg. 24E., 3.82 m. to point 9; thence S. 68 deg. 56W., 15.67 m. to point 10; thence S. 75 deg. 54W., 6.98 m. to point 11, thence N. 22 deg. 31W., 2.66 m. to point 12; thence S. 84 deg. 51W., 17.37 m. to point of beginning; containing an area of ONE THOUSAND SIX HUNDRED SIXTY THREE (1,663) SQUARE METERS, more or less. All points referred to are indicated on the plan and are marked on the ground by P.S. Cyl. Conc. Mons. 15X60 cm. Bearings true; date of Original Survey, June 1-Oct. 5, 1983, and that of the subdivision survey, executed by Apolonio A. Walsiyen, Jr., Geodetic Engineer, on April 14-15, 2003.; copy of the TCT No. T-54268 is attached as Annex A. 2. 3. That said land at the last assessment for taxation was assessed at Two Hundred Fifty Thousand Pesos (P 250,000.00) ; That I do not know of any mortgage or encumbrances affecting said land, or that any other person has any estate or interest therein, legal or equitable possession, remainder, reversion, or expectancy; That I obtained title on said property by a Deed of Sale executed by Larry Garfunkel on January 5, 2011 in Baguio City; That said land is unoccupied; That the names and addresses so far as known to me of the owners of all lands adjoining the above property are as follows:

4.

5. 6.

Cristina Segnaben Agustin Pisilen Dominador Valmonte

153 Tuba, Benguet 159 Tuba, Benguet 152 Tuba, Benguet

7.

This application is accompanied by the following documents: Schedule of Documents

a) The Original or tracing plan, together with a blue print copy thereof; b) The technical description of the land ( in duplicate); and c) The surveyor's report of survey, or surveyor's certificate ( in duplicate).

DONE this 12th day of March 2012 at Baguio City, Philippines.

CECIL JAMES Affiant TIN 299-143-768 SUBSCRIBED AND SWORN to before me this 12th day of March 2012 at Baguio City, Philippines. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No.

Doc. No. _ ___; City/01-11-12 Page No. _____; Book No. I ; 9031984 Series of 2012. Baguio-Benguet

REPUBLIC OF THE PHILIPPINES Department of Transportation and Communication Land Transportation and Franchising Regulation Board East Avenue, Quezon City

In the Matter of the Application of Philippine

Victory-Saulog Liner Inc. (PVSLI) for a Certificate of Public Convenience and Necessity to Transport Passengers And Freight from Baguio to Cubao, vice versa.

LTFRB Case No. 123-A

Philippine Victory-Saulog Liner Inc. (PVSLI), Applicant. x---------------------------------------------------x

APPLICATION

Comes now, Philippine Victory-Saulog Liner Inc. (PVSLI), applicant, through the undersigned counsel and unto this Honorable Board, most respectfully state that:

1. PVSLI is a corporation duly organized and existing under and by virtue of the laws of the Philippines, with principal office at Bro. Raymond Jeffrey Road, Cubao, Quezon City where it may be served with summons and other legal processes, represented by its President, Ralph B. Jose, of legal age, Filipino, married and with office address also at Bro. Raymond Jeffrey Road, Cubao, Quezon City;

2. As early as August 2009, PVSLI submitted its intent to apply for Certificate of Public Convenience and Necessity before the LTFRB. A copy of said letter is attached hererto as Annex A.;

3. Applicant respectfully requests the Land Transportation and Franchising Regulation Board to grant a certificate of public convenience and necessity to Applicant to Transport Passengers And Freight from Baguio to Manila, vice versa. Accordingly the Applicant submits the following documents in accordance with Commonwealth Act No. 146 also known as Public Service Act, as amended:

Annex B: A brief description of applicants history of providing the requested transport service in order to demonstrate its managerial experience. The history shall include a list of the geographic areas in which Applicant has previously provided service and/or is currently providing service.

Annex C: A description of applicants experience in providing transportation services, in order to demonstrate its technical abilities.

Annex D: A list of all other regions where: a) Applicant is authorized to operate; b) Authorization to operate is pending; c) A request for authorization has been denied; d) Authorization has been revoked.

Annex E: The text of the Public Notice to be published once a week for two consecutive weeks in newspapers of general circulation in the provinces where service will be provided.

4. In view of the foregoing, Philippine Victory-Saulog Liner Inc. (PVSLI) will ensure that the passengers and owners of freight will experience quality services taking into consideration the highest degree of safety which should be accorded to the latter.

PRAYER
WHEREFORE, premises considered, PVSLI respectfully prays that the Honorable Board issue an order granting the request of said applicant with respect to said certificate of public convenience and necessity. Other reliefs and equitable under the premises are likewise prayed for.

Baguio city, Philippines, March 9, 2012. ATTY. LEBRON U. BUWAYA Counsel for the Applicant Unit 23, 3/F Porta Vaga Building, Session Road, Baguio City Roll of Attorneys No. 11111 MCLE Compliance No. II-99990 PTR No. 1233444;1/4/10; Baguio City IBP No. 122338; 1/14/10; Baguio City

VERIFICATION AND CERTIFICATION OF NON-FORUM SHOPPING


I, RALPH B. JOSE, of legal age, Filipino and with office at Bro. Raymond Jeffrey Road, Cubao, Quezon City, after having been duly sworn in accordance with law, depose and state that:
1.

He is the President of the Philippine Victory-Saulog Liner Inc. (PVSLI), who had caused the preparation of said application;

2.

The allegations set forth therein are true and correct based on his own personal knowledge and/or authentic records of PVSLI;

3.

PVSLI have not commenced any other action or proceeding involving the same issues in the Supreme Court, the Court of Appeals, or any other tribunal or agency; to the best of their knowledge and belief, no such action or proceeding is pending in the Supreme Court, the Court of Appeals, or any other tribunal or agency which involve issues that may somehow be related to those in this Application and that if they should thereafter learn that a similar action or proceeding has been filed or is pending before the Supreme Court, the Court of Appeals, or any other tribunal or agency, I undertake to report that fact within five (5) days therefrom to this Honorable Board. RAFAEL B. JOSE Affiant

SUBSCRIBED AND SWORN TO BEFORE ME to before me this 9th day of March, 2012 atBaguio City, Philippines, affiant appearing before me and who signed the foregoing document in my presence and whom I have identified through his SSS ID with number 01-

0132579-4 to be the same person who executed the foregoing document and swore that he understood the contents thereof and that the same is his free and voluntary act and deed.

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ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No.

Republic of the Philippines LAND TRANSPORTATION FRANCHISING AND REGULATORY BOARD DOTC-CAR Baguio City JOE PAY, Petitioner

xxx----------------------------xxx PETITION FOR APPROVAL OF SALE OF PROPERTY OF PUBLIC SERVICE Petition, thru counsel, and unto this Honorable Board, respectfully represents: 1. That the Petitioner JOE PAY, is the owner of five (5) vans, particularly described as follows: Make: Toyata Model: Hi-Ace Year: 2005 2. Said vans are actually being used in connection with its transportation business pursuant to the authority granted to it by this Honorable Board; 3. Petitioner intends to sell said described vans and to buy new ones to be used in the same line, and to this end, she has agreed to sell the same to RESBAK VELOSO of 86 Quisumbing St., Baguio City, for the agreed sum of THREE MILLION (3, 000, 000) PESOS. A copy of the proposed deed of sale being hereunto attached and made an integral part of this petition as Annex A; 4. That this sale will not be detrimental to the public interest; WHEREFORE, upon prior notice and hearing, it is respectfully prayed that the proposed deed of sale be approved and that the sale be deemed consummated as of May 11, 2012. Baguio City, this 12th day of March 2012. ART MIGUEL B. SANLAO Counsel for Petitioner PTR No. 1874586/Baguio City/January 11, 2012 Roll of Attorney No. 12345 IBP Lifetime No. 601414; Baguio City MCLE Compliance No. 28894 Baguio-Benguet

BY LAWS NonStock Corporation OF JAMBOREE, INC. Article 1 Meetings

Section 1. Annual Meetings- The Annual meetings of the members shall be held at the principal office of the association on the April 11 of each year. Section 2. Monthly/Special Meetings - Monthly/Special meetings of the members shall be called every end of the month by the president of the association. During such meetings, the President shall render his monthly report to the members regarding the activities of the association. Special meetings may be called as the need thereof arises, by the Board of Trustees or the President or upon petition of 1/3 of the general membership. Section 3. Notices - Notices of the date, time and place of annual, monthly and special meetings of the members shall be given either personally or by special delivery mail, at least one week before the date set for such meeting. In urgent cases, the notice may be communicated at least two days before the meeting personally or by telephone, or by telegram, if contact is not possible. The notice of every special meeting shall state briefly the purpose or purposes of the meeting. No other business shall be considered at such meeting, except with the consent of all the members present thereat. Section 4.Waiver of Notice - Notice of meeting may be waived verbally by any member attending it. Section 5.Quorum- A quorum for any meeting of the members shall consist of a majority of the members and a majority of such quorum may decide any question at the meeting, except those matters where the Corporation Code requires the affirmative vote of a greater proportion. Section 6.Order of Business - The order of business at the annual meeting of the members shall be as follows: Proof of service of the required notice of the meeting, except when such notice is waived by the members constituting a quorum. Proof of the presence of a quorum. Reading and approval of the minutes of the previous annual meeting, except when such reading is dispensed with by a majority vote of those present. Unfinished business. Report of the President. Election of the Trustees for the ensuing year. Other matters. The order of business at any meeting may be changed by a vote of a majority of the members present.

Section 7. Voting Proxy - Members shall be entitled to one vote, and they may vote either in person or by proxy, which shall be in writing and filed with the Secretary of the Association before the scheduled meeting. ARTICLE II Trustees Section 1. Board of Trustees - The corporate powers of the association shall be exercised, its business conducted and its property controlled by the Board of Trustees. Section 2.Qualifications - No members shall be eligible for election to the Board of Trustees unless he has the following qualifications: He is not delinquent in the payment of his regular and monthly dues; He always adheres to the rules and regulations imposed by the Association; He regularly attends the meetings of the Association; He actively participates in the projects and activities of the Association. Section 3. Disqualification of Directors, Trustees or Officers No member convicted by final judgment of an offense punishable by imprisonment for a period exceeding six (6) years, or a violation of this code, committed within five (5) years prior to the date of his election or appointment, shall qualify as a trustee or officer. ARTICLE III Officers Section 1. Officers - The officers of the association shall be a President, a Vice-President, a Secretary, a Treasurer and an Auditor. They shall be elected by the Board of Trustees from among themselves. The Board may combine compatible offices in a single person. Section 2. Term of Office of Officers - All officers of the association shall hold office for one year and until their successors are duly elected and qualified. ARTICLE IV Functions and Powers of Officers Section 1.President - The President shall be the Chief Executive Officer of the association.In addition to duties as such, he shall preside in all meetings of the Board of Trustees and those of the members of the association./p>

He shall execute all resolutions and/or decisions of the Board of Trustees. He shall be charged with directing and overseeing the activities of the association. He shall appoint and have control over all employees of the association, review and approve expense vouchers. Together with the Secretary of the association, he shall present to the Board of Trustees and the members an annual budget and, from time to time as may be necessary, supplemental budgets. He shall submit to the Board as soon as possible after the close of each fiscal year, and to the members of each annual meeting, a complete report of the activities and operations of the association for the fiscal year under his term. Section 2. Vice-President - The Vice President, if qualified, shall exercise all powers and perform all duties of the President during the absence or incapacity of the latter and shall perform duties that maybe assigned by the board of directors. Section 3.Secretary - The Secretary shall give all the notices required by the by-laws and keep the minutes of all meeting of the members and of the Board of Trustees and of all meetings of all committees, in a book kept for the purpose.He shall keep the seal of the association and affix such seal to any paper or instrument requiring the same.He shall have custody of the correspondence files and all other papers that are to be kept by the Treasurer. He shall maintain the members' register, have charged of the bulletin board at the principal office of the association. He shall also perform all such other duties and work as the Board of Trustees may from time to time assign to him. Section 4. Treasurer - The Treasurer shall have charge of the funds, receipt and disbursements of the association.He shall keep all moneys and other valuables of the association in such bank or banks as the Board of Trustees may designate.He shall keep and have charge of the books of accounts which shall be open to inspection by any member of the Board of Trustees whenever required, an account of financial condition of the association and of all transactions made by him as Treasurer. He shall also perform such other duties and functions as may be assigned to him from time to time by the Board of Trustees.He shall post a bond in such amount as may be fixed by the Board of Trustees. Section 5. Auditor - He shall examine financial records and audit money. He shall also perform other functions as may be provided for by the Board of Trustees. ARTICLE V Members Section 1. Qualifications for Membership - The board shall determine the qualifications of an applicant for membership. Section 2. Rights of Members - A member shall have the following rights:

