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Q: What happened when you saw the POSEUR BUYER scratch his head with his left

hand?
A: I saw PO1 DELA ROSA get out from the telephone booth and he run towards them.

Q: To whom did PO1 DELA ROSA run towards?


A: To where the accused, the POSEUR BUYER and the confidential informant were, in the
corner of the dead end.

Q: Did you see anything else after that?


A: Yes, PO1 DELA ROSA was able to reach them, but the accused was trying to run away.

Q: Was the accused able to run away?


A: No, because the POSEUR BUYER blocked his path and PO1 DELA ROSA was able to hold
the arm of the accused.

Q: When PO1 DELA ROSA held the arm of the accused, what did you do?
A: I went out of the car and ran towards their direction.

Q: To whose direction did you to?


A: To where PO1 DELA ROSA, the POSEUR BUYER, the accused and the confidential
informant were.

Q: Were you able to reach them?


A: Yes, I was able to reach them while PO1 DELA ROSA was telling the accused of his right to
remain silent and to competent and independent counsel.

Q: What happened after PO1 DELA ROSA told the accused of those things?
A: PO1 DELA ROSA asked the accused if he understood what he said, and the accused
answered “opo,” and told us that he had an attorney.

Q: When the accused told you that he had an attorney, what happened afterwards, if
any?
A: PO1 DELA ROSA told him that we will allow him to call his attorney.

Q: Did anything else happen after that?


A: Yes, PO1 DELA ROSA asked the accused his name.

Q: Did you hear the accused answer PO1 DELA ROSA’S question?
A: Yes, the accused said that is PAOLO D. THIRDY.

Q: After the accused told you his name, did anything happen afterwards?
A: Yes, the POSEUR BUYER proceeded to mark the transparent plastic sachet that the
accused handed him after he gave the accused the marked money.

Q: How do you know that the transparent plastic sachet was the one that the accused
gave him?
A: Because he was holding the plastic sachet in front of him the entire time.

Q: During that time, aside from the accused, did anyone else see the POSEUR BUYER
mark the plastic sachet the accused handed to him?
A: Yes, because PO1 DELA ROSA was beside the accused, as well as the confidential
informant.

Q: I am showing to you a plastic sachet with the markings “01-10-17”, a signature, then
the letter “X,” previously marked as Exhibit “J.” What relation does this have, if any, to
the sachet you marked that you were talking about?
A: This is the same sachet that the POSEUR BUYER marked, and that is my handwriting.

Q: There appears to be a signature between the date and the letter “X,” previously
marked as Exhibit “J-1.” Do you recognize this signature?
A: Yes, that is his signature.
Q: How do you know that these are his handwritings?
A: I saw him write those markings.

Q: Are they the same markings that you saw the POSEUR BUYER write during that time?
A: Yes, they are.

Q: How do you know that this is the POSEUR BUYER’s signature?


A: I was there when he signed it.

Q: Is it the same markings that you saw the POSEUR BUYER sign during that time?
A: Yes, it is.

Q: After you marked the plastic sachet that the accused gave you, did anything else
happen?
A: Yes, PO1 DELA ROSA frisked the accused and aside from the marked money, he found
FOUR transparent plastic sachets that appear to contain shabu. The contents of the four
sachets look the same as the contents of the plastic sachet that the POSEUR BUYER marked.

Q: What happened when PO1 DELA ROSA found those four plastic sachets?
A: PO1 DELA ROSA marked the four sachets in my presence, the accused’s and the
confidential informant’s presence.

Q: I am showing to you a plastic sachet previously marked as Exhibit “B”. What relation
does this have, if any, to the sachets that PO1 DELA ROSA seized that you were talking
about?
A: This is the same first sachet that he marked, and that is his handwriting.

Q: How do you know that these are his handwritings?


A: I saw him write those markings.

Q: There appears to be a signature in this sachet, marked as Exhibit “B-1.” Do you


recognize this signature?
A: Yes, that is PO1 DELA ROSA’s signature.

Q: How do you know that this is his signature?


A: I was there when he signed it.

Q: I am showing to you a plastic sachet previously marked as Exhibit “C”. What relation
does this have, if any, to the sachets that PO1 DELA ROSA seized that you were talking
about?
A: This is the same second sachet that he marked, and that is his handwriting.

Q: How do you know that these are his handwritings?


A: I saw him write those markings.

Q: There appears to be a signature in this sachet, marked as Exhibit “C-1.” Do you


recognize this signature?
A: Yes, that is PO1 DELA ROSA’s signature.

Q: How do you know that this is his signature?


A: I was there when he signed it.

