Beruflich Dokumente
Kultur Dokumente
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
COMPLAINT AFFIDAVIT
I, ANNA QUEEN MARTINEZ, of legal age and a resident of 310-B San Juan Street,
Pasay City under oath declare that:
2. Last January 30, 2012 in my residence, Bryan Zafra and Aiken Jude Lopez
approached and asked me to become their business partner for the establishment of a
movie house to which I agreed;
3. Last September16, 2012 at about 3:30 p.m. the respondents purportedly met with me
and my cousin, Antonio, Ayries Grace to show the abandoned house at 403-C,
Libertad Pasay to be renovated into a movie house;
4. Upon meeting there, we entered the house to inspect it and Ryan Caf and Alberto
Manalang showed up, pointing their guns towards me and my cousin and told us not
to shout else they will shoot us;
5. Bryan Zafra then tied me and Aiken Lopez tied my cousin and dragged us upstairs
while Ryan Caf and Alberto Manalang continued pointing their guns and telling us
not to shout;
6. Upstairs they also tied our feet, put duct tapes on our mouth to prevent us for
shouting;
7. We were detained there for 20 days and were threatened to be killed unless our
families gave them five million (P 5,000,000) ransom;
8. .I am executing this sworn statement for the purpose of charging the respondent with
kidnapping for ransom in violation in violation of the Revised Penal Code.
Pasay, October 26, 2012.
Complainant
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
COMPLAINT AFFIDAVIT
I, AYRIES GRACE ANTONIO, of legal age and a resident of 502-C, Barangay 22, Zone
2, Pasay City under oath declares that:
3. Last January 30, 2012 in my cousins residence Bryan Zafra and Aiken Jude Lopez
approached and asked me to become their business partner for the establishment of a
movie house to which I agreed;
4. Last September16, 2012 at about 3:30 p.m. the respondents purportedly met with me
and my cousin, Anna Queen Martinez to show the abandoned house at 403-C,
Libertad Pasay to be renovated into a movie house;
5. Upon meeting there, we entered the house to inspect it and Ryan Caf and Alberto
Manalang showed up, pointing their guns towards me and my cousin and told us not
to shout else they will shoot us;
6. Bryan Zafra then tied me and Aiken Lopez tied my cousin and dragged us upstairs
while Ryan Caf and Alberto Manalang continued pointing their guns and telling us
not to shout;
7. Upstairs they also tied our feet, put duct tapes on our mouth to prevent us for
shouting;
8. We were detained there for 20 days and were threatened to be killed unless our
families gave them five million (P 5,000,000) ransom;
9. .I am executing this sworn statement for the purpose of charging the respondent with
kidnapping for ransom in violation of the Revised Penal Code.
Doc. No. 10
Page No. 16
Book No. 10
Series of 2012
Republic of the Philippines
OFFICE OF THE CITY PROSECUTOR
Pasay City
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
COUNTER-AFFIDAVIT
I, BRYAN ZAFRA of legal age and a resident of 1300-B Batangas St., Brgy. San Isidro,
Makati City under oath declares that:
2. I never went on Anna Queen Martinez residence at 310-B San Juan St. Pasay City,
nor approached nor asked her to become my business partner since I was having a
board meeting at ForSurf Corp. in Davao from January 29 to January 31 of 2012;
3. I never met with Anna Queen Martinez or with Ayries Grace Antonio at 403-C
Libertad Pasay on September16, 2012 as I was in Singapore visiting my ailing
mother, from September 14 to September 18 of 2012.
4. Finally, therefore it cannot be said that I kidnapped Anna queen Martinez or Ayries
Grace Antonio.
BRYAN ZAFRA
Affiant
SUBSCRIBED AND SWORN TO before me this 30th day of October, 2009 at Manila. I
further certify that I have examined the affiant and I am satisfied that he understood and
voluntarily executed the foregoing counter-affidait.
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
COUNTER-AFFIDAVIT
I. AIKEN LOPEZ of legal age and a resident of 1507-N Batangas St., Brgy. Murphy,
Makati City under oath declares that:
2. I never went on Anna Queen Martinez residence at 310-B San Juan St. Pasay City,
nor approached nor asked her to become my business partner since I was having a
board meeting at ForSurf Corp. in Davao from January 29 to January 31 of 2012;
3. I never met with Anna Queen Martinez or with Ayries Grace Antonio at 403-C
Libertad Pasay on September16, 2012 as I was admitted in the hospital for dengues
hemorrhagic fever from September 14 to September 18 of 2012;
4. Finally, therefore it cannot be said that I kidnapped Anna queen Martinez or Ayries
Grace Antonio.