To exercise the rights to vote on all matter relating to the affairs of the association; To be eligible to any elective for appointive office of the association; To participate in all deliberations/meetings of the association; To avail of all the facilities of the association; To examine all the records or books of the association during business hours. Section 3. Duties and Responsibilities of the Members - A member shall have the following duties and responsibilities; To obey and comply with the by-laws, rules and regulations that may be promulgated by the association from time to time; To attend all meetings that may be called by the Board of Trustees; To pay membership dues and other assessments of the association. ARTICLE VI Suspension, Expulsion and Termination of Membership Suspension, expulsion and termination of membership, shall be in accordance with the rules and regulations of the association. Any member of the association may file charges against a member by filing a written complaint with the Secretary of the association.The Board of Trustees shall call a special meeting of the members to consider the charges.The affirmative vote of 1/3 of all the members of the association shall be necessary to suspend a member;Provided that where the penalty is expulsion, the affirmative vote of 2/3 of all the members shall be necessary to expel a member. ARTICLE VII Fund Section 1.Funds - The funds of the association shall be derived from admission fees, annual dues and special assessments of members, gifts, donations or benefits. Section 2.Fees and Dues - every member of the association shall, in addition to the membership fee, pay dues and/or assessments that may be imposed by the association from time to time. Section 3. Disbursements - Withdrawal from the funds of the association, whether by check or any other instrument shall be

signed by the Treasurer and countersigned by the President.If necessary, the Board of Trustees may designate other signatories. Section 4. Fiscal Year - The fiscal year of the association shall be from January 1st to December 31st of each year. ARTICLE VIII Corporate Seal Section 1. Form - The corporate seal of the association shall be in such form and design as may be determined by the Board. ARTICLE IX Amendments of the By-Laws Section 1. Amendments - These by-laws, or any provision thereof, may be amended or repealed by a majority vote of the members and by a majority vote of the Trustees at any regular or special meeting duly held for the purpose. Adopted this 12th day of March 2012 in the City of Baguio, Philippines, by the affirmative vote of the undersigned members representing a majority of the members of the association in a special meeting duly held for the purpose. SIGNED BY THE MEMBERS OF THE NONE STOCK CORPORATIONS:

AMAR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City

AMER VALLEJOS AMIR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

AMOR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City

AMUR VALLEJOS EMOR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

SUBSCRIBED AND SWORN to before me in the City of Baguio this 5th day of March 2012 by, Amar Vallejos, Amer Vallejos, Amir Vallejos, Amor Vallejos, Amur Vallejos, and Emor Vallejos who have exhibited to me their respective identification documents as appearing below their names and signatures and who are the same persons who personally signed before me the foregoing by laws and acknowledged that they executed the same.

Doc. No. _ ___; City/01-11-12 Page No. _____; Book No. I ; 9031984 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-Benguet

BY-LAWS Stock Corporation OF NABUHAY, Inc.

ARTICLE I SUBSCRIPTION, ISSUANCE AND TRANSFER OF SHARES Section 1. Subscriptions - Subscribers to the capital stock of the corporation shall pay to the corporation the subscription value or price of the stock in accordance with the terms and conditions prescribed by the Board of Directors. Unpaid subscriptions shall not earn interest unless determined by the Board of Directors. Section 2. Certificate - Each stockholder shall be entitled to one or more certificates for such fully paid stock subscription in his name in the books of the corporation. The certificates shall contain the matters required by law and the Articles of Incorporation. They shall be in such form and design as may be determined by the Board of Directors and numbered consecutively. The certificates, which must be issued in consecutive order, shall bear the signature of the President, mutually countersigned by the Secretary or Assistant Secretary, and sealed with the corporate seal. Section 3. Transfer of Shares - Subject to the restrictions, terms and conditions contained in the Articles of Incorporation, shares may be transferred, sold, ceded, assigned or pledged by delivery of the certificates duly endorsed by the stockholder, his attorney-in-fact, or other legally authorized person. The transfer shall be valid and binding on the corporation only upon record thereof in the books of the corporation, cancellation of the certificate surrendered to the Secretary, and issuance of a new certificate to the transferee. No shares of stock against which the corporation holds unpaid claim shall be transferable in the books of the corporation. All certificates surrendered for transfer shall be stamped "Canceled"on the face thereof, together with the date of cancellation, and attached to the corresponding stub with the certificate book. Section 4. Lost Certificates - In case any certificate for the capital stock of the corporation is lost, stolen, or destroyed, a new certificate may be issued in lieu thereof in accordance with the procedure prescribed under Section 73 of the Corporation Code ARTICLE II MEETINGS OF STOCKHOLDERS Section 1. Regular Meetings - The regular meetings of stockholders, for the purpose of electing directors and for the transaction of such business as may properly come before the meeting, shall be held at the principal office on the 11TH DAY OF MARCH of each year, if a legal holiday, then on the following day.

Section 2. Special Meeting - The special meetings of stockholders, for any purpose or purposes, may at any time be called by any of the following: (a) Board of Directors, at its own instance, or at the written request of stockholders representing a majority of the outstanding capital stock, (b) President. Section 3. Place of Meeting - Stockholders' meetings, whether regular or special, shall be held in the principal office of the corporation or at any place designated by the Board of Directors in the city or municipality where the principal office of the corporation is located. Section 4. Notice of Meeting - Notices for regular or special meetings of stockholders may be sent by the Secretary by personal delivery or by mail at least two (2) weeks prior to the date of the meeting to each stockholder of record at his last known post office address or by publication in a newspaper of general circulation. The notice shall state the place, date and hour of the meeting, and the purpose or purposes for which the meeting is called. In case of special meetings, only matters stated in the notice can be subject of motions or deliberations at such meeting. When the meeting of stockholders is adjourned to another time or place, it shall not be necessary to give any notice of the adjourned meeting if the time and place to which the meeting is adjourned are announced at the meeting at which the adjournment is taken. At the reconvened meeting, any business may be transacted that might have been transacted on the original date of the meeting. Section 5. Quorum - Unless otherwise provided by law, in all regular or special meeting of stockholders, a majority of the outstanding capital stock must be present or represented in order to constitute a quorum. If no quorum is constituted, the meeting shall be adjourned until the requisite amount of stock shall be present. Section 6. Conduct of Meeting - Meeting of the stockholders shall be presided over by the Chairman of the Board, or in his absence, the President, or if none of the foregoing is in office and present and acting, by a chairman to be chosen by the stockholders. The Secretary shall act as Secretary of every meeting, but if not present, the chairman of the meeting shall appoint a secretary of the meeting. The chairman of the meeting may adjourn the meeting from time to time, without notice other than announced at the meeting. Section 7. Manner of Voting - At all meetings of stockholders, a stockholder may vote in person or by proxy executed in writing by the stockholder or his duly authorized attorney-in-fact. Unless otherwise provided in the proxy, it shall be valid only for the meeting at which it has been presented to the Secretary. All proxies must be in the hands of the Secretary before the time set for the meeting. Such proxies filed with the Secretary may be revoked by the stockholders either in an instrument in

writing duly presented and recorded with the Secretary prior to a scheduled meeting or by their personal presence at the meeting. Section 8. Closing of Transfer Books of Fixing of Record Date For the purpose of determining the stockholders entitled to notice of, or to vote at, any meeting of stockholders or any adjournment thereof or to receive payment of any dividend, or of making a determination of stockholders for any proper purpose, the Board of Directors may provide that the stock and transfer books be closed for a stated period, but not to exceed, in any case, twenty (20) days. If the stock and transfer books be closed for the purpose of determining stockholders entitled to notice of, or to vote at, a meeting of stockholders, such books shall be closed for at least ten (10) working days immediately preceding such meeting. In lieu of closing the stock and transfer books, the Board of Directors may fix in advance a date as the record date which shall in no case be more than twenty (20) days prior to the date on which the particular action requiring such determination of stockholders is to be taken, except in instance where applicable rules and regulations provided otherwise. ARTICLE III BOARD OF DIRECTORS Section 1. Powers of the Board - Unless otherwise provided by law, the corporate powers of the corporation shall be exercised, all business conducted and all property of the corporation controlled and held by the Board of Directors to be elected by and from among the stockholders. Without prejudice to such general powers and such other powers as may be granted by law, the Board of Directors shall have the following express powers: a) From time to time, to make and change rules and regulations not inconsistent with these by-laws for the management of the corporation's business and affairs; b) To purchase, receive, take or otherwise acquire in any lawful manner, for and in the name of the corporation, any and all properties, rights, interest or privileges, including securities and bonds of other corporations, as the transaction of the business of the corporation may reasonably or necessarily require, for such consideration and upon such terms and conditions as the Board may deem proper or convenient; c) To invest the funds of the corporation in another corporation or business or for any other purposes other than those for which the corporation was organized, whenever in the judgment of the Board of Directors the interests of the corporation would thereby be promoted, subject to such stockholders' approval as may be required by law; d) To incur such indebtedness as the Board may deem necessary and, for such purpose, to make and issue evidence of such indebtedness including, without limitation, notes, deeds of trust, instruments, bonds, debentures, or securities, subject to such stockholders' approval as may be required by law, and/or

pledge, mortgage, or otherwise encumber all or part of the properties and rights of the corporation; provided that the borrowing shall be sourced from not more than nineteen (19) lenders; e) To guarantee and secure payment of, for and in behalf of the obligations of other corporations or entities in which it has lawful interest; f) To make provisions for the discharge of the obligations of the corporation as they mature, including payment for any property, or in stocks, bonds, debentures, or other securities of the corporation lawfully issued for the purpose; g) To sell, lease, exchange, assign, transfer or otherwise dispose of any property, real or personal, belonging to the corporation whenever in the Board's judgment, the corporation's interest would thereby be promoted; h) To establish pension, retirement, bonus, profit- sharing, or other types of incentives or compensation plans for the employees, including officers and directors of the corporation and to determine the persons to participate in any such plans and the amount of their respective participation; i) To prosecute, maintain, defend, compromise or abandon any lawsuit in which the corporation or its officers are either plaintiffs or defendants in connection with the business of the corporation, and likewise, to grant installments for the payments or settlement of whatsoever debts are payable to the corporation; j) To delegate, from time to time, any of the powers of the Board which may lawfully be delegated in the course of the current business or businesses of the corporation to any standing or special committee or to any officer or agent and to appoint any persons to be agents of the corporation with such powers (including the power to sub-delegate), and upon such terms, as may be deemed fit; k) To implement these by-laws and to act on any matter not covered by these by-laws provided such matter does not require the approval or consent of the stockholders under any existing law, rules or regulation. Section 2. Election and Term - The Board of Directors shall be elected during each regular meeting of stockholders and shall hold office for one (1) year and until their successors are elected and qualified. Section 3. Vacancies - Any vacancy occurring in the Board of Directors other than by removal by the stockholders or by expiration of term, may be filled by the vote of at least a majority of the remaining directors, if still constituting a quorum; otherwise, the vacancy must be filled by the stockholders at a regular or at any special meeting of stockholders called for the purpose. A director so elected to

fill a vacancy shall be elected only for the unexpired term of his predecessor in office. Any directorship to be filled by reason of an increase in the number of directors shall be filled only by an election at a regular or at a special meeting of stockholders duly called for the purpose, or in the same meeting authorizing the increase of directors if so stated in the notice of the meeting. The vacancy resulting from the removal of a director by the stockholders in the manner provided by law may be filed by election at the same meeting of stockholders without further notice, or at any regular or at any special meeting of stockholders called for the purpose, after giving notice as prescribed in this by-laws. Section 4. Meetings - Regular meetings of the Board of Directors shall be held once every quarter of the year on such dates and at such times and places as the Chairman of the Board, or in his absence, the President, or upon the request of a majority of the directors and shall be held at such places as may be designated in the notice. Section 5. Notice - Notice of the regular or special meeting of the Board specifying the date, time and place of the meeting, shall be communicated by the Secretary to each director personally, or by telephone, telex, telegram, facsimile or by written or oral message. A director may waive this requirement, either expressly or impliedly. Section 6. Quorum - A majority of the number of directors as fixed in the Articles of Incorporation shall constitute a quorum for the transaction of corporate business and every decision of at least a majority of the directors present at a meeting at which there is a quorum shall be valid as a corporate act, except for the election of officers which shall require the vote of a majority of all the members of the Board. Section 7. Conduct of the Meetings - Meetings of the Board of Directors shall be presided over by the Chairman of the Board, or in his absence, the President or if none of the foregoing is in office and present and a?ting, by any other director chosen by the Board. The Secre4ary shall act as secretary of every meeting, if not present, the Chairman of the meeting shall appoint a secretary of the meeting. Section 8. Compensation - By resolution of the Board, each director shall receive a reasonable per diem allowance for the attendance at each meeting of the Board. As compensation, the Board shall receive and allocate an amount of not more than ten percent (10%) of the net income before income tax of the corporation during the preceding year. Such compensation shall be determined and apportioned among the directors in such manner as the Board may deem proper, subject to the approval of stockholders representing at least a majority of the outstanding capital stock at a regular or special meeting of the stockholders.

