Escolar Documentos
Profissional Documentos
Cultura Documentos
BAGUIO CITY
}S.S.
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AFFIDAVIT-COMPLAINT
I, TREU G. KAUFER of legal age, Filipino Citizen, single
and a resident of 11 Munich Street, Baguio City, after having
been sworn in accordance with law hereby state that:
1. On April 25, 2019, I went to a newly opened cellular phone
store named Dito Orig located in Kayang Street, Baguio
City.
2. There I met the store owner who represented himself as
Johnny B. Goode, who later I found out that his real name
is Chuck Berry, and to him I inquired about the latest
model of Orange Phone.
3. He then showed me an unopened box of cellular phone
which appears to be Orange 6s plus, the latest model of
Orange Phones. The phone looked genuine upon
inspection.
4. When I asked about the genuineness of the product, he
told me that everything in the store is original hence the
store name. He added, Kung peke yan, naku! Hanapin mo
ako, Johhny B. Goode pangalan ko at sasamahan pa kita
sa mismong opisina ng Orange. May seal yan madam
kaya di natin mabuksan, para pakita ko sana sayo yung
marka ng Orange. Tignan mo naman yung pader ng store
namin, certications yung mga yan na kami ay lehitimong
distributor ng mga produkto nila.
5. Persuaded with the assurance of the seller, I depended on
his expertise. I bought the phone on its selling price of
Php200,000.
6. However, when I got home and tried inserting a sim card
to the Orange phone, the casing fell off and it appears
that it has been tampered with. The parts of the phone
have been replaced with inferior ones.
7. I went back to the store the day after but it was already
closed and found out that it had moved to a new location.
8. Upon reaching the new store location, there I found that
the sellers real name is Chuck Berry.
9. I confronted Chuck Berry but denied the transaction we
had nor had we previously met.
10. The unlawful acts by Mr. Berry cased damage to me in
the amount of Php200,000.00, and I spent Php50,000.00
for attorneys fees for filing this affidavit-complaint;
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DAME Y. REISENDEN
Affiant
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DAME Y. REISENDEN
Affiant
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SCHMUTZIGE POLITIKER
Affiant
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SCHMUTZIGE POLITIKER
Affiant
SUBSCRIBED AND SWORN to before me, in the City
of Baguio, Philippines, this 6th day of May 2019, I further
Certify that I have personally examined the affiant and that I
am satisfied that he gave his statement freely and that he
understood the contents of his affidavit- complaint.
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ADOLF H. GOEBBELS
Affiant
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ADOLF H. GOEBBELS
Affiant
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BENEDICT D. VERKUFER
Affiant
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EUGENE D. HOLMES
Affiant
SUBSCRIBED AND SWORN to before me, in the City
of Baguio, Philippines, this 11th day of May 2019, I further
Certify that I have personally examined the affiant and that I
am satisfied that he gave her statement freely and that he
understood the contents of his affidavit- complaint.
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CERTIFICATION
I hereby certify that I have personally examined the
above named affiant and that the foregoing statements were
given by her voluntarily and of her own free will and that she
understood her affidavit.
ATTY. STEVEN JAN K. SAB-IT
Investigating Prosecutor
TREU G. KAUFER
Affiant
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SCHNE FRAU
Affiant
SUBSCRIBED AND SWORN to before me, in the City
of Baguio, Philippines, this 15th day of May 2019, I further
Certify that I have personally examined the affiant and that I
am satisfied that she gave her statement freely and that she
understood the contents of her affidavit- complaint.
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Hsslich E. Hdini
Affiant
SUBSCRIBED AND SWORN to before me, in the City
of Baguio, Philippines, this 16th day of July 2019, I further
Certify that I have personally examined the affiant and that I
am satisfied that she gave her statement freely and that she
understood the contents of her affidavit-complaint.
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FOR: Violation of
Domicile
JON D. SCHULTZ
Accused.
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APPLICATION FOR PROBATION
The accused, thru counsel, states;
1. He is of legal age, single, Filipino citizen, and a resident
of 112 Frankfurt Square, Baguio City, Philippines;
2. On April 28, 2019 the Court rendered a Judgment on the
case convicting him of the crime of Violation of Domicile
and sentencing him to suffer the penalty of
imprisonment, the dispositive portion read as follows:
WHEREFORE, judgment is hereby rendered,
finding the accused guilty of Violation of
Domicile, penalized under Article 128 of the
Revised Penal Code, who is hereby sentenced to
suffer an indeterminate sentence from two (2)
years and four (4) months of prision correccional,
as minimum, to four (4) years, nine (9) months
and ten (10) days of prision correccional, as
maximum.