Q: I am showing to you a plastic sachet previously marked as Exhibit “D”. What relation
does this have, if any, to the sachets that PO1 DELA ROSA seized that you were talking
about?
A: This is the same third sachet that he marked, and that is his handwriting.

Q: How do you know that these are his handwritings?


A: I saw him write those markings.

Q: There appears to be a signature in this sachet, marked as Exhibit “D-1.” Do you


recognize this signature?
A: Yes, that is PO1 DELA ROSA’s signature.

Q: How do you know that this is his signature?


A: I was there when he signed it.

Q: I am showing to you a plastic sachet previously marked as Exhibit “E”. What relation
does this have, if any, to the sachets that PO1 DELA ROSA seized that you were talking
about?
A: This is the same fourth sachet that he marked, and that is his handwriting.

Q: How do you know that these are his handwritings?


A: I saw him write those markings.

Q: There appears to be a signature in this sachet, marked as Exhibit “E-1.” Do you


recognize this signature?
A: Yes, that is PO1 DELA ROSA’s signature.

Q: How do you know that this is his signature?


A: I was there when he signed it.

Q: You also made mention that a marked money was found in the accused’s pocket when
he was frisked. Is that correct?
A: Yes, ma’am.

Q: I am showing to you a photocopy of the 1,000-peso bill with Serial No. WZ338206,
previously marked as Exhibit “A” (original compared and admitted by the defense
counsel). What relation does this have, if any, to the marked money you were talking
about?
A: This is the same marked money.

Q: After PO1 DELA ROSA marked these four sachets, did anything else happen?
A: Yes, PO1 DELA ROSA took out a medium-sized zip-lock bag and placed the four sachets he
confiscated and the marked money from the accused inside. The POSEUR BUYER also gave
to him the sachet the POSEUR BUYER previously marked and placed it inside the zip-lock bag.
After placing the five sachets and the marked money inside, PO1 DELA ROSA closed and
sealed the zip-lock bag.

Q: After PO1 DELA ROSA sealed the zip-lock bag, what happened, if any?
A: PO1 DELA ROSA gave the zip-lock back to the POSEUR BUYER because he was the one
leading the accused to our car.

Q: What did the POSEUR BUYER do with the zip-lock bag that PO1 DELA ROSA gave
him?
A: The POSEUR BUYER just held it with his left hand in front of his chest like this
*demonstrates*

Q: After PO1 DELA ROSA led the accused to your car, what else happened?
A: He made the accused sit behind the passenger’s seat, then the POSEUR BUYER gave him
the zip-lock bag.

Q: What did PO1 DELA ROSA do when the POSEUR BUYER gave him the zip-lock bag?
A: He sat beside the accused and held the zip-lock bag in front of him using his right hand.

Q: After you saw him do that, what did you do?


A: I went to the other side of the car and sat beside the accused behind the passenger’s seat.

Q: Were anyone else with you inside that car?


A: Yes, aside from PO1 DELA ROSA, and the accused, the confidential informant was also
there.

Q: Where did you go after that?


A: The POSEUR BUYER drove back to their police station, because it was also the nearest
police station from the place of arrest.

Q: During your drive to the police station, did anything happen?


A: Yes, I heard PO1 DELA ROSA make two calls.

Q: Do you know to whom he made first phone call to?


A: It seemed like it was his police station because he asked for the contact details of an attorney
and made reminders.

Q: Do you remember how long was the first phone call?


A: For just one minute, give or take.

Q: Do you know to whom he made second phone call to?


A: It seemed like it was the attorney he was asking about.

Q: During the second phone call, how do you know that PO1 DELA ROSA called an
attorney?
A: Because he called him attorney and the accused also talked to him and the accused told him
that he needed him help.

Q: And how long was the phone call to this attorney?


A: Also for just one minute, give or take.

Q: Did anything else happen during the drive back to the police station?
A: None.

Q: How long did the drive take from the place of arrest to the police station?
A: About fifteen minutes.

Q: Were you able to arrive at the police station?


A: Yes, Ma’am.

Q: When you arrived at your police station, what happened afterwards, if any?
A: We went inside the police station and PO1 DELA ROSA and the POSEUR BUYER brought
the accused in the information desk.

Q: How did PO1 DELA ROSA and the POSEUR BUYER bring the accused inside the
police station?
A: The POSEUR BUYER held the accused’s right arm, because PO1 DELA ROSA was holding
the accused’s left arm while holding the zip-lock bag in his right hand.

Q: Were there other people around the area where you brought the accused in the police
station when you arrived?
A: Yes, two police officers were there, with our Chief. I also saw Brgy. Captain PORKI BEANS
and CLTV reporter GASH ABELGASH, and KELSI VILLANUEVA-CASTRO.