ARTICLE IV OFFICERS Section 1. Election/Appointment - Immediately after their election, the Board of Directors shall formally organize by electing the Chairman, the President, one or more VicePresident, the Treasurer, and the Secretary, at said meeting. The Board may, from time to time, appoint such other officers as it may determine to be necessary or proper. Any two (2) or more positions may be held concurrently by the same person, except that no one shall act as President and Treasurer or Secretary at the same time. Section 2. Chairman of the Board - The Chairman of the Board of Directors shall preside at the meetings of the directors and the stockholders. He shall also exercise such powers and perform such duties as the Board of Directors may assign to him. Section 3. President - The President, who shall be a director, shall be the Chief Executive Officer of the corporation and shall also have administration and direction of the day-to-day business affairs of the corporation. He shall exercise the following functions: a) To preside at the meetings of the Board of Directors and of the stockholders in the absence of the Chairman of the Board of Directors; b) To initiate and develop corporate objectives and policies and formulate long range projects, plans and programs for the approval of the Board of Directors, including those for executive training, development and compensation; c) To have general supervision and management of the business affairs and property of the corporation; d) To ensure that the administrative and operational policies of the corporation are carried out under his supervision and control; e) Subject to guidelines prescribed by law, to appoint remove, suspend or discipline employees of the corporation, prescribe their duties and determine their salaries; f) To oversee the preparation of the budgets and the statement of accounts of the corporation; g) To prepare such statements and reports of the corporation as may be required of him by law; h) To represent the corporation at all functions and proceedings; i) To execute on behalf of the corporation all contracts, agreements and other instruments affecting the interests of the corporation which require the approval of the Board of

Directors, except as otherwise directed by the Board of Directors; j) To make reports to the Board of Directors and stockholders; k) To sign certificates of stock; l) To perform such other duties as are incident to his office or are entrusted to him by the Board of Directors; The President may assign the exercise or performance of any of the foregoing powers, duties and functions to any other officer(s), subject always to his supervision and control. Section 4. The Vice-President(s) - If one or more VicePresidents are appointed, he/they shall have such powers and shall perform such duties as may from time to time be assigned to him/them by the Board of Directors or by the President. Section 5. The Secretary - The Secretary must be a resident and a citizen of the Philippines. He shall be the custodian of and shall maintain the corporate books and record and shall be the recorder of the corporation's formal actions and transactions. He shall have the following specific powers and duties: a) To record transactions stockholders the form and or see of all and to manner to the proper recording of the minutes and meetings of the directors and the maintain minute books of such meetings in required by law;

b) To keep or cause to be kept record books showing the details required by law with respect to the stock certificates of the corporation, including ledgers and transfer books showing all shares of the corporation subscribed, issued and transferred; c) To keep the corporate seal and affix it to all papers and documents requiring a seal, and to attest by his signature all corporate documents requiring the same; d) To attend to the giving and serving of all notices of the corporation required by law or these by-laws to be given; e) To certify to such corporate acts, countersign corporate documents or certificates, and make reports or statements as may be required of him by law or by government rules and regulations; f) To act as the inspector of the election of directors and, as such, to determine the number of shares of stock outstanding and entitled to vote, the shares of stock represented at the meeting, the evidence of a quorum, the validity and effect of proxies, and to receive votes, ballots or consents, hear and determine all challenges and questions arising in connection with the right to vote, count and tabulate all votes, ballots or consents, determine the result, and do such acts as are proper to conduct the election or vote. The Secretary may assign the exercise or performance of any or all the foregoing duties,

powers and functions to any other person or persons, subject always to his supervision and control; g) To perform such other duties as incident to his office or as may be assigned to him by the Board of Directors or the President. Section 6. Treasurer - The Treasurer of the corporation shall be its chief fiscal officer and the custodian of its funds, securities and property. The Treasurer shall have the following duties: a) To keep full and accurate accounts of receipts and disbursements in the books of the corporation; b) To have custody of, and be responsible for, all the funds, securities and bonds of the corporation; c) To deposit in the name and to the credit of the corporation, in such bank as may be designated from time to time by the Board of Directors, all the moneys, funds, securities, bonds and similar valuable effects belonging to the corporation which may come under his control; d) To render an annual statement showing the financial condition of the corporation and such other financial reports as the Board of Directors, the Chairman, or the President, may, from time to time require; e) To prepare such financial reports, statements, certifications and other documents which may, from time to time, be required by government rules and regulations and to submit the same to the proper government agencies; f) To exercise such powers and perform such duties and functions as may be assigned to him by the President. Section 7. Term of Office - The term of office of all officers shall be for a period of one (1) year and until their successors are duly elected and qualified. Such officers may however be sooner removed for cause. Section 8. Vacancies - If any position of the officers becomes vacant by reason of death, resignation, disqualification or for any other cause, the Board of Directors by majority vote may elect a successor who shall hold office for the unexpired term. Section 9. Compensation - The by-laws officers shall receive such remuneration as the Board of Directors may determine. All other officers shall receive such remuneration as the Board of Directors may determine upon recommendation of the President. A director shall not be precluded from serving the corporation in any other capacity as an officer, agent, or otherwise, and receiving compensation therefor. ARTICLE V

OFFICE Section 1. Office - The principal office of the corporation shall be located at the place stated in Article III of the Articles of Incorporation. The corporation may have such other branch offices, either within or outside the Philippines, as the Board of Directors may designate or as the business of the corporation may, from time to time require. ARTICLE VI AUDIT OF BOOKS, FISCAL YEAR AND DIVIDENDS Section 1. External Auditors - At the regular stockholders' meeting, the external auditor or auditors of the corporation for the ensuing year shall be appointed. The external auditor or auditors shall examine, verify and report on the earnings and expenses of the corporation and shall certify the remuneration of the external auditor or auditors as determined by the Board of Directors. Section 2. Fiscal Year - The fiscal year of the corporation shall begin on the first day of January and end on the last day of December of each year. Section 3. Dividends - Dividends shall be declared and paid out of the unrestricted retained earnings which shall be payable in cash, property or stock to all stockholders on the basis of outstanding stock held by them, as often and at such times as the Board of Directors may determine and in accordance with law and applicable rules and regulations. ARTICLE VII AMENDMENTS Section 1. Amendments - This by-laws may be amended or repealed by the affirmative vote of at least a majority of the Board of Directors and the stockholders representing a majority of the outstanding capital stock at any stockholders' meeting called for the purpose. However, the power to amend, modify, repeal or adopt new by-laws may be delegated to the Board of Directors by the affirmative vote of stockholders representing not less than two-thirds of the outstanding capital stock; provided, however, that any such delegation of powers to the Board of Directors to amend, repeal or adopt new by-laws may be revoked only by the vote of the stockholders representing a majority of the outstanding capital stock at a regular or special meeting. ARTICLE VIII SEAL Section 1. Form and Inscriptions - The corporate seal shall be determined by the Board of Directors. ARTICLE IX

ADOPTION CLAUSE The foregoing by-laws was adopted by all the stockholders of the corporation on the 1st day of March 2012at the principal office of the corporation. IN WITNESS WHEREOF, we, the undersigned incorporators present at said meeting and voting thereat in favor of the adoption of said by-laws, have hereunto subscribed our names this 12th day of March 2012 at Baguio City, Philippines. SIGNATURES OF ALL INCORPORATORS AMAR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City AMOR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City AMER VALLEJOS AMIR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

AMUR VALLEJOS EMOR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

SUBSCRIBED AND SWORN to before me in the City of Baguio this 5th day of March 2012 by, Amar Vallejos, Amer Vallejos, Amir Vallejos, Amor Vallejos, Amur Vallejos, and Emor Vallejos who have exhibited to me their respective identification documents as appearing below their names and signatures and who are the same persons who personally signed before me the foregoing by laws and acknowledged that they executed the same.

Doc. No. _ ___; City/01-11-12 Page No. _____; Book No. I ; 9031984 Series of 2012. Benguet

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

CERTIFICATE OF INCREASING THE AUTHORIZED CAPITAL STOCK OF

NABUHAY, INC. KNOW ALL MEN BY THESE PRESENTS: That we the undersigned, the Chairman and the Secretary of the stockholders' meeting and the majority members of the Board of Directors of NABUHAY INC, INC., a corporation organized and existing under and by virtue of the laws of the Philippines with principal office at Baguio City, Philippines, do hereby CERTIFY: 1.That at the meeting of the stockholders of the said corporation held in accordance with Section 38 of the Corporation Code, B.P. Blg. 68, at its principal office on March 1, 2012 at which meeting stockholders representing at least twothirds (2/3) of the outstanding capital stock were present in person or by proxy, the stockholders present by unanimous vote approved the increase of the corporation's authorized capital stock from __________________________ (P_____________) divided into __________________________ (_____________) shares with a par value of _____________ (P_________) per share to __________________________ (P_____________) divided into __________________________ (_____________) shares with a par value of _____________ (P_________) per share; 2.That the aforesaid increase in the authorized capital stock was likewise approved by at least majority of the directors at a meeting held on _____________ at the principal office of the corporation; 3. That of the increase of capital stock of __________________________ (P_____________) - common shares, the amount of __________________________ (P_____________) worth of shares has been actually subscribed by the following subscribers and of the said subscription, the amount of __________________________ (P_____________) has been actually paid as follows: Name of Subscribed No. of Shares Amount Subscribed Amount Paid-up 4.That the actual indebtedness of the corporation as of date of stockholders' meeting amount to __________________________ (P_____________); 5.That no bonded indebtedness has been incurred, created or increased as of date of stockholders' meeting. IN WITNESS WHEREOF, we have hereunto set our hands this _____________ at _____________, Philippines. SIGNATURES OF STOCKHOLDERS AMAR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City AMER VALLEJOS AMIR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

AMOR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City

AMUR VALLEJOS EMOR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

COUNTERSIGNED: Chairman at the Stockholders' Meeting OMOR VALLEJOS CTC No. 09031987 Issued on 01/29/2012 Issued at Baguio City

Secretary at the Stockholders' Meeting IMOR VALLEJOS CTC No. 09031988 Issued on 01/29/2012 Issued at Baguio City SUBSCRIBED AND SWORN to before me in the City of Baguio this 5th day of March 2012 by, Amar Vallejos, Amer Vallejos, Amir Vallejos, Amor Vallejos, Amur Vallejos, and Emor Vallejos who have exhibited to me their respective identification documents as appearing below their names and signatures and who are the same persons who personally signed before me the foregoing certificate and acknowledged that they executed the same.