SO ORDERD.
3. In view of the foregoing judgment, the accused hereby
applies before the Court for probation;
4. The accused further states that he is not one among
those offenders disqualified to avail of the benefits of
PRAYER
WHEREFORE, it is prayed that this pleading be noted
and made part of the records of the above-entitled case and
that this Application for Probation filed by the accused JON D.
SCHULTZ be granted.
Baguio City, Philippines this 17th day of May, 2019.
Copy furnished:
Office of the City Prosecutor
Baguio City, Philippines
FOR: Violation of
Domicile
JON D. SCHULTZ
Accused.
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ENTRY OF APPEARANCE AS COUNSEL
The undersigned counsel states:
1. That the undersigned counsel has just been retained by
the accused in the above-entitled case;
2. That henceforth, he respectfully prays that all copies of
pleadings, notices and orders be furnished to the
undersigned at his address indicated below.
PRAYER
WHEREFORE, it is prayed that the appearance of the
undersigned be noted.
Baguio City, Philippines, this 18th day of May, 2019.
ATTY. STEVEN JAN K. SAB-IT
Counsel for the Accused
281 Tamlee Bldg., Simi Street, Baguio City
Roll No. 615234; IBP No. 10191
PTR No. 101231 April 30, 2019
SN. 990123; Baguio City
MCLE Comp. No. 990123-221
JON D. SHULTZ
Defendant.
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MOTION TO WITHDRAW AS COUNSEL
The undersigned counsel state that:
1. The undersigned counsel has already terminated his
attorney-client relationship with the Defendant JON D.
SHULTZ, particularly because of the latters act of
insisting that he and the undersigned commit bribery in
order to have a favorable judgment in this case;
2. The undersigned had continuously explained to the
defendant that it is not how the judicial system of the
Philippines work. However, he insists on such action;
3. Rule 22.01 paragraph (a) of the Code of Professional
Responsibility states that a lawyer may withdraw his
services when the client pursues an illegal or immoral
course of conduct in connection with the matter he is
handling;
4. As such, undersigned requests that he ba allowed by
this Court to withdraw his appearance in this case as
counsel for the defendant JON D. SHULTZ without the
latters express conformity.
PRAYER
WHEREFORE, it is prayed that the undersigned be
allowed to withdraw his appearance in this case as counsel
JON D. SCHULTZ
Defendant.
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MOTION TO WITHDRAW AS COUNSEL
The undersigned states that:
1. The undersigned counsel can no longer fully represent
the interest of the respondent due to the inability of the
defendant to consult regularly with the undersigned
considering the conflicting schedules of the defendant
and the undersigned;
2. The defendant also signified their intention to seek the
services of another lawyer such that the foregoing
motion is with the conformity of the defendant.
PRAYER
WHEREFORE, it is prayed to this Court that the
undersigned be now relieved of his duties as counsel for the
defendant.
Baguio City, Philippines, this 20th day of May 2019.
ATTY. STEVEN JAN K. SAB-IT
Counsel for the Defendant
281 Tamlee Bldg., Simi Street, Baguio City
Roll No. 615234; IBP No. 10191
WITH CONFORMITY:
JON D. SCHULTZ
Defendant
Copy furnished:
ATTY. Primer A. Cambio
Counsel for Plaintiff
Unit 13C, 13rd Floor, SPECIFIC Building
Right There Road, Baguio City
JACK E. CHAN
Defendant.
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MOTION TO WITHDRAW AS COUNSEL WITH
SUBSTITUTION
THE CLERK OF COURT
Regional Trial Court of the City of Baguio
Branch 1
ATTY. STEVEN JAN K. SAB-IT, counsel on record for
the defendant and to this Court moves to withdraw as
counsel of said defendant with the express consent of the
defendant as shown in this motion;
That in substitution thereof, ATTY. RONIC ALBERT D.
TREPTOR, whose services have been engaged by defendant
hereby enters his appearance as counsel for the defendant;
That upon approval of this Court, all pleadings, notices,
and papers in connection with this case be addressed to new
counsel ATTY. RONIC ALBERT D. TREPTOR with address at
Suite 420, Random Building, Session Road,
Baguio City
Baguio City, Philippines, this 21st day of May 2019.
OLD COUNSEL
ATTY. STEVEN JAN K. SAB-IT
Counsel for the Defendant
281 Tamlee Bldg., Simi Street, Baguio City
Roll No. 615234; IBP No. 10191