Q: Who is KELSI VILLANUEVA-CASTRO?


A: She is the DOJ representative.

Q: How do you know KELSI VILLANUEVA-CASTRO?


A: I often meet here whenever there is a buy-bust operation in Angeles City. Sometimes she is
the representative of the DOJ, like the one we had that day.

Q: You made mention that you brought the accused to the information desk. What
happened after that?
A: I saw PO1 DELA ROSA place the zip-lock bag that he was holding on top of the information
desk.

Q: While PO1 DELA ROSA was doing that, did anything else happen?
A: Yes, during the same time, the accused, while I was still holding him, talked to his attorney.
Q: How do you know that the person he was talking to was his attorney?
A: I heard him say attorney many times during their conversation.

Q: So the accused was able to confide with his attorney?


A: Yes, Ma’am.

Q: How long did the accused and his attorney talk?


A: For a couple of minutes, give or take.

Q: After the accused and his attorney confided, what did you do?
A: PO1 DELA ROSA and the POSUER BUYER started preparing the documents regarding the
arrest. I also started the physical inventory of the items that were confiscated and seized from,
and the item delivered by, the accused.

Q: What happened during the time that you were making the inventory?
A: In the presence of the accused, PAOLO D. THIRDY; his counsel ATTY. PINEDA; GASH
ABELGASH, the media representative; KELSI VILLANUEVA-CASTRO, the DOJ representative;
BEKI BELO, the PDEA representative; and PORKI BEANS, the barangay captain, we made a
physical inventory and GASH ABELGASH took photographs of the items confiscated.

Q: How did you make a physical inventory of the items that were confiscated and seized
from, and the item delivered by, the accused?
A: I opened the zip-lock bag and placed the contents on top of the table.

Q: What were the contents of the zip-lock bag?


A: The five plastic sachets and the marked money.

Q: Did you do anything else after you placed the contents of the zip-lock bag on top of
the table?
A: Yes, I read the markings in the plastic sachets while PO1 DELA ROSA noted the items with
the matching markings in the inventory he is preparing.

Q: You mentioned that there were five plastic sachets, what were those sachets?
A: The four sachets that were confiscated from the accused after he was arrested by PO1 DELA
ROSA and the sachet that he gave to the POSEUR BUYER during the buy-bust.

Q: How do you know that the four sachets were the same plastic sachets that were
seized and confiscated after the arrest of the accused?
A: Because they had the same markings that PO1 DELA ROSA made during that time.

Q: What were those markings?


A: The date “01-10-17,” signature and numbers “1” to “4” appeared in the four sachets.

Q: And how do you know that fifth sachet was the same plastic sachet that the accused
gave to the POSEUR BUYER?
A: Because it had the same markings that the POSEUR BUYER made during that time.

Q: What were those markings?


A: The date “01-10-17,” signature and the letter “X” appeared in the fifth sachet.

Q: You also mentioned that one of the contents of the bag is the marked money. How do
you know it was the same marked money that the POSEUR BUYER used?
A: Because it had the same markings of the marked money we had during that time.

Q: What were those markings?


A: It has the same serial number and the markings made by PO1 Dela Rosa of his initials were
on the forehead of Jose Abad Santos.

Q: You made mention that you read the marking in the plastic sachets while PO1 DELA
ROSA noted the items in the inventory he was preparing, was anything else happening
during that time?
A: Yes, GASH ABELGASH, the reporter, took individual pictures of the items inside the zip-lock
bag.

Q: So there were photographs taken during the physical inventory?


A: Yes, Ma’am.

Q: I am showing to you a photograph with a plastic sachet with the marking “01-10-17,”
signature, and the number “1.” What relation does this have, if any, to the photographs
that you were talking about?
A: This is the first picture that was taken.

Q: How do you know that this was the first photograph that was taken?
A: Because it was the first marking that I read, and that is me holding the marked sachet in the
picture.

Atty.: May we adopt the photograph as testified to by the witness and request it to be
marked as Exhibit “K?”
COURT: Mark it.

Q: In this photograph, there is a person standing in your right side, wearing a


_____________. Do you know this person?
A: Yes, Ma’am.

Q: Who is this person?


A: That is Brgy. Captain PORKI BEANS.

Q: How do you know that this is Brgy. Captain PORKI BEANS?


A: Because he is the barangay captain of this barangay, and I am a resident therein.

Q: Also in this photograph, there is a person standing in the right side of the person you
identified as Brgy. Captain PORKI BEANS, wearing a _____________. Do you know this
person?
A: Yes, Ma’am.

Q: Who is this person?