AIKEN LOPEZ
Affiant
SUBSCRIBED AND SWORN TO before me this 30th day of October, 2009 at Manila. I
further certify that I have examined the affiant and I am satisfied that he understood and
voluntarily executed the foregoing counter-affidait.
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
COUNTER-AFFIDAVIT
I. RYAN CAFE of legal age and a resident of 1949-F Balibago St., Brgy. San Isidro,
Davao City under oath declares that:
3. I am not personally acquainted with Bryan Zafra, Aiken Lopez, Ayries Grace Antonio
or Anna Queen Martinez;
4. Finally, therefore it cannot be said that I kidnapped Anna queen Martinez or Ayries
Grace Antonio.
RYAN CAFE
Affiant
SUBSCRIBED AND SWORN TO before me this 30th day of October, 2009 at Manila. I
further certify that I have examined the affiant and I am satisfied that he understood and
voluntarily executed the foregoing counter-affidait.
Doc. No. 20
Page No. 25
Book No. 10
Series of 2012
Republic of the Philippines
OFFICE OF THE CITY PROSECUTOR
Pasay City
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
COUNTER-AFFIDAVIT
I. ALBERTO MANALANG of legal age and a resident of 1675-A San Simon St., Brgy.
San Isidro, Davao City under oath declares that:
2. I never met with Anna Queen Martinez or with Ayries Grace Antonio at 403-C
Libertad Pasay on September16, 2012 as I was working at ForSurf Corp. in Davao
City that same day;
3. I am not personally acquainted with Bryan Zafra, Aiken Lopez, Ayries Grace Antonio
or Anna Queen Martinez;
4. Finally, therefore it cannot be said that I kidnapped Anna queen Martinez or Ayries
Grace Antonio.
ALBERTO MANALANG
Affiant
SUBSCRIBED AND SWORN TO before me this 30th day of October, 2009 at Manila. I
further certify that I have examined the affiant and I am satisfied that he understood and
voluntarily executed the foregoing counter-affidait.
Doc. No. 20
Page No. 25
Book No. 10
Series of 2012
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Accused.
x------------------------x
INFORMATION
The undersigned 3rd Assistant City Prosecutor accuses BRYAN ZAFRA, AIKEN
LOPEZ, RYAN CAF, and ALBERTO MANALANG of the crime of Kidnapping for Ransom
committed as follows:
At about 3:30 p.m. on September 16, 2012 at 403-C Libertad Pasay, accused, met
Martinez, Anna Queen, 25 year old entrepreneur who was living at 310-B San Juan Street, Pasay
City and her cousin, Antonio, Ayries Grace, 28 and living at 502-C, Barangay 22, Zone 2 Pasay
City. They were together until 5:00 p.m. in the afternoon and there and then feloniously and
unlawfully and feloniously accused detained them for 20 days. Where they tied their hands and
feet and threatened them and their families that they will be killed; and will be released only if
their families gave accuses five million pesos (5,000,000.00).
From what can be gleamed and gathered from Anna Queen and Ayries Graces testimony,
it appears that in conversations they had with accused Bryan Zafra and Aiken Lopez, accused
told them that they will be establishing a movie house somewhere in Libertad, Pasay; and ought
to have Anna Queen and Ayries Grace as business partners to which the latter agreed; and that
the parties agreed to meet at the aforesaid address wherein an abandoned house was erected
which the victims identified as the place the accused led them to believe as the house to be
renovated into a movie house and where they were detained by the accused together with their
cohorts Caf, Ryan and Manalang Alberto.
The accuses Bryan Zafra and Aiken Lopez, was then the business partner of Anna
Queens husband in another commercial enterprise, while accuses Ryan Caf and Alberto
Manalang are employees of the former
CONTRARY TO LAW.
Pasay City, December 18, 2012
SHERWIND MON TE
Assistant City Prosecutor
APPROVED:
SILVERIO, MELVIE
City Prosecutor
I hereby certify that I have conducted a preliminary investigation on this case; that the
accused was informed of the complaint and of the evidence submitted against her; that she was
given an opportunity to submit controverting evidence; and, that based on the evidence
presented, there exists a reasonable ground to believe that the crime has been committed and the
accused is probably guilty thereof.
SHERWIND MON TE
Assistant City Prosecutor
SUBSCRIBED AND SWORN to before me this 18th day of December 2012 in Pasay City.
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
This refers to the case filed by ANNA QUEEN MARINEZ, AYRIES GRACE ANTONIO
against respondents BRYAN ZAFRA, AIKEN LOPEZ, RYAN CAF and ALBERTO
MANALANG.
Complainant alleged in her complaint which she filed before the Pasay Police Station on
November 10, 2010 At about 3:30 p.m. on September 16, 2012 at 403-C Libertad Pasay, accuses,
met Martinez, Anna Queen, 25 year old entrepreneur who was living at 310-B San Juan Street,
Pasay City and her cousin, Antonio, Ayries Grace, 28 and living at 502-C, Barangay 22, Zone 2
Pasay City. They were together until 5:00 p.m. in the afternoon and there and then feloniously
and unlawfully and feloniously accuses detained them for 20 days. Where they tied their hands
and feet and threatened them and their families that they will be killed; and will be released only
if their families gave accuses five million pesos (5,000,000.00).
From what can be gleamed and gathered from Anna Queen and Ayries Graces testimony,
it appears that in conversations they had with accuses Bryan Zafra and Aiken Lopez, accuses told
them that they will be establishing a movie house somewhere in Libertad, Pasay; and ought to
have Anna Queen as business partners to which the latter agreed; and that the parties agreed to
meet at the aforesaid address wherein an abandoned house was erected which the victims
identified as the place the accuse led them to believe as the house to be renovated into a movie
house and where they were detained by the accuses together with their cohorts Caf, Ryan and
Manalang Alberto.
The accuses Bryan Zafra and Aiken Lopez, was then the business partner of Anna
Queens husband in another commercial enterprise, while accuses Ryan Caf and Alberto
Manalang are employees of the former
After careful assessment and evaluation of the records, this office finds that there is
sufficient evidence to sustain a finding of probable cause to indict respondents guilty for the
crime of kidnapping for ransom in violation of Art. 267 of the Revised Penal Code.
Given under my hand and seal of the Court this 10th June, 2013.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Accused
GREETINGS:
You are hereby commanded to arrest the accused persons named below who are said to
be at their respective residence address;
Residence Address: #1300-B Batangas St. Brgy. San Isidro, Pasay City
and who are charged before me with the crime of KIDNAPPING FOR RANSOM and to
bring them before me as soon as possible to dealt with according to law.
A return of this warrant shall be promptly made to this Court identifying the individuals
arrested and the circumstances of arrest.
PNP BOOKING FORM 1 Medical Examination of Arrested Suspects Request Form
Date:____________________
________________________________________
________________________________________
Sir/Madam:
Respectfully request for the Medical Examination of the following suspects who were
arrested by the personnel of this Office on ________________of __________.
______________________________________
Rank/Name/Signature of the Desk/Duty Officer
Ref: (BLOTTER ENTRY NO.______________
_____________________________________
Rank/Name/Signature of the Arresting Officer
PNP BOOKING FORM 2 Arrest and Booking Form
Front View
PERSONAL INFORMATION
______________________________________________________________________________
(Last Name) (First Name) (Middle Name)
ADDRESS: ___________________________________________________________________
AGE: _______ WEIGHT (lbs.): __________ HEIGHT: ________ EYES: ______ HAIR: _____
COMPLEXION: ___________ OCCUPATION: _________________ NATIONALITY: ______
ETHNIC GROUP: ___________________ DIALECT/LANGUAGE: _____________________
HIGHEST EDUCATIONAL ATTAINMENT: _______________________________________
NAME OF SCHOOL: ___________________________________________________________
LOCATION OF SCHOOL: _______________________________________________________
ARREST INFORMATION
NOTE: USE OF THE PNPCL FORM 452-038 (STANDARD TEN PRINT CARD) TO TAKE
THE TEN PRINT OF THE SUSPECT FOR EVENTUAL SUBMISSION TO PNPCL-AFIS.
November 6, 2012
CERTIFICATION
This is to certify that the following entry is an excerpt from the Official Police Blotter of
this Station docketed under Complaint Report No. 1978 at about 11:00 p.m. of November 6,
2012 under page number 453 recorded by PO3 Eugene, Abao, Duty Desk Officer.
FOR INVESTIGATION:
Personally appeared before this office the persons of ANNA QUEEN MARTINEZ, 25,
married, of 310-B San Juan St. Pasay City and her cousin AYRIES GRACE ANTONIO, 28,
single, of Brgy. 22, Zone 2, Pasay City to report that At about 3:30 p.m. on September 16, 2012
at 403-C Libertad Pasay, accused, met Martinez, Anna Queen, 25 year old entrepreneur who was
living at 310-B San Juan Street, Pasay City and her cousin, Antonio, Ayries Grace, 28 and living
at 502-C, Barangay 22, Zone 2 Pasay City. They were together until 5:00 p.m. in the afternoon
and there and then feloniously and unlawfully and feloniously accused detained them for 20
days. Where they tied their hands and feet and threatened them and their families that they will
be killed; and will be released only if their families gave accuses five million pesos
(5,000,000.00).
Case referred to Womens and Childrens Protection Desk for further investigation and
disposition.
This Certification of Police Blotter is issued upon the request of the Reportee for
whatever legal purpose and intent it may serve.
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
I, JULIAN ROMAN REYES, of legal age, single and a resident of Pasay City, by
counsel, under oath hereby depose and state that:
____________________________
(Sgd.) Julian Roman Reyes
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Rupert Aaron Villarico
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
I, ERWIN BELLEN, of legal age, single and a resident of Pasay City, by counsel, under
oath hereby depose and state that:
1. I was bystander in an abandoned house in Libertad, Pasay, situated at the other side of
the street in front of Juan Stop Shop, a sari-sari store;
2. About 2:00 p.m. while smoking in the place, I saw two men walking towards me and
told me, pre, bawal ka muna dito, mga pulis kame, darating ang may-ari ng bahay.
Gigibain nato.
3. I left the house and sit instead in front of Juan Stop Shop;
4. I saw that two men went inside the house;
5. At about 3:30 p.m. while sitting in front of One Stop Shop, I saw two other women
and two other men arrived in the abandoned house;
6. I saw the two other men and women inside the abandoned house
7. About 5:00 p.m. I decided to come home, I cross to the other side of the street and
pass through the abandoned house and saw a man, talking in the phone and heard him
say five million, mababa nayon! Kung ayaw mo bahala ka! Di ko na kawalan yon!.
8. I, Erwin Bellen, is hereby executing this affidavit for the purpose of attesting to the
allegations contained herein and to contravene the allegations in the counter-affidavit
of the herein respondents.
____________________________
(Sgd.) Erwin Bellen
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Rupert Aaron Villarico
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
I, RUPERT AARON VILLARICO, of legal age, single and a resident of Pasay City, by
counsel, under oath hereby depose and state that:
____________________________
(Sgd.) Rupert Aaron Villarico
SUBSCRIBED AND SWORN to before this
__________________, Pasay City.
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Sherwind Mon Te
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
I, MA. BRIMAR MAKASIAR, of legal age, single and a resident of Pasay City, by
counsel, under oath hereby depose and state that:
____________________________
(Sgd.) Ma. Brimar Makasiar
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Rupert Aaron Villarico
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
____________________________
(Sgd.) Erwin Bellen
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Rupert Aaron Villarico
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
I, MARCUS SINSON, of legal age, single and a resident of Pasay City, by counsel, under
oath hereby depose and state that:
____________________________
(Sgd.) Marcus Sinson
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Rupert Aaron Villarico
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
I, RENS GENER SESE, of legal age, single and a resident of Pasay City, by counsel,
under oath hereby depose and state that:
____________________________
(Sgd.) Rens Gener Sese
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Rupert Aaron Villarico
vs.
BRYAN ZAFRA
AIKEN LOPEZ
RYAN CAF
ALBERTO MANALANG
Respondent
x----------------------------------------------x
I, MARJORIE SAN JUAN, of legal age, single and a resident of Pasay City, by counsel,
under oath hereby depose and state that:
____________________________
(Sgd.) Marjorie San Juan
INVESTIGATING PROSECUTOR
I hereby certify that I have personally examined the affiant and that I am satisfied that she
voluntarily executed and understood the AFFIDAVIT.
INVESTIGATING PROSECUTOR
Rupert Aaron Villarico