Doc. No. _ ___; City/01-11-12 Page No. _____; Book No. I ; 9031984 Series of 2012. Benguet

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

CERTIFICATION OF AMENDMENT OF BY LAWS OF NABUHAY, INC. KNOW ALL MEN BY THESE PRESENTS: That we the undersigned, the Chairman and the Secretary of the stockholders' meeting and the majority members of the Board of Directors of NABUHAY INC, INC., a corporation organized and existing under and by virtue of the laws of the Philippines with principal office at Baguio City, Philippines, do hereby CERTIFY: 1.That at the meeting of the stockholders of the said corporation held in accordance with Section 38 of the Corporation Code, B.P. Blg. 68, at its principal office on March 1, 2012 at which meeting stockholders representing at least twothirds (2/3) of the outstanding capital stock were present in person or by proxy, the stockholders present by unanimous vote approved THAT The principal office of the corporation shall be located at LA TRINIDAD and not in the place stated in Article III of the Articles of Incorporation. The corporation may have such other branch offices, either within or outside the Philippines, as the Board of Directors may designate or as the business of the corporation may, from time to time require.; 2. That the aforesaid change in the principal office likewise approved by at least majority of the directors at a meeting held on March 12, 2012 at the principal office of the corporation; 3. That no bonded indebtedness has been incurred, created or increased as of date of stockholders' meeting. IN WITNESS WHEREOF, we have hereunto set our hands this _____________ at _____________, Philippines. SIGNATURES OF STOCKHOLDERS AMAR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City AMER VALLEJOS AMIR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

AMOR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City

AMUR VALLEJOS EMOR VALLEJOS CTC No. 09031984 CTC No. Issued on 01/29/2012 Issued at Baguio City Issued on 01/29/2012 Issued at Baguio

COUNTERSIGNED: Chairman at the Stockholders' Meeting OMOR VALLEJOS CTC No. 09031987 Issued on 01/29/2012 Issued at Baguio City

Secretary at the Stockholders' Meeting IMOR VALLEJOS CTC No. 09031988 Issued on 01/29/2012 Issued at Baguio City SUBSCRIBED AND SWORN to before me in the City of Baguio this 5th day of March 2012 by, Amar Vallejos, Amer Vallejos, Amir Vallejos, Amor Vallejos, Amur Vallejos, and Emor Vallejos who have exhibited to me their respective identification documents as appearing below their names and signatures and who are the same persons who personally signed before me the foregoing certificate and acknowledged that they executed the same.

Doc. No. _ ___; City/01-11-12 Page No. _____; Book No. I ; 9031984 Series of 2012. Benguet

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

ARTICLES OF PARTNERSHIP OF JAJAMORE NIKE KNOW ALL MEN BY THESE PRESENTS: That we, AMOR VALLEJOS, single, and JAJA FLORES single, and RES PAUL, single, all Filipinos, of legal ages, and residents of Baguio City, Philippines, have on this day, covenanted to establish a partnership, in accordance with the laws of the Republic of the Philippines; AND WE HEREBY CERTIFY: 1. That the names and addresses of the respective partners are as follows: Name AMOR VALLEJOS JAJA FLORES RES PAUL Address # 36 DPS, BAGUIO CITY # 35 DPS, BAGUIO CITY # 34 DPS, BAGUIO CITY

2. That the name of this partnership shall be JAJAMORE and it shall exist for TEN (10) years from the execution of this instrument, unless the partners mutually agree in writing to a shorter period. Should the partnership be terminated by unanimous vote, the assets and cash of the partnership shall be used to pay all creditors, with the remaining amounts to be distributed to the partners according to their proportionate share. 3. That the capital of this partnership shall be ONE HUNDRED THOUSANDONLY (P500, 000.00), Philippine Currency, broken down, in contributions, as follows: Name of Partner AMOR VALLEJOS JAJA FLORES RES PAUL Contribution P 200, 000.00 P 200, 000.00 P 100, 000.00

The partnership shall maintain a capital account record for each partner; should any partner's capital account fall below the agreed to amount, then that partner shall (1) have his share of partnership profits then due and payable applied instead to his capital account; and (2) pay any deficiency to the partnership if his share of partnership profits is not yet due and payable or, if it is, his share is insufficient to cancel the deficiency. 4. That the purpose(s) for which this partnership is established are as follows: a. To distribute the newest and original Nike Apparel to its customers. b. To sell those Nike apparels at the affordable price to customers. c. To generate high and continuous income. 5. The partners shall provide their full-time services and best efforts on behalf of the partnership. No partner shall receive a salary for services rendered to the partnership. Each partner shall have equal rights to manage and control the partnership and its business. Should there be differences between the partners concerning ordinary business matters, a decision shall be made by unanimous vote. It is understood that the partners may elect one of the partners to conduct the day-to-day business of the partnership;

however, no partner shall be able to bind the partnership by act or contract to any liability exceeding Pesos: fifty thousand (P50, 000.00), Philippine Currency, without the prior written consent of each partner. 6. That the profits and losses shall be divided among the partners pro rata, in proportion to their respective contributions. 7. In the event a partner withdraws or retires from the partnership for any reason, including death, the remaining partners may continue to operate the partnership using the same name. A withdrawing partner shall be obligated to give thirty (30) days' prior written notice of (his/her) intention to withdraw or retire and shall be obligated to sell (his/her) interest in the partnership. 8. No partner shall transfer interest in the partnership to any other party without the written consent of the remaining partner(s). The remaining partner(s) shall pay the withdrawing or retiring partner, or to the legal representative of the deceased or disabled partner, the value of his interest in the partnership, or (a) the sum of his capital account, (b) any unpaid loans due him, (c) his proportionate share of accrued net profits remaining undistributed in his capital account, and (d) his interest in any prior agreed appreciation in the value of the partnership property over its book value. No value for good will shall be included in determining the value of the partner's interest. 9. A partner who retires or withdraws from the partnership shall not directly or indirectly engage in a business which is or which would be competitive with the existing or then anticipated business of the partnership for a period of five (5) years within the City of Baguio where the partnership is currently doing or planning to do business. IN WITNESS WHEREOF, we have hereunto set our hands this 12th day of March, 2012 at Baguio City, Philippines

(SIGNATURES OF PARTNERS) AMOR VALLEJOS CTC No. 09031983 09031985 Issued on 01/29/2012 Issued at Baguio City City JAJA FLORES CTC No. 09031984 Issued on 01/29/2012 Issued at Baguio City AMIR VALLEJOS CTC No.

Issued on 01/29/2012 Issued at Baguio

SIGNED IN THE PRESENCE OF: JUNE JAY JAY JAY

ACKNOWLEDGMENT REPUBLIC OF THE PHILIPPINES } DONE: IN THE CITY OF BAGUIO } S.S. X ======================= X BEFORE ME, a Notary Public in and for the City of Baguio, this 12 th day of March 2012, personally appeared AMOR VALLEJOS, AMER VALLEJOS, AND AMIR VALLEJOS, who are personally known to me, that they are the same

persons who executed and voluntarily signed the foregoing Acknowledgment Articles of General Partnership which they acknowledged before me as their free and voluntary act and deed.

This instrument consisting of TWO (2) pages, including the page on which this acknowledgment is written has been signed on the left margin of each and every page thereof by the parties and their witnesses. WITNESS MY HAND AND SEAL. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 Doc. No. ___; City/01-11-11 Page No. ___; Atty. No. 12345 Book No. I ; 9031984 Series of 2012. Baguio-Benguet PTR No. 050183/Baguio Roll of IBP Lifetime Membership No.

PRINCE PRIMEHOLDINGS, INC. 5F Lopez Building, Session Road Baguio City Tel. No. (074) 443-0007

NOTICE OF CALL

Notice is hereby given that at a meeting of the Board of Directors of the WJ PRIMEHOLDINGS, INC. held on February 1, 2012, unpaid subscriptions to the capital stock of the corporation WERE DECLARED DUE AND PAYABLE to the principal office at 5F Lopez Building, Session Road, Baguio City on May 1, 2012. All stock upon which the subscription, with interest accrued, has not been paid on May 1, 2012, WILL BE DELINQUENT AND ADVERTISED FOR SALE at public auction, and unless payment of the subscription, with interest and costs accrued, is made before sale of the stock, same will be SOLD ON JUNE 1, 2012 to pay the amount of subscription and the accrued interest together with the costs of advertising and expenses of sale. Baguio City, Philippines, March 12, 2012.

YUGIH-YO Corporate Secretary

PRINCE PRIMEHOLDINGS, INC. 5F Lopez Building, Session Road Baguio City Tel. No. (074) 443-0007

NOTICE OF DELINQUENCY AND SALE Notice is hereby given that at a meeting of the Board of Directors of the WJ PRIMEHOLDINGS, INC. held on February 1, 2012, unpaid subscriptions to the capital stock of the corporation WERE TO BE SOLD at public auction on May 12, 2012. There will be a DELINQUENCY AND SALE at public auction on May 12, 2012 on all unpaid subscriptions to the capital stock which were not paid by the stockholder to pay the amount of subscription and the accrued interest together with the costs of advertising and expenses of sale. Baguio City, Philippines, March 12, 2012.

YUGIH-YO Corporate Secretary

PRINCE PRIMEHOLDINGS, INC. 5F Lopez Building, Session Road Baguio City Tel. No. (074) 443-0007

NOTICE OF MEETING PROPOSED INCREASE CAPITAL STOCK Notice is hereby given that at a meeting of the Board of Directors of the WJ PRIMEHOLDINGS, INC. held on February 1, 2012, about the PROPOSAL TO INCREASE CAPITAL STOCK OF THE CORPORATION. The proposal of the corporation increasing its authorized capital stock from ONE HUNDRED PESOS to ONE HUNDRED FIFTY PESOS - common shares which will amendment must be approved by the stockholders representing more than 2/3 of the outstanding capital stock at the annual stockholders' meeting Baguio City, Philippines, March 12, 2012.

YUGIH-YO Corporate Secretary

REPUBLIC OF THE PHILIPPINES } DONE: IN THE CITY OF BAGUIO } S.S. x--------------------------------------------x

AFFIDAVIT
KIM L. BANDAO, after being sworn in accordance with law, deposes and says: 1. That he is the Corporate Secretary of the WRJ PRIME HOLDINGS, INC. lawfully acting as such; 2. That pursuant to the resolution of the Board of Directors of said corporation, unpaid subscriptions of the stock to the corporation had been declared due and payable on February 29, 2012; 3. That he CAUSED NOTICE OF CALL for such unpaid subscriptions TO BE PUBLISHED in the Philippine Daily Inquirer once a week for four (4) successive weeks and also POSTED the same at the principal office of the corporation for the same period; 4. That he CAUSED NOTICE OF DELINQUENCY AND SALE TO BE PUBLISHED in the daily newspaper Philippine Daily Inquirer for ten (10) successive issues previous to the sale. 4. That he CAUSED NOTICE OF MEETING PROPOSED INCREASE CAPITAL STOCK in the daily newspaper Philippine Daily Inquirer for ten (10) successive issues previous to the sale.

IN TESTIMONY WHEREOF, he has hereunto caused this statement to be signed by him this ___day of April 2012 in Baguio City, Philippines. KIM L. BANDAO Corporate Secretary SUBSCRIBED AND SWORN to before me in the City of Baguio ____ day of April 2012 by KIM L. BANDAO who presented to me his Passport No. Passport No. ZZ3092133 valid until May 30,2013 as competent proof of his identity, and who is the same person who personally signed before me the foregoing Affidavit and acknowledged that he executed the same. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012

Doc. No. ___; City/01-11-11 Page No. ___; Atty. No. 12345 Book No. I ; 9031984 Series of 2012. Baguio-Benguet

PTR No. 050183/Baguio Roll of IBP Lifetime Membership No.