A: That is the DOJ representative, KELSI VILLANUEVA-CASTRO.

Q: How do you know that this is the DOJ representative, KELSI VILLANUEVA-CASTRO?
A: As I had said earlier, I often meet here whenever there is a buy-bust operation in Angeles
City. Sometimes she is the representative of the DOJ, like the one we had that day.

Q: I am showing to you a photograph with a plastic sachet with the marking “01-10-17,”
signature, and the number “2.” What relation does this have, if any, to the photographs
that you were talking about?
A: This is the second picture that was taken.

Q: How do you know that this was the second photograph that was taken?
A: Because it was the second marking that I read, and that is me holding the marked sachet in
the picture.

Atty.: May we adopt the photograph as testified to by the witness and request it to be
marked as Exhibit “L?”
COURT: Mark it.

Q: I am showing to you a photograph with a plastic sachet with the marking “01-10-17,”
signature, and the number “3.” What relation does this have, if any, to the photographs
that you were talking about?
A: This is the third picture that was taken.

Q: How do you know that this was the third photograph that was taken?
A: Because it was the third marking that I read, and that is me holding the marked sachet in the
picture.
Atty.: May we adopt the photograph as testified to by the witness and request it to be
marked as Exhibit “M?”
COURT: Mark it.

Q: I am showing to you a photograph with a plastic sachet with the marking “01-10-17,”
signature, and the number “4.” What relation does this have, if any, to the photographs
that you were talking about?
A: This is the fourth picture that was taken.

Q: How do you know that this was the fourth photograph that was taken?
A: Because it was the fourth marking that I read, and that is me holding the marked sachet in
the picture.

Atty.: May we adopt the photograph as testified to by the witness and request it to be
marked as Exhibit “N?”
COURT: Mark it.

Q: I am showing to you a photograph with a plastic sachet with the marking “01-10-17,”
signature, and the letter “X.” What relation does this have, if any, to the photographs that
you were talking about?
A: This is the fifth picture that was taken.

Q: How do you know that this was the fifth photograph that was taken?
A: Because it was the fifth marking that I read, and that is me holding the marked sachet in the
picture.

Atty.: May we adopt the photograph as testified to by the witness and request it to be
marked as Exhibit “O?”
COURT: Mark it.

Q: I am showing to you a photograph with a 1000-peso bill. What relation does this have,
if any, to the photographs that you were talking about?
A: This is the last picture that was taken.

Q: How do you know that this was the last photograph that was taken?
A: Because it was the last marking that I read, and that is me holding the marked money in the
picture.

Q: I am marking this photograph to serve and form part as Exhibit “P”, do you affirm this
action?
A: Yes, Ma’am.

Q: How long did it take to make a physical inventory and the taking of the photographs of
the items confiscated?
A: It took around 30 minutes, because I had to wait for PO1 DELA ROSA and the POSEUR
BUYER to finish preparing thire documents.

Q: After thirty (30) minutes, what happened?


A: PO1 DELA ROSA and THE POSEUR BUYER finished and executed the Affidavit of
Apprehension with me. PO1 DELA ROSA was also able to finish filing up the Inventories.

Q: I am showing to you a document denominated as Affidavit of Apprehension dated 10


January 2017, previously marked as Exhibit “F.” Kindly go over said document and tell
us what relation this has to the Affidavit of Apprehension that you mentioned?
A: This is the same document.

Q: I am showing to you a document denominated as Inventory of Confiscated/Seized


Items dated 10 January 2017, previously marked as Exhibit “G.” Kindly go over said
document and tell us what relation this has to the inventories that you mentioned?
A: This is one of the inventories PO1 DELA ROSA prepared.
Q: At the bottom of the Inventory of Confiscated/Seized Items, there appears to be a
signature above the type-written name BEKI BELO. Whose signature is this?
A: That is my signature.

Atty.: May we adopt the signature above the type-written name BEKI BELO as testified to
by the witness and request it to be marked as Exhibit “G-2?”
COURT: Mark it.

Q: I am showing to you a document denominated as Inventory of Delivered/Sold Items


dated 10 January 2017, previously marked as Exhibit “H.” Kindly go over said document
and tell us what relation this has to the inventories that you mentioned?
A: This is the other one of the inventories PO1 DELA ROSA prepared.

Q: At the bottom of the Inventory of Delivered/Sold Items, there appears to be a signature


above the type-written name BEKI BELO. Whose signature is this?
A: That is my signature.

Atty.: May we adopt the signature above the type-written name BEKI BELO as testified to
by the witness and request it to be marked as Exhibit “H-2?”
COURT: Mark it.

