Affidavit of arrest
Affidavit of arrest
Tuao Cagayan
Affidavit of Arrest
We SPO 1 JAYMAR SOSA and PO2 VHONG NAVARO, both members of the Philippine
National Police, presently assigned at the Police station of Tuao Cagayan, do hereby depose and
state THAT:
01. We are among the members of Tuao Police Station who conducted the hot-pursuit
operation located at Lallayug Tuao Cagayan.
02.The said operation is stemmed from a call of Mr. Robin Padilla for an alleged murder case
which is received by our station.
03. On the call dated May 10, 2024,for an alleged murder case.
04. Upon receiving the call, our office send police officer to conduct an investigation and after a
successful investigation, the suspect was identified and our office immediately planned a hot-
pursuit operation. At about 1:00 of May 10,2024 ,the undersigned together with the witness
proceed to possible place where the suspect might stayed .
05. Upon arrival there at, luckily the suspect was present there and has been identified directly
by the witness. The undersigned together with the other police officers immediately
arrested the suspect.Informing his rights ,while commencing the arrest.
06. Suspect was brought to the Municipal Police Station of Tuao Cagayan for
booking and proper disposition. Likewise the arrested person was apprised for his rights as
provided for under the Constitution of the Philippines.
07. We executed this affidavit to attest the truthfulness of the forgoing facts and to support the
filling of the Criminal Case against Victor Oladipo for violation of Article 248 of the Revised
Penal Code of the Philippines (MURDER)
IN WITNESS WHEREOF, we here unto affixed our signature this 10th day of Jan at Tuao
Cagayan
DWAYNE WADE
Police Senior Inspector
Oath Administering Officer
Republic of the Philippines 1
Province of Cagayan
Tuao
AFFIDAVIT OF WITNESS
1. On April 10 2024 at aproximately 11: 30 AM in the morning,I witnessed a theft at Bagumbayan ,Tuao
Cagayan.The theft involved 2 Acer Laptop which belong to our neighborhood named Fitz Latupan
2. The Perpetrator of the theft was identified as Lebron James,who I recognized from prior encounters in the
neighborhood.
3. I observed Lebron James unlawfully taking taking aformentioned items from the house of Fitz
Latupan.I am certain of their identity as I had a clear view of the incident.
4. Following the theft ,I immediately contacted the authorities and provided them with a detailed description
of the events,including the appearance and actions of the perpetrator
5. I am willing to testify to the above-stated facts in any legal proceedings related to this incident.
I executed this affidavit to attest the truthfulness the forgoing facts and to support the filling of Criminal Case
against Lebron James for violations of theft
IN WITNESS WHEREOF,I hereunto affixed my signature this 10th day of January at Tuao Cagayan.
JAYMAR SOSA
Affiant
Republic of the Philippines
DEPARTMENT OF JUSTICE
OFFICE OF THE PROVINCIAL PROSECUTOR
Province of Cagayan
TUAO
INFORMATION
That on or about April 10 2024, in the Municipality of Tuao Cagayan, the said accused,
did then and there wilfully, unlawfully and feloniously with intent to kill, attack , assault and
use personal violence upon one Pedro Penduko, by then and there hitting him on the head
with a piece of woodthereby inflicting upon the latter mortal wounds which were the direct
and immediate cause of his death thereafter.
CONTRARY TO LAW.
Tuao, Cagayan, April 10, 2024
JAYMAR SOSA
Inquest Prosecutor
WITNESSES
I HEREBY CERTIFY that the foregoing information is filed pursuant to Section 6, Rule
112 of the Revised Rules on Criminal Procedure as amended, the accused not having opted
to avail of his to preliminary investigation and not having executed a waiver pursuant to
article 125, of the Revised Penal Code. I FURTHER CERTIFY that this Information is
being filed with prior authority the Provincial Prosecutor.
CHRISTIAN SALLEPET
( COMPLAINANT)
RESPONDENT
X-----------------------------------X
RESOLUTION
2.Complaint for Libel, Slander, Reckless Imprudence, Malicious Mischief and all
other cases with damages filed for inquest after hours and during holidays, shall not be acted
upon by the Office of the City Prosecutor unless legal fees are paid the following working day
to the Office of the City Prosecutor
INQUEST PROSECUTOR
APPROVED BY AUTHORITY
OF THE CITY PROSECUTOR
JAYMAR SOSA
First Assistant City Prosecutor
Chief Inquest
Republic of the Philippines
Regional Trial Court
Pata,Tuao, Cagayan
- VERSUS - HOMICIDE
MITCHEL DENOVAN
Respondents
A- I am JUAN SALLEPET 23 years old,single bartender at RBJ BAR and presently residing at
Bagumbayan Tuao Cagayan.
Q- Mr.witness on the night of January 10 2024 were you working at the RBJ ?
A- YES ,I was
A- Well around midnight there was alteration between two patrons,one of them latter
identified as MITCHEL DENOVAN ,got into a heated argument with the other man at
the Bar
A- MITCHEL DENOVAN and the other man were exchanging words ,and escalated
quickly.I couldn’t here everything they were saying,but seemed like they were
arguing about money.Then MITCHEL DENOVAN suddenly pulled a knife and stabbed
the other man.
Q- Did you see what happened after stabbing?
A- Yes MITCHEL DENOVAN fled the scene immediately after stabbing.I called the
POLICE hotline and they arrived shortly afterward.
Q- How certain are you that the person you saw stab the victim indeed?
A- I m postive. Ive known MITCHEL DENOVAN for years.We grew in the same
neighborhood,and he’s regular at the bar.
Affiant
SUBSCRIBED AND SWORN to before me this 10th day of April 2024 at Tuao Cagayan
JAYMAR SOSA
Judge
1Republic of the Philippines
Municipality of Tuao
Province of Cagayan
I,PO1 JAYMAR SOSA, of legal age, Filipino, a member of the Philippine National Police
(PNP) assigned as Tuao Municipal PoliceStation, under oath, hereby state:
1. Last 1, 2024 at about 11:00 in the evening, my companion PO2 Kyle Korber and I was going
on a routine police patrol using the station’s patrol car along Tuao Cagayan;
2.Suddenly, from out of the tall grasses beside the road, a lying man was no life in the ground,
and my companion saw it, so I stop the Police Patrol mobile.
3.My companion suddenly stopped while the man was lying near us. Sensing that something was
wrong, I got out and took out my gun, just in case;
4.The lying man, whom I later came to know as JUSTINE ROLI who resides at Alabug Tuao
Cagayan, was lying on the ground with no life. I saw two (2) male person rapidly walking away
from the scene.
5.With the purpose of inquiring from them about the possibility of being witnesses, I thus fired a
warning shot and shouted at the two (2) male to stop or else I will shoot them. Instead to stop,
they immediately ran prompting me to chase and apprehend them.
7I also recorded these series of events at the MPS Blotter, an-excerpt of which is here to attached
as thereof;
8.I am executing his statement to attest to the truth of the statements I made above and for
whatever legal purpose this may serve.
SUBSCRIBED AND SWORNto before me this 1ST day of MAY 2024 at Tuao,Cagayan.
2Republic of the Philippines
Municipality of Tuao
Province of Cagayan
Affidavit Of Desistance
I JAYMAR SOSA of legal age,single and a resident of Brgy.Bagumbayan,Tuao,Cagayan
after having duly sworn to in accordance with law hereby depose and state
1. That I am the complainant in Criminal Case No. 123-45, entitled People of the Philippines Versus
Michael Bitoy Jackson, pending before the Regional Trial Court in Pata, Tuao Cagayan
3. That I have carefully considered the circumstances surrounding the incident that led to the filing
of the said complaint, and after much reflection and deliberation, I have come to the decision to no
longer pursue the case against the accused.
4. That my decision to withdraw the complaint is voluntary and free from any form of coercion,
intimidation, or promise of any kind from any person or entity.
5. That I am fully aware of the consequences of my action, and I hereby undertake not to institute
any further criminal or civil action against the accused arising from the same incident.
6. That I am executing this Affidavit of Desistance to formally request the honorable court to dismiss
the criminal case against the accused base on my withdrawal of the complaint.
IN WITNESS WHEREOF,I hereby set my hand this 1st day of May at the Tuao Cagayan.
JAYMAR SOSA
Complaining Witness
Republic of the Philippines
DEPARTMENT OF JUSTICE
OFFICE OF THE PROVINCIAL PROSECUTOR
Province of Cagayan
TUAO
COMPLAINT OF AFFIDAVIT
2.That JOSHUA REYES (KAG. REYES, for brevity) is one of the members of the
Sangguniang Barangay of the same barangay.
5. That all the elements for the crime of Direct Assault are present, to wit:
b.KAG. REYES employed force and seriously intimidated me by using his umbrella
and pointed it on my face and uttered slanderous words;
c.Even though I was not in the actual performance of my duties, I was intimidated by
KAG. REYES by reason of my official functions.
IN WITNESS WHEREOF, I have hereunto set my hand this 1st day of May 2024 at
Tuao,Cagayan.
CARL TAMAYO
AFFIANT
1
JAYMAR SOSA
COMPLAINANT
AFFIDAVIT OF COMPLAINT
I, JAYMAR SOSA, Filipino, of legal age, and residing at Bagumbayan,Tuao Cagayan, accuses
CARL TAMAYO and two other persons of the crime ROBBERY, committed as follows:
That at around 4:50 PM of January 10, 2024, I was driving along Manuel A.Mamba Highway with
my motorcycle, about 400 to 500 meters away from Kristoray Park , when two other riders suddenly went
beside me (each side).
That one of them wore black jacket, black helmet, and brown long pants who was driving a
Yamaha N-Max colored matte black and had someone behind him (back ride) who wore red helmet,
denim short pants, and black Adidas Sandal
The back ride pointed a gun (revolver) at me and shouted, “Itabi mo, itabi mo puputukan kita!”
That the other rider drove in front of me to block me and prevent me from accelerating and getting
away from them. He wore blue hoodie jacket, denim long pants, and blue Nike shoes (which were the
same clothes my co-worker,CARL TAMAYO, worn whom I met from the bank I went to)
who rode a Yamaha Mio i125 colored yellow.
That the rider in front of me shouted at the other two who were driving the other motorcycle
beside me, “H’wag niyong saktan!” This is when I confirmed that he and my co-worker, CARL
TAMAYO , had the same voice. Hence, CARL TAMAYO was one of my offenders.
That I parked in front of the INHS along the same highway. CARL TAMAYO and the two other
unknown men immediately followed me and forcibly took my bag containing cash amounting to PHP
3,000,000.00 while holding me at gunpoint
After they took my money, they immediately rode their motorcycles and leave to drive toward the
northbound of Manuel Mamba Highway.
That I am executing this complaint-affidavit in order to file a case of Robbery against CARL
TAMAYO, and the two other unknown men who conspired with the former.
That all these stated herein are true and were stated freely without any force or intimidation done
against me.
JAYMAR SOSA
COMPLAINT AFFIANT
SUBSCRIBED AND SWORN TO, before me, this January 10,2024 at Tuao Cagayan. I hereby certify
that I have personally examined the above-named affiant and that I am satisfied that the foregoing
statements were given bynher voluntarily and of her own free will.