PROXY TO VOTE AT STOCKHOLDERS MEETING KNOW ALL MEN BY THESE PRESENTS: That I, AMOR VALLEJOS, Filipino, of legal age, single , and a resident of Camp 7, Baguio City , Philippines, do hereby constitute and appoint JAJA FLORES who is also of legal age, Filipino,single, and a resident of Camp 8, Baguio City, Philippines, to represent me and vote the ONE MILLION( 1, 000, 000) shares of the capital stock appearing in my name at the Annual Stockholders Meeting of NABUHAY, INC. to be held on May 1, 2012. IN WITNESS WHEREOF, I have hereunto set my hand this 12 th day of March 2012 at the City of Baguio, Philippines. AMOR VALLEJOS Accepted by: JAJA FLORES SIGNED IN THE PRESENCE OF: DIONE IVY GRETA BUNA

ACKNOWLEDGMENT REPUBLIC OF THE PHILIPPINES } DONE: IN THE CITY OF BAGUIO } S.S. X ======================= X BEFORE ME, a Notary Public in and for the City of Baguio, this 12 th day of March 2012, personally appeared AMOR VALLEJOS AND JAJA FLORES, who are personally known to me, that they are the same persons who executed and voluntarily signed the foregoing PROXY TO VOTE AT STOCKHOLDERS MEETING which they acknowledged before me as their free and voluntary act and deed.

This instrument consisting of ONE (1) page, including the page on which this acknowledgment is written has been signed on the left margin of each and every page thereof by the parties and their witnesses. WITNESS MY HAND AND SEAL. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 Doc. No. ___; City/01-11-11 Page No. ___; Atty. No. 12345 Book No. I ; 9031984 Series of 2012. Baguio-Benguet PTR No. 050183/Baguio Roll of IBP Lifetime Membership No.

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 IN THE MATTER OF THE PETITION FOR DECLARATORY RELIEF REGARDING CIVIL STATUS DIANA FAJ Petitioner, -versusMAR FAJ Respondent. x------------------------------x Civil Case No. 0714

PETITION
PETITIONER, through counsel, most respectfully states: 1. That the petitioner and respondent, Diana Faj and Mar Faj, respectively, are of legal age, Filipino Citizen and residents of No. 11 Breezehomes, Pias Rd., Camp 7 Baguio City Philippines; 2. That, on July 14, 2003 herein petitioner, who was then the legally wedded wife of herein respondent filed a complaint for annulment of marriage against said respondent, in the Regional Trial Court of Baguio; 3. That, on August 8, 2003 herein respondent (defendant in the annulment case) filed his answer to the aforementioned complaint for annulment;

4. That, after the case was duly heard and the necessary and material evidence presented, the Regional Trial Court of Baguio rendered its decision on April 23, 2004 granting the petition for annulment of said marriage annulled and cancelled in the records of marriage in the Local Civil Registrar; 5. That, on May 2, 2004 both petitioner and respondent, as plaintiff, and defendant in the petition for annulment of marriage case were served with copies of said decision; 6. That no appeal was taken from said decision until now; 7. That the records of the petition for annulment as well as the decision thereon were burned and destroyed during a fire that burned the portion of the City Hall of Baguio where the records in the said case are kept and stored; 8. That since then until the present time, no action had been taken by respondent either to reconstitute the destroyed records of said case, or to perfect his appeal form the judgment rendered therein; 9. That the petitioner has, at present, serious intention of getting married, but respondent, upon knowledge of this, had stated on several occasions that he would file a criminal action for bigamy, should petitioner marry again. WHEREFORE, petitioner prays for judgment declaring the decision of the Regional Trial Court of Baguio, which was rendered on April 23, 2004 in Civil Case No. 0511 as final and unappealable, and declaring the bonds of matrimony between petitioner and respondent as already dissolved, thereby making it legal for petitioner to marry again.

March 12, 2012. Baguio City, Philippines.

09-12 0602860 1202820

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet

REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, DIANA FAJ the petitioner in this case, have caused the preparation of the petition; I have read the material and relevant allegations therein contained are true and correct of my personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 12 th day of March 2012, in the City of Baguio, Philippines.

DIANA FAJ Affiant

SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by Diana Faj, personally known to me, who is the same person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 The Honorable Judge Rei F. Musngi of Regional Trial Court Of Baguio City Petitioner. -versusDexter Q. Dizon Respondent x------------------------------x Civil Case No. 0511

PETITION
PETITIONER, through counsel, most respectfully states:

1. That both petitioner and respondent are residents of the City of Baguio, Province of Benguet. 2. That petitioner is the Municipal Judge of the City of Baguio, Province of Benguet, having duly appointed and commissioned the said office on October 5, 1990. 3. That on October 24, 1990 the petitioner, by virtue of said appointment and commission, duly qualified for, assumed the duties of said office. 4. That on November 4, 1990, petitioner was informed by the Secretary of Justice that the President had revoked the appointment extended to petitioner. 5. That petitioner faithfully and interruptedly discharged the functions of said office until December 28, 1990, when respondent usurped said office, thereby illegally depriving petitioner of the same, under an alleged appointment by the President. 6. That there exists no cause or reason whatsoever whereby the petitioner should be disqualified from, or deprived of said office. 7. That respondent is now unlawfully holding and exercising said office, performing the functions connected therewith. WHEREFORE, petitioner prays for judgment declaring that respondent is not entitled to said office and ousting him therefrom, and declaring petitioner as the legal person entitled to hold and exercise the same, and restoring him to the possession thereof. March 12, 2012. Baguio City, Philippines.

09-12 0602860 1202820

ART MIGUEL B. SANLAO Notary Public Until December 31, 2013 PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING

I, REI F. MUSNGI the petitioner in this case, have caused the preparation of the petition; I have read the material and relevant allegations therein contained are true and correct of my personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 12 th day of March 2012, in the City of Baguio, Philippines.

REI F. MUSNGI Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by Dian Rei F. Musngi, personally known to me, who is the same person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 Rei F. Musngi Plaintiff, -versusCivil Case No. 05021

Dexter Q. Dizon Defendant. x------------------------------x

COMPLAINT
COMES NOW the Plaintiff in the above entitled case, through counsel, and to this Honorable Court alleges; I That the plaintiff, REI F. MUSNGI is of legal age and a resident of the City of Baguio; that defendant, DEXTER Q. DIZON is likewise of legal age, residing at No. 24 Santa Cruz Street, Aurora Hill, Baguio City and may be served with summons at said address; II That defendant on January 17, 2010, leased from the plaintiff the premises located at No. 7 Cruz Street, Manila, agreeing to pay monthly rental of P 12, 000.00 III However, defendant failed to pay the aforesaid monthly rentals on their due dates, such that as of the date hereof, his arrearages have accumulated up to P72,000.00; IV That on March 17, 2011, demands was made on defendant to pay his rental in arrears and vacate the premises, but despite said demands, written and oral, defendant failed and refused to pay the rentals in arrears and vacate the premises leased by him; V As a result, plaintiff was constrained to institute this case, incurring in the process obligations for litigation expenses and attorneys fess in the amount of P100,000.00 PRAYER WHEREFORE, it is respectfully prayed that judgment be rendered against the defendant ordering him: 1. 2. To vacate the premises leased by him; To pay the monthly sum of P12, 000.00 beginning with the month of April, 2011, with interest thereon at the legal rate until fully paid until the defendant vacates said premises; To pay the sum of P100,000.00 as litigation expenses and attorneys fees.

3.

Plaintiff further prays for such other reliefs as this Court may deem just and equitable. Manila, Philippines, March 12, 2012.

09-12 0602860 1202820

ART MIGUEL B. SANLAO Notary Public Until December 31, 2013 PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet

REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X

VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, REI F. MUSNGI the petitioner in this case, have caused the preparation of the petition; I have read the material and relevant allegations therein contained are true and correct of my personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 12 th day of March 2012, in the City of Baguio, Philippines. REI F. MUSNGI Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by Rei F. Musngi, personally known to me, who is the same person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 REI F. MUSNGI Plaintiff, -versusMARGE P. FAJARDO Defendant. x------------------------------x Civil Case No. 1124

COMPLAINT FOR JUDICIAL PARTITION OF REAL ESTATE


PLAINTIFF, through counsel, most respectfully states: 1. That the plaintiff is of legal age, single, Filipino citizen and a resident of No. 1 Piasville, Bakakeng Sur, Baguio City Philippines and defendant was likewise of legal age, single, Filipino Citizen and a resident of No 2 Amparo Road, Camp 7, Baguio City, Philippines. 2. That plaintiff and defendant are co-owners pro-indiviso, in two (2) equal parts, of one parcel of land (residential lot) situated at Hillside, Baguio City, and covered by Transfer Certificate of Title No. 12435 of the Office of the Register of Deeds of the City of Baguio, which parcel of land is more particularly described in said certificate of title as follows: A parcel of land (Lot 2-A-6-C, of the subdivision plan, (LRC) Psd-47132, being a portion of Lot 2-A-6, described on plan, (LRC) Psd-11998, LRC (GLRO) Rec.No. Civil Res. No. 211), situated in the Barrio of Res. Sec. J, City of Baguio, Bounded on the N., points 2 to 3, by Lot 2-A-5, (LRC) Psd11998; on the E., points 3 to 4, by Lot 2-A-7, Psd-11998; on the SE., points 4 to 1, by Lot 2-A-6-A of the subdivision plan; and on the W; points 1 to 2, by Lot 2-A-6-B, of the subdivision plan. Beginning at a point marked 1 on plan, being N. 68 deg. 38 E., 715.59 m. from Governor Station, Baguio City xxx. 3. That the aforementioned parcel of land has a 30-meter frontage at Pias Street, and is easily divisible into two parcels both of which can conveniently serve as either residential or commercial premises; 4. That plaintiff had several times notified defendant of formers desire and intention to partition said property, and, for that purpose, had presented and submitted to defendant a project-plan of partition, which was prepared and drafted by Engr. Jet Fronda, a duly licensed surveyor, and an unprejudiced third party;

5. That aforementioned project-plan of partition is a very fair and practical division of the property in question, and, to show plaintiffs good faith, his proposal to defendant was, and is, to be determined by lottery which of the two parcels shall pertain to either party; 6. That, for the preparation of said project-plan of partition, plaintiff paid said Engr. Jet Fronda the sum of P25,000.00 which is the reasonable compensation for the latters services; 7. That notwithstanding repeated demands of plaintiff, defendant refused and still refuses, without justifiable cause or reason, to accede to the partition of said property; PRAYER WHEREFORE, it is respectfully prayed that judgment issue: 1. Ordering the partition of the parcel of land mentioned and described in Paragraph 2 of this complaint, adopting for the purpose of said partition, the project-plan prepared by Engr. Jet Fronda, copy of which will be presented at the day of the trial; 2. Ordering that the determination as to which of the two (2) parcels in said project-plan should pertain to either party be done by the choice of the parties, and, should they pick the same lot, that it be done by lottery; 3. Ordering defendant to execute and sign all necessary papers or deeds which shall give validity and effect to this partition; 4. Ordering defendant to pay plaintiff the sum of P12,500.00 which is equivalent to 50% of the amount paid by plaintiff to the licensed surveyor for the preparation of the project-plan; 5. Other reliefs just and equitable under the premises are likewise prayed for. March 12, 2012. Baguio City, Philippines.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 City of Baguio, as represented by Mayor Jet Fronda Plaintiff, -versusJay Legacion Defendant x------------------------------x Civil Case No. 1217

COMPLAINT (Eminent Domain)


PLAINTIFF, through the undersigned counsel, and to this Honorable Court most respectfully states: 1. That plaintiff is a municipal corporation created by the laws of the Philippines, duly vested with the power to condemn and expropriate private property for public use; and defendant is a resident of No 17 Police St., City Camp, Baguio City, Philippines; 2. That for the purpose of promoting the physical, moral and spiritual well-being of the youth in the city, the Municipal Board of Baguio passed a resolution, to wit: Resolution No. 1114, providing for the construction of a public playground in the burnt area of City Camp district, covering Plaza Moriones and other adjacent areas; 3. That for the purpose of the aforementioned construction and public improvement, it is necessary for plaintiff corporation to acquire that certain parcel of the land situated in the district of City camp, Baguio City, Philippines, and described as follows: A parcel of land (Lot 2-A-6-C, of the subdivision plan, (LRC) Psd-47132, being a portion of Lot 2-A-6, described on plan, (LRC) Psd-11998, LRC (GLRO) Rec.No. Civil Res. No. 211), situated in the Barrio of Res. Sec. J, City of Baguio, Bounded on the N., points 2 to 3, by Lot 2-A-5, (LRC) Psd11998; on the E., points 3 to 4, by Lot 2-A-7, Psd-11998; on the SE., points 4 to 1, by Lot 2-A-6-A of the subdivision plan; and on the W; points 1 to 2, by Lot 2-A-6-B, of the

subdivision plan. Beginning at a point marked 1 on plan, being N. 68 deg. 38 E., 715.59 m. from Governor Station, Baguio City xxx. 4. That the sole owner of said parcel of land is the defendant; 5. That the assessed value of said property is P600, 000.00

PRAYER WHEREFORE, plaintiff prays for judgment: 1. Provisionally adjudging the value of said property in an amount equal to the assessed value of the same; 2. After said provisional sum is deposited by plaintiff with the City Treasurer, awarding forthwith the possession of the land to plaintiff; 3. After payment by plaintiff of the whole value adjudged by this Court, ordering the transfer to plaintiff of the title to said property, and for such other relief as may be called for in the premises. March 12, 2012. Baguio City, Philippines

09-12 0602860 1202820

ART MIGUEL B. SANLAO Notary Public Until December 31, 2013 PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet

REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING The Plaintiff in this case, have caused the preparation of the petition; have read the material and relevant allegations therein contained are true and correct of personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 12 th day of March 2012, in the City of Baguio, Philippines.

JET FRONDA Affiant

SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by JET FRONDA, personally known to me, who is the same person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

ART MIGUEL B. SANLAO

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 Jet Fronda Plaintiff, -versus071488 Mark Lester Mora Defendant. x------------------------------x Civil Case No.

COMPLAINT
PLAINTIFF, through counsel, and to this Honorable Court most respectfully states: 1. That the Plaintiff and Defendant are both of legal age, single, Filipino citizen and residents of No. 10 Aurora Hill and No. 8 Trancoville, Baguio City respectively; 2. That on April 23, 2009, plaintiff borrowed from the late Pedro Mora, who was the father of herein defendant, the sum of P50,000 payable within the period of one (1) year from said date, and, to secure the payment of said obligation, plaintiff executed a Deed of Mortgage over a parcel of land, the description of which is contained in said Deed of Mortgage, copy of which is attached to this complaint as Annex A; 3. That the aforementioned Pedro Mora died intestate on December 1, 2010, leaving one legitimate child, defendant in this case, as his sole surviving heir;

4. That said defendant, prepared a deed of extrajudicial partition of the properties and assets left by his late father, but failed to specify in said document the heirs to whom plaintiffs mortgage indebtedness would be assigned; 5. That the contractual period for the payment of said obligation will lapse on the 23rd of this month, and plaintiff is desirous, ready and willing to pay the same; 6. That the defendant claims that he is solely entitled to said payment by virtue of an agreement between them, and plaintiff has no means of knowing definitely to whom of the two indebtedness should be paid; 7. That without this action, more damage and inconveniences will be caused to plaintiff; PRAYER WHEREFORE, it is respectfully prayed, that judgment issue: 1. Ordering defendant to interplead and litigate the conflicting claims between them; 2. Ordering the payment of the indebtedness to this Court during the pendency of this action, and considering said payment as made to defendant entitled to the same; 3. Adjudging the mortgage, marked as Annex A hereof, released and cancelled and ordering that proper documents for said release, be executed and signed, and that said release shall be retroactive to the day payment is made to this Court; 4. Ordering the defendant to pay these costs of this Honorable Court. Plaintiffs likewise pray for such other and further relief or reliefs to this Honorable Court may deem just and equitable in the premises. March 12, 2012. Baguio City, Philippines

09-12 0602860 1202820

ART MIGUEL B. SANLAO Notary Public Until December 31, 2013 PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet

REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, JET FRONDA, the plaintiff in this case, have caused the preparation of the petition; I have read the material and relevant allegations therein contained are true and correct of my personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 28 th day of February 2012, in the City of Baguio, Philippines. JET FRONDA Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by Diana Fajardo, personally known to me, who is the same

person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 Jay Legacion Petitioner -versusJet Fronda RTC Judge of Baguio City Respondent x------------------------------x Civil Case No. Certiorari

PETITION
PETITIONER, through counsel, most respectfully states:

1. That the Petitioner and Respondent are both of legal age, single, Filipino citizen and residents of No. 1 Hillside and No. 18 Gibraltar, Baguio City respectively; 2. That, on November 11, 2010 respondent Judge, filed a complaint in the RTC of Baguio, Province of Benguet against and above petitioner, for the recovery of an alleged indebtedness in the amount of P100,000.00, copy of which complaint is attached to this petition as Annex A; 3. That respondent Judge gave due course to said complaint, and summoned the above petitioner (respondent in that case) to answer the complaint and to enter trial on November 25, 2010; 4. That on November 29, 2010 the herein petitioner filed a Motion to Dismiss the complaint in the aforementioned case, on the ground that the said indebtedness has already been paid; 5. That, during the hearing of the aforementioned Motion to Dismiss, respondent judge asked the herein petitioner whether or not he has already paid the said indebtedness, to which question the petitioner, not being a lawyer, answered that he has already paid but he has no evidence in his possession to prove his payment; 6. That respondent judge thereupon denied the petitioners motion to dismiss, and reset the trial of the case; petitioner has no evidence to prove his payment; 7. That two months after issuance of the said order, petitioner found the missing receipt, and thereafter, filed another motion to reconsider the order of denial, but the respondent judge denied the motion; 8. That there is no appeal, nor any plain, speedy, and adequate remedy in the ordinary course of law from the aforementioned order of respondent judge, except this petition for certiorari.

PRAYER WHEREFORE, petitioner prays that respondent be ordered to answer this petition, and, after hearing, that the order of the respondent judge denying the petitioners motion to dismiss be annulled, and that said respondent judge be declared to be without jurisdiction to try the case, subject matter of this petition, ordering him, therefore, to dismiss the same, with costs. March 12, 2012. Baguio City, Philippines

ART MIGUEL B. SANLAO Notary Public Until December 31, 2013

09-12 0602860 1202820

PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet

REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, JAY LEGACION, the petitioner in this case, have caused the preparation of the petition; I have read the material and relevant allegations therein contained are true and correct of my personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such

pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 12 th day of March 2012, in the City of Baguio, Philippines. JAY LEGACION Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by Diana Fajardo, personally known to me, who is the same person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 Rei F. Musngi Petitioner,

-versusDexter Q. Dizon MTC Judge of Baguio City Respondent. x------------------------------x

Case No. 1608 Prohibition

PETITION
PETITIONER, through counsel, most respectfully states: 1. That petitioner is a resident of Camp 7, Baguio City, respondent is the Municipal Trial Court Judge of the City of Baguio; 2. That on January 25, 2011, Respondent filed a complaint for forcible entry and detainer against petitioner, in the Municipal Trial Court of Baguio, and docketed in said court as Civil Case No. 1234; 3. That the subject matter of the aforementioned complaint is a certain parcel of land which is situated in Brgy. Pacdal, Baguio City., and which is more particularly described as follows; A parcel of land (Lot 2-A-6-C, of the subdivision plan, (LRC) Psd-47132, being a portion of Lot 2-A-6, described on plan, (LRC) Psd-11998, LRC (GLRO) Rec.No. Civil Res. No. 211), situated in the Barrio of Res. Sec. J, City of Baguio, Bounded on the N., points 2 to 3, by Lot 2-A-5, (LRC) Psd11998; on the E., points 3 to 4, by Lot 2-A-7, Psd-11998; on the SE., points 4 to 1, by Lot 2-A-6-A of the subdivision plan; and on the W; points 1 to 2, by Lot 2-A-6-B, of the subdivision plan. Beginning at a point marked 1 on plan, being N. 68 deg. 38 E., 715.59 m. from Governor Station, Baguio City xxx. 4. That there is a duly constituted and functioning Municipal Court for and in the City of Baguio; 5. That respondent as Municipal judge, allowed said complaint to be filed in his Court, and forthwith issued, and ordered to be served, the corresponding summons to petitioner. 6. That petitioner, immediately after service of the summons upon him filed a motion to dismiss the complaint on the ground that respondent judge had no jurisdiction to try the same, which motion was heard and argued on August 10, 2011. 7. That on August 12, 2011 respondent judge issued an order denying the aforementioned motion to dismiss, and ordering the petitioner to answer the complaint and to enter trial on August 16, 2012 at 9:00 am. 8. That the above-mentioned case for Forcible Entry and Detainer is outside the jurisdiction of respondent judge, and the order requiring the petitioner to answer the complaint and enter trial is done without and/or in excess of the jurisdiction of the Municipal court.

9. That petitioner has no other plain, speedy and adequate remedy in the ordinary course of law. WHEREFORE, petitioner prays that respondent judge be prohibited from enforcing the order requiring petitioner to answer the complaint and to enter trial in Civil Case No. 1234 of said court, and from further proceeding in the action which is clearly beyond its jurisdiction, and for such other remedy as may be just and equitable in the premises. March 12, 2012. Baguio City, Philippines

09-12 0602860 1202820

ART MIGUEL B. SANLAO Notary Public Until December 31, 2013 PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet

REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X

VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, REI F. MUSNGI, the petitioner in this case, have caused the preparation of the petition; I have read the material and relevant allegations therein contained are true and correct of my personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 12 th day of March 2012, in the City of Baguio, Philippines.

REI F. MUSNGI Affiant

SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by Diana Fajardo, personally known to me, who is the same person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES REGIONAL TRIAL COURT FIRST JUDICIAL REGION BAGUIO CITY, BRANCH 6 Jet Fronda Petitioner, -versusRei F. Musngi and Dexter Q. Dizon, MTC Judge of Baguio City Respondents. x------------------------------x PETITION PETITIONER, through counsel, most respectfully states: 1. That petitioner is a resident of Camp 8, Baguio City, respondent Musngi is a resident of Brgy. Loakan and Respondent Dizon is the Municipal Trial Court Judge of the City of Baguio. 2. That on January 4, 2011, petitioner filed a civil complaint for forcible entry and detainer against respondent Musngi in the Municipal Court of Baguio, which case docketed in said court as Civil Case No. 46537. 3. That said case was duly tried in the aforementioned Municipal Court, and on January 29, 2011, a decision was rendered ordering respondent Musngi to pay to the petitioner or to the court, a monthly rental of P5,000.00 until the said premises are finally vacated by respondent Musngi, copy of which decision is attached to this petition as Annex A. 4. That respondent Musngi perfected his appeal from the aforementioned decision, and the records of said case had been duly transmitted to the Regional Trial Court of Baguio where it is now pending appeal, and is docketed as Civil Case No. 4579. 5. That respondent Musngi failed to pay, either to the petitioner or to the court, the rentals for the months of February and March 2011 notwithstanding the lapse of the period allowed for the said payment. 6. That on April 12, 2011 the petitioner filed a motion for the execution of the judgment appealed from, on the ground of the aforementioned failure of respondent Musngi to pay rentals within the reglementary period, copy of which motion is attached to his petition as Annex B. 7. That after due notice to respondent Musngi, said motion was heard by respondent Judge and in said hearing, respondent Musngi admitted not having paid the rentals aforementioned, but objected to the motion, and presented arguments which were absolutely without legal basis. GR No. 987650 MANDAMUS

8. That April 24, 2011, respondent Judge, promulgated an order denying the motion and laying as sole basis for said denial, the hackneyed, indeterminate and much-abused phrase: for lack of merit. Copy of this order is attached hereto as Annex C. 9. That in denying said motion of the petitioner, and in neglecting and refusing to issue forthwith an order for the execution of the decision appealed from in said case, respondent Judge as Judge of the Regional Trial Court of Baguio, gravely abused his discretion and unlawfully neglected his performance of an act which is specifically enjoined upon him as a duty. 10. That the petitioner has no other plain, speedy and adequate remedy in the ordinary course of law, against the aforementioned order, except this petition for mandamus. WHEREFORE, petitioner prays that this court order the Honorable Dexter Q. Dizon, as Judge of the Regional Trial Court of Baguio, to immediately order the execution of the judgment appealed from in Civil Case No. 4857 without prejudice to the appeal taking its course until the final disposition thereof on its merits, and that the costs of the present mandamus proceedings be adjudge against the other respondent.

March 12, 2012. Baguio City, Philippines

09-12 0602860 1202820

ART MIGUEL B. SANLAO Notary Public Until December 31, 2013 PTR No. 071488/Baguio City/01Roll of Atty. No. IBP Lifetime Membership No. Baguio-

Benguet

REPUBLIC OF THE PHILIPPINES) DONE: IN THE CITY OF BAGUIO ) S.S. X ========================== X VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, JET FRONDA, the petitioner in this case, have caused the preparation of the petition; I have read the material and relevant allegations therein contained are true and correct of my personal knowledge. I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; that to the best of my knowledge, there is no such pending action or claim and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days there from to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affix my signature this 28 th day of February 2012, in the City of Baguio, Philippines.

JET FRONDA Affiant

SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 by Rei Fajardo, personally known to me, who is the same person who personally signed before me the foregoing affidavit and acknowledged that she executed the same.

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112 PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

REPUBLIC OF THE PHILIPPINES | CITY OF BAGUIO |

S.S.

AFFIDAVIT FOR PRELIMINARY ATTACHMENT


JONILA F. CRUZ, married, of legal age, Filipino citizen, with permanent address at 16 Navy Base Compound, Baguio City, Philippines after having been sworn to in accordance with law depose and state that: 1. She is the plaintiff in Civil Case No.01253, RTC, Baguio City, entitled Jorina F. Dela Cruz vs. Natividad M. Matuan; 2. The said case is for recovery of P 1,500,000.00 which defendant embezzled and fraudulently converted into her own benefit and which amount she collected for plaintiff, as the latters agent, after collecting the same from plaintiffs debtor MARIO T. TANAO; 3. Plaintiff has good and valid cause of action against defendant, that the case is one of those mentioned in Section 1 of Ryle 57 of the Rules of Court, that there is no other sufficient security for the claim sought to be enforced by the action, and that the amount due to the applicant, is as much as the sum for which the order may be granted above all legal counterclaims; 4. Plaintiff is willing and ready to post a bond executed to the adverse party in the amount which the Honorable Court may fix in the order granting the writ of attachment, conditioned that the latter will pay all the costs which may be adjudged to the adverse party and all damages which may sustain by reason of the attachment, if the court shall finally adjudge that the applicant was not entitled thereto. IN WITNESS WHEREOF, I set my hand this 12th day of March 2012 at Baguio City, Philippines. JOLINA F. CRUZ Affiant TIN 205-202-768 SUBSCRIBED AND SWORN to before me this 12th day of March 2012 at Baguio City, Philippines.

ART MIGUEL B. SANLAO Notary Public Until December 31, 20112

Doc. No. ___; City/01-09-12 Page No. ___; Book No. ; No. 1202820 Series of 2012.

PTR No. 071488/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership Baguio-Benguet

Republic of the Philippines REGIONAL TRIAL COURT BRANCH 7 Baguio City JANILET CARILLO, Plaintiff -versusRESBAK VELOSO, Defendant xxx----------------------------xxx COMPLAINT FOR RECOVERY OF PERSONAL PROPERTY Plaintiff, thru counsel, and unto this Honorable Court, respectfully alleges: 1. That Plaintiff is of legal age, Filipino citizen, single, and with residence and postal address at 98 Sandiko St., Baguio City, while defendant, who is doing business under the name and style, Veloso Motor Shop at 117 Bonifacio St., Baguio City, where he may be served with summons and other legal processes. 2. Plaintiff is the lawful and registered owner of a motor vehicle, brand new, which is described as follows: Make: Toyota Model: Fortuner Year: 2010 Plate No.: MPS 88

Civil Case No. 12345

3. On February 14, 2012, while driving her car at Marcos Highway, Baguio City, two armed men stopped her and forcibly took her car from her. 4. Plaintiff reported the incident at the Baguio City Police Station, which immediately conducted an investigation, and the following day, the police found the car at the defendants mortor shop at Bonificio St. 5. Plaintiff demanded from defendant the return to him of said motor vehicle, explaining to him that said motor vehicle was forcibly taken from her by armed men, but defendant refused and continues to so refuse, prompting plaintiff to file the instant action for recovery of said motor vehicle and damages of P1, 000, 000. 6. As defendant wrongfully refused to return the motor vehicle to plaintiff, the latter has the been constrained to file the action and to secure the services of counsel to protect his interest and to incur expenses of litigation, in the amount of P500, 000, which should be assessed against defendant. 7. The motor vehicle has an actual value of P1, 500, 000. It has not been distrained or taken for a tax assessment or a fine pursuant to law, or seized under a writ of execution or preliminary attachment, or otherwise placed under custodial egis. 8. For the purposes of this replevin, plaintiff has executed a bond, to the defendant in double the value of said motor vehicle, for the return of the property to the defendant if such return be adjudged, and for the payment to said defendant of such sum as he may recover from the plaintiff in the action. 9. To further substantiate the foregoing allegations, plaintiff attaches herewith his affidavit detailing how he was illegally deprived of the possession of his motor vehicle and his replevin bond, required for the purpose. WHEREFORE, the plaintiff prays for judgment as follows: 1. Ordering the sheriff or any other proper office of the court fortwith to take the motor vehicle into his custody and to dispose of it in accordance with the Rules of Court; 2. After trial, adjudging that plaintiff has the right to the possession of the property and directing defendant to pay plaintiff the total value of the property of P1,000, 000 with interest

thereon at 12% per annum in case delivery cannot be made, and damages of P500, 000, and attorneys fees and expenses of litigation of P250, 000, plus cost. Plaintiff prays for such other relief as may be just and equitable in the premises.

Baguio City, this 12th day of March 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio City/01-11-12 Roll of Atty. No. 012345 IBP Lifetime Membership No. 9031984 Baguio-Benguet

Republic of the Philippines} City of Baguio }s.s. x----------------------------------x VERIFICATION AND CERTIFICATION I, JANILET CARILLO, after having been sworn to in accordance with law hereby depose and state that : 1. I am the petitioner in the above-entitled case and have caused the preparation of the petition and have read the foregoing allegations and same as true and correct to my knowledge and belief; 2. I further certify that I have not commenced any other action, petition or motion involving the same issues in the Supreme Court other than this action, the Court of Appeals, or any tribunal, or agency, and to the best of my knowledge, no such action or proceeding is pending in the Supreme Court, Court of Appeals or any tribunal that a similar action or proceeding has been filed or is pending before the Supreme Court, the Court of Appeals or by any other tribunal or agency, we would undertake to notify the court, tribunal or agency within five (5) days from such notice. IN WITNESS WHEREOF, I have hereunto set my hand this 12th day of March 2012 at Baguio City. JANILET CARILLO Petitioner SUBSCRIBED AND SWORN to before me in the City of Baguio this 12th day of Marc|h 2012, by JANILET CARILLO, who is personally known to me to be the same person who executed and personally signed the foregoing complaint before me and acknowledged that she executed the same.

Doc. No. _ ___; City/01-11-12 Page No. _____; Book No. I ; 9031984 Series of 2012. Benguet

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

Republic of the Philippines REGIONAL TRIAL COURT FIRST JUDICIAL REGION Branch V Baguio City LEBRONDA JAMES Plaintiff; -versusLEBRON JAMES, Defendant. X-------------------------------------------------------X Civil Case No. ________

COMPLAINT
(With Application for Alimony Pendente Lite) PLAINTIFF, by counsel and to this Honorable Court, respectfully avers:
1. Plaintiff is of legal age and with residence at #4 Regidor Street, Pacdal, Baguio City while defendant is also of legal age and at present residing at 115 Camp Allen, Baguio City, where he may be served with summons and other legal processes; 2. Plaintiff is the wife of defendant, they have been married on October 15, 2007 and the marriage having been solemnized by Father Alfonso Lacaban of the Holy Family Church in Quezon City. Certified true copy of their marriage certificate is attached hereto as Annex A; 3. Plaintiff and defendant have two (2) minor children, aged 3 and 5 years old, named Samson and Delilah, who are living with plaintiff at the above indicated address. Enclosed here with are their respective Birth Certificates, marked as Annexes B and C respectively;

4. On or about June 1, 2010, defendant, without any valid reason, abandoned plaintiff and his two (2) children. Plaintiff later learned that he was and still is living with another woman. Since then, defendant had failed and refused and continues to fail and to refuse to provide financial support and maintenance to plaintiff and to his two children; 5. Plaintiff is without any source of income, as she stopped working when she and defendant got married, to devote her time to her children, while defendant is gainfully employed as Vice President of St. James Realty Corporation, where he earns a monthly salary of Sixty Thousand Pesos (P 60,000.00), apart from his commissions of 10% for real properties he sold; 6. To enable plaintiff and her two children to eat three times a day, she relied on the benevolence of relatives and friends; 7. Considering the defendants monthly income and earnings and the cost of living, plaintiff and her two children require a monthly support of Thirty Thousand Pesos (P 30,000.00), Eight Thousand Pesos (P 8,000.00) a month of which will be used to pay rentals for the apartment in which they stay and the balance for daily needs, which financial requirements will correspondingly increase as the children grow older and their requirements increase; 8. In support of plaintiffs claim for support pendent lite. Enclosed herewith are plaintiffs affidavit, detailing their daily expenses, lease contract for Eight Thousand Pesos (P 8,000.00) a month for the apartment in which she and her children live, and other authentic documents, apart from the documents attached as Annexes hereof, which are attached as Annexes D, E, and F , respectively.

WHEREFORE, plaintiff prays for judgment as follows:


a) Ordering defendant provide plaintiff and his two children monthly support pendente lite in the amount of Thirty Thousand Pesos (P 30,000.00) a month, payable within the first five (5) days every month starting April 2012; b) After trial, making defendants monthly support permanent, without prejudice to its upward adjustment, depending upon plaintiffs and the two childrens needs and the increasing financial earnings of defendant c) Ordering defendant to reimburse plaintiff the amount of Five Thousand Pesos (P 5,000.00) as attorneys fees and expenses of litigation.

DONE this 12th day of March 2012 in Baguio City, Philippines. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio City/01-11-12 Roll of Atty. No. 012345 IBP Lifetime Membership No. 9031984 Baguio-Benguet

REPUBLIC OF THE PHILIPPINES | CITY OF BAGUIO |

S.S.

VERIFICATION AND CERTIFICATION


I, LEBRONDA JAMES, after having been sworn to in accordance with law hereby depose and state that: 3. I am the Plaintiff in the above-entitled case and have caused the preparation of the complaint and have read the foregoing allegations and same as true and correct to my knowledge and belief; 4. I further certify that I have not commenced any other action, petition or motion involving the same issues in the Supreme Court other than this action, the Court of Appeals, or any tribunal, or agency, and to the best of my knowledge, no such action or proceeding is pending in the Supreme Court, Court of Appeals or any tribunal that a similar action or proceeding has been filed or is pending before the Supreme Court, the Court of Appeals or by any other tribunal or agency, we would undertake to notify the court, tribunal or agency within five (5) days from such notice. IN WITNESS WHEREOF, I have hereunto set my hand this 12 th day of March 2012 at Baguio City.

LEBRONDA JAMES Affiant Passport Number YX1234769 Issued in Baguio City Issued on January 10, 2011 SUBSCRIBED AND SWORN to before me in the City of Baguio this 12th day of March 2012 by LEBRONDA JAMES, who have satisfactorily proven her identity through her passport that she is the same person who executed and personally signed the foregoing affidavit before me and acknowledged that she executed the same. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

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Republic of the Philippines REGIONAL TRIAL COURT BRANCH 7 Baguio City CARILLO INTERNATIONAL, Plaintiff -versusRESBAK VELOSO, Defendant xxx----------------------------xxx COMPLAINT (With Prayer of Preliminary Injunction) Plaintiff, thru counsel, and unto this Honorable Court, respectfully alleges:

Civil Case No. 12345

1. That Plaintiff is a corporation duly organized and existing under and by virtue of the laws of the Philippines, with principal office at 98 Sandiko St., Baguio City, while defendant is single, Filipino citizen, of legal age, and with residence at 117 Bonifacio St., Baguio City, where he may be served with summons and other legal processes. 2. Plaintiff, engaged in sale of general merchandise, entered into an exclusive dealership and distribution agreement with Mayfair Manufacturing Company of New York, USA, whereby plaintiff, as independent distributor, would exclusively sell Mayfairs bearing the trademark, SKYLINE, in the Philippines and to protect said trademark from unauthorized used by others. Copy of said agreement is hereto attached as Annex A. 3. Defendant, also engaged in general merchandising, imported wearing apparel from XYZ Corporation based in New Delhi, India, which carried the trademark, SKYLINE, and began selling the same in Manila, on or about December 5, 2011, without the consent of plaintiff, nor that of Mayfair Manufacturing Company of New York, USA, and passing them off as either coming from the plaintiff or from the former. 4. As a consequence of defendants acts, plaintiff suffered damages and his sale of wearing materials bearing the mark SKYLINE has been diminishing, to such an extent that plaintiff has been losing profits of not less than P1,000,000 a month, starting December 2011. 5. Defendant continues to commit the acts of unfair competition and of illegally interfering with the agreement executed between plaintiff and Mayfair Manufacturing Company, in violation of plaintiffs rights. 6. Unless restrained during the pendency of the instant action, plaintiff will suffer more damages and defendant will continue violating plaintiffs rights, as exclusive dealer of said wearing apparel with the mark SKYLINE and of its rights against unfair competition, and in this connection, plaintiff avers as follows: a. Plaintiff has a good and valid cause of action. b. He is entitled to the relief demanded, and the whole or part of such relief consists in restraining the commission or continuance of the act or acts complained of, perpetually: c. The commission or continuance of the acts complained of during the litigation would probably work injustice to plaintiff or cause plaintiff irreparable injury not only to its business but also to its goodwill.

d. Defendant is doing or is procuring or suffering to be done, the acts complained of in violation of the rights of the plaintiff respecting the subject of the action or proceeding, and tending to render the judgment ineffectual. e. Plaintiff is ready and willing to file a bond executed to the defendant enjoined, in an amount to be fixed by the court, to the effect that plaintiff will pay to such party all damages which he may sustain by reason of the injunction or temporary restraining order if the court should finally decide that the applicant was not entitled thereto. . WHEREFORE, the plaintiff respectfully prays as follows: 1. Upon the filing of this action, a temporary restraining order be issued ex parte and thereafter a writ of preliminary injunction issue, restraining defendant or any of his agents and representatives from selling wearing materials bearing the trademark, SKYLINE, during the pendency of the action, upon such bond which will be posted by plaintiff in the amount as may be fixed by this Honorable Court. 2. After hearing, judgment be rendered in favor of plaintiff and against defendant: a. Ordering defendant to pay plaintiff the amount of P1,000, 000, as damages and loss of profits; b. Requiring defendant to account for all his sales of wearing materials with the trademark SKYLINE, and to pay all profits realized by him to plaintiff. c. Making the writ of preliminary injunction that may have been issued permanent.

Plaintiff further prays for such other reliefs as may be just and equitable in the premises. City of Baguio, this 10th day of March 2012.

2. After trial, adjudging that plaintiff has the right to the possession of the property and directing defendant to pay plaintiff the total value of the property of P1,000, 000 with interest thereon at 12% per annum in case delivery cannot be made, and damages of P500, 000, and attorneys fees and expenses of litigation of P250, 000, plus cost. Plaintiff prays for such other relief as may be just and equitable in the premises.

Baguio City, this 12th day of March 2012.

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio City/01-11-12 Roll of Atty. No. 012345 IBP Lifetime Membership No. 9031984 Baguio-Benguet

Republic of the Philippines} City of Baguio }s.s. x----------------------------------x VERIFICATION AND CERTIFICATION I, JANILET CARILLO, after having been sworn to in accordance with law hereby depose and state that : 5. I am the petitioner in the above-entitled case and have caused the preparation of the petition and have read the foregoing allegations and same as true and correct to my knowledge and belief; 6. I further certify that I have not commenced any other action, petition or motion involving the same issues in the Supreme Court other than this action, the Court of Appeals, or any tribunal, or agency, and to the best of my knowledge, no such action or proceeding is pending in the Supreme Court, Court of Appeals or any tribunal that a similar action or proceeding has been filed or is pending before the Supreme Court, the Court of Appeals or by any other tribunal or agency, we would undertake to notify the court, tribunal or agency within five (5) days from such notice. IN WITNESS WHEREOF, I have hereunto set my hand this 12th day of March 2012 at Baguio City. JANILET CARILLO Petitioner SUBSCRIBED AND SWORN to before me in the City of Baguio this 12th day of March 2012, by JANILET CARILLO, who is personally known to me to be the same person who executed and personally signed the foregoing complaint before me and acknowledged that she executed the same.

ART MIGUEL B. SANLAO Notary Public Until December 31, 2012

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PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

Republic of the Philippines REGIONAL TRIAL COURT FIRST JUDICIAL REGION Branch 3 Baguio City ELTON W. JOHN, as minority stockholder and on behalf of the stockholders similarly situated and for the benefit of AMERICAN MACHINERY AND PARTS MANUFACTURING, INC., Plaintiff,
versus

Civil Case No.:_________

DR. VICTOR BUENCAMINO, SR., VICTOR BUENCAMINO, JR., DOLORES A. BUENCAMINO and JULIO B. FRANCIA, JR, as majority stockholders,

Defendants. x--------------------------------------x

COMPLAINT WITH APPLICATION FOR RECEIVERSHIP Complainant,


respectfully avers that:
1. That the plaintiff is of legal age, married, and a resident of #89 Camp Dangwa,Baguio City, and a minority stockholder of the American Machinery and Parts Manufacturing Inc., a domestic corporation organized under the laws of the Philippines; 2. That defendants are all of legal age, married and a resident of #65 M. Roxas St. Lower Brookside, Baguio City, and the majority stockholders of the said corporation; 3. That following a derivative suit brought by the plaintiff herein, the defendants were found guilty of mismanagement and breach of trust and condemned to pay the said corporation the sum of P1,970,200 with legal interest from date of the filing of the complaint, such that the corporation by way mismanagement by the majority stockholders is in imminent danger of insolvency that may lead to its dissolution; 4. That the applicant for receivership as a minority stockholder has an interest in the funds and/or capital of the corporation and such is in danger of being lost, removed, or materially injured, unless a receiver be appointed to guard and preserve it. 5. That the appointment of a receiver in this case is the most convenient and feasible means of preserving, administering or disposing of the property in litigation.

by the undersigned attorney, and unto this Honorable Court,

Baguio City, Philippines. March 12, 2012

REPUBLIC OF THE PHILIPPINES } DONE: IN THE CITY OF BAGUIO } S.S. x--------------------------------------------x VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, ELTON W. JOHN, of legal age, Filipino citizen and a resident of #89 Camp Dangwa,Baguio City, after being duly sworn in accordance with law, hereby depose and state: 1. That I am the Plaintiff in the above-entitled case;

2. That I Receivership;

have caused the preparation of the

Complaint with Application for

3. That I have read the material and relevant allegations therein contained are true and correct of my personal knowledge and authentic documents; 4. That I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; 5. That to the best of my knowledge, there is no such pending action or claim, and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days therefrom to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affixed my signature this 12th day of March 2012, in the City of Baguio, Philippines. ELTON W. JOHN Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 12 th day of March 2012 byELTON W. JOHN, who is personally known to me, and who is the same person who personally signed before me the foregoing affidavit and acknowledged that he executed the same. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

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Republic of the Philippines MUNICIPAL TRIAL COURT IN CITIES FIRST JUDICIAL REGION Branch 3 Baguio City GRETA BUNA CRUZ, Plaintiff,
Versus

Civil Case No. _____________ For: SUM OF MONEY WITH PRELIMINARY ATTACHMENT

MRS. NOVELINDA LAPID, Defendant. x--------------------------------------x

COMPLAINT WITH PRAYER FOR PRELIMINARY ATTACHMENT PLAINTIFF, thru counsel, and unto this Honorable Court, respectfully avers that:
1. Plaintiff is of legal age, married, Filipino Citizen and a resident of Km. 4 Marcos Highway, Baguio City where she may be served with summons and other court processes; 2. That the Defendant is of legal age, Filipino Citizen and a resident of No. 54 Atok Trail, Baguio City, where she may be served with summons and other court processes; 3. On December 22, 2005, defendant obtained a loan from plaintiff in the amount of P500,000.00 payable on or before January 22, 2008 as evidenced by the promissory Note hereto attached and marked as Annex A to form part hereof; Again, without paying on the first loan, defendant made an additional loan in the amount of FIFTY SIX THOUSAND PESOS (P56,000.00) payable on/or before December 31, 2010 as evidence by the promissory note hereto attached and marked as Annex B to form part hereof; That defendant on due date failed and refused to pay her obligation despite repeated written and verbal demands;
4. Defendant is about to remove or dispose of his property, with the intent to defraud his creditors; 5. The amount due to the plaintiff is as much as the sum for which an order of attachment is sought to be granted, above all legal counterclaims on the part of the defendant; 6. Plaintiff is willing to put up a bond for the issuance of a preliminary attachment in an amount to be fixed by the court, not exceeding the sum of PhP 556,000.00 PESOS equal to the amount of the plaintiffs claim, upon the condition that the plaintiff will pay the costs that may be adjudged to the defendant and all damages which he may sustain by reason of the attachment if this court so adjudge that the applicant was not entitled thereto.

WHEREFORE, it is respectfully prayed:


1) Pending the hearing of this case, a writ of preliminary attachment be issued against the property of the defendant to serve as security for the satisfaction of any judgment that may be recovered herein; and 2) After due hearing on the principal cause of this action, judgment be rendered against the defendant for the sum of FIVE HUNDRED FIFTYSIX THOUSAND PESOS with interest at the stipulated rate of 5 % from December 22, 2005 plus costs of this suit.

Other reliefs just and equitable are likewise prayed for. Baguio City, Philippines. March 12, 2012

REPUBLIC OF THE PHILIPPINES }

DONE: IN THE CITY OF BAGUIO } S.S. x--------------------------------------------x VERIFICATION AND CERTIFICATION AGAINST FORUM SHOPPING I, GRETA BUNA CRUZ, of legal age, Filipino citizen and a resident of Km. 4 Marcos Highway, Baguio City, after being duly sworn in accordance with law, hereby depose and state: 1. That I am the Plaintiff in the above-entitled case; 2. That I have caused the preparation of the Complaint with Prayer for preliminary attachment; 3. That I have read the material and relevant allegations therein contained are true and correct of my personal knowledge and authentic documents; 4. That I hereby certify that I have not heretofore commenced any action or filed any claim involving the same issues before any other court, tribunal or quasi-judicial agency; 5. That to the best of my knowledge, there is no such pending action or claim, and that if I should hereafter learn that the same or similar action or claim has been filed or is pending, I shall report such fact within five (5) days therefrom to the Honorable Court. IN WITNESS WHEREOF, I have hereunto affixed my signature this 12th day of March 2012, in the City of Baguio, Philippines. GRETA BUNA CRUZ Affiant SUBSCRIBED AND SWORN to before me in the City of Baguio this 12th day of Apri2012 by GRETA BUNA CRUZ, who is personally known to me, and who is the same person who personally signed before me the foregoing affidavit and acknowledged that he executed the same. ART MIGUEL B. SANLAO Notary Public Until December 31, 2012 PTR No. 050183/Baguio Roll of Atty. No. 12345 IBP Lifetime Membership No. Baguio-

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