Q: After the physical inventory of the confiscated items, what happened, if any?
A: PO1 DELA ROSA officially turned over to me the items inside the zip-lock bag. PO1 DELA
ROSA also gave me the Request for Laboratory Examination for those items.

Q: What do you mean that the confiscated items were turned over to you?
A: After the inventory, I placed the five previously marked transparent plastic sachets in the zip-
lock bag again and they gave it to me.

Q: What did you do with the zip-lock bag?


A: I placed them in a metal box and sealed it using a tape.

Q: Did anything else happen after that?


A: Yes, I signed the tape seal and asked the accused to sign it as well.

Q: Did the accused sign the tape seal?


A: No, he was advised by his attorney not to sign.

Q: What happened after that, if any?


A: I asked the attorney of the accused to sign the tape seal.

Q: Did the attorney of the accused sign the tape seal?


A: No, he did not.

Q: What did you do after the accused and his attorney refused to sign the seal?
A: I wrote “suspect refused to sign” in the tape seal, and I then asked Brgy. Captain PORKI
BEANS, CLTV reporter GASH ABELGASH, and DOJ representative KELSI VILLANUEVA-
CASTRO to sign.

Q: Did the Brgy. Captain PORKI BEANS and CLTV reporter GASH ABELGASH, and KELSI
VILLANUEVA-CASTRO sign the tape seal?
A: Yes, they all did.

Q: I am showing to you now a metal box with a sealed tape. What relation does this have,
if any, to the metal case with a sealed tape that you were talking about?
A: That is the same metal box and sealed tape.

Q: There appears to be a signature in the left-most part of the tape seal. Do you
recognize this signature?
A: Yes, that is my signature.
Atty.: May we adopt the metal box and the first signature in the tape seal as testified to
by the witness and request it to be marked as Exhibit “Q” and “Q-1?”
COURT: Mark it.

Q: There also appears to be a hand written phrase “suspect refused to sign” beside your
signature. Do you recognize this handwriting?
A: Yes, that is my handwriting.

Atty.: May we adopt the written phrase “suspect refused to sign” as testified to by the
witness and request it to be marked as Exhibit “Q-2?”
COURT: Mark it.

Q: There appears to be a signature after the phrase “suspect refused to sign.” Do you
recognize this signature?
A: Yes, that is the signature of Brgy. Captain PORKI BEANS.

Q: How do you know that this is the signature of Brgy. Captain PORKI BEANS?
A: I was there when he signed it.

Q: There also appears to be a signature after the signature of Brgy. Captain PORKI
BEANS. Do you recognize this signature?
A: Yes, that is the signature of the CLTV Reporter, Gash Abelgash.

Q: How do you know that this is the signature of the CLTV Reporter Gash Abelgash?
A: I was there when he signed it.

Q: There also appears to be a signature after the signature of the CLTV Reporter, Gash
Abelgash. Do you recognize this signature?
A: Yes, that is the signature of the DOJ Representative, KELSI VILLANUEVA-CASTRO.

Q: How do you know that this is the signature of the DOJ Representative, KELSI
VILLANUEVA-CASTRO?
A: I was there when she signed it.

Q: You made mention that you saw PO1 DELA ROSA give you a Request for Laboratory
Examination. I am showing to you a document denominated as Request for Laboratory
Examination dated 10 January 2017, previously marked as Exhibit “I.” Kindly go over
said document and tell us what relation this has to the Request for Laboratory
Examination that you mentioned?
A: This is the same document.

Q: After the confiscated and seized items were turned over to you, what happened?
A: PO1 DELA ROSA accompanied BEKI BELO to the PNP, City Anti-Illegal Drug Specials
Operation Task Group, Angeles City Crime Lab for laboratory examination and drug test.

Q: Were you able to bring the sealed metal box to the PNP, City Anti-Illegal Drug Specials
Operation Task Group, Angeles City Crime Lab for the tests you mentioned?
A: Yes, around 3 o’clock in the afternoon that day.

Q: When you brought the sealed metal box to the Angeles City Crime Lab, what
happened?
A: It was received by PCI ANGEL C. TIMARIO.

Q: How you do know that he is PCI ANGEL C. TIMARIO?


A: Because I also gave him the Request for Laboratory Examination and he stamped-received
the document and wrote his name there.

Q: I am showing to you the document denominated as Request for Laboratory


Examination dated 10 January 2017 that was previously marked as Exhibit “I.” At the
lower right side of the document was a stamp “RECEIVED BY: PCI ANGEL C. TIMARIO.”
Kindly go over said stamp and tell us what relation this has to the stamp that you
mentioned?
A: This is the same stamp I was talking about.

No further questions, Your Honor.

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