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REPUBLIC OF THE PHILIPPINES}

CITY OF BAGUIO } S.S.


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COMPLAINT-AFFIDAVIT

I, LANCE CARLO TUMAPA, of legal age, married, Filipino, and a resident


of 222 Upper Quary, Baguio City after having been sworn to in accordance
with law, do hereby depose and state:

1. That I am the owner of a store located at 222 Upper Quary, Baguio


City just in front of our house. The store is just beside the road where
vehicles passed by, with a distance of 2 meters from the road;

2. That on May 15, 2016, I was inside the store selling to two ladies who
are buying goods;

3. That while we are on business, we heard shouts from the bystanders


on the waiting shed across the store telling us to get away from where
we are;

4. That when I looked outside, I saw a truck heading towards our


direction as if it has no control or break;

5. That the two ladies outside who are buying from the store started to
run away so I immediately went out from the store and run meters
away from it towards our house;

6. That the truck side swept the store and then it stopped;

7. That the store’s front corner was damage due to the impact of the
track that has resorted to use our store as its blockage from further
destruction and greater accident;

8. That I am executing this complaint-affidavit in order to file a case of


Reckless Imprudence Resulting to Damage to Property against
Nicodemo Parpako, the driver of the truck for having recklessly
handled the truck which has resulted to the damage of my property.
AFFIANT FURTHER SAYS NONE.

IN WITNESS WHEREOF, I have hereunto set my hand this 19th day of May
2016, at Baguio City, Philippines.

LANCE CARLO TUMAPA


Complainant-Affiant

SUBSCRIBED AND SWORN to before me this 19TH day of May 2016


at Baguio City.

_____________________
Assistant City Prosecutor

CERTIFICATION I HEREBY CERTIFY that I have personally


examined the affiant complainant and that I am satisfied that he voluntarily
executed and understood his Complaint-Affidavit.

_____________________
Assistant City Prosecutor