0% found this document useful (0 votes)
94 views2 pages

Arlene Complaint Affidavit

Uploaