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REPUBLIC OF THE PHILIPPINES )

CITY OF SAN CARLOS ( PANG.) ) S.S.

COMPLAINT AFFIDAVIT

I, Manuel Peralta, of age, married, and a resident of San Carlos City,


Pangasinan, after having been duly sworn to according to law depose and say:

1. This complaint-affidavit is being filed to charge above-named respondents,


Aileen Lacson Peralta, Filipino, of legal age, married, and Mandy Cabugao
Mondares. Filipino, of legal age, and a resident of Brgy. Cruz, San Carlos
City, Pangasinan of ADULTERY under Article 333 of the Revised Penal
Code, committed as follows:
a. I am legally married Aileen Lacson Peralta in n a religious ceremony
before Rev. Fr. Manuel Delos Santos, Jr. at the Parish Church of
Saint Dominic San Carlos on April 21, 2017, xerox copies of the
aforesaid marriage contracts are hereto attached as Annexes "A" ",
forming integral parts of this affidavit;
b. After our marriage, we stayed at our permanent residence at our
conjugal home in Brgy. Agdao Sitio Riverside San Carlos City,
Pangasinan and furnished it with all the comforts well within my
means;
c. We had several childres, namely; Mia Decxie Anne L. Peralta, Mia
Darla Angelee L. Peralta, Zach Arkie L. Peralta, Zhia Ailyn L.
Peralta;
d. At the start of our marriage, I was led to believe by my wife of her
total concern, love and devotion to me valid in turn I gave all my
love, loyalty, and commitment to her and our family.
e. Sometime on December 2018, I discovered several photographs of
my wife and another man in her Facebook account, copies of which
are attached herein as Annex “B and series” forming integral parts of
this affidavit;
f. I grew suspicious of her fidelity to me when my son told me that she
has a hidden instagram account where she post pictures of her
whereabouts with other people without our knowledge;
g. Because of such suspicion, I decided to investigate and asked close
friends and relatives concerning the situation with my wife;
h. Later on, I discovered that my wife Aileen Peralta and Mandy C.
Mondares have gone to several trips together on different parts of
the country where they will stay at hotels as shown by photographs
attached herein as Annex “C and series” forming integral parts of
this affidavit.
i. I was also be able to contact the wife of Mandy C. Mondares and
informed me that my wife and her husband had already been living
as husband and wife for quite a while already;
j. In fact, they celebrated their monthsary in a house at Lalilla Street.
Project 4, Quezon City, where they committed carnal knowledge, as
shown by photographs attached herein as Annex “D and series”
forming integral parts of this affidavit.
2. That I am executing this affidavit to attest to the truth of the foregoing
statements, and for the purpose of charging respondent my wife, Aileen
Lacson Peralta and Mandy Cabugao Mondares of the crime of ADULTERY
under Article 333 of the Revised Penal Code.

IN WITNESS WHEREOF, I have hereunto affixed my signature this 10th


day of April 2019, in the City of San Carlos, Pangasinan

Manuel Peralta
Complainant/Affiant

SUBSCRIBED AND SWORN TO before me this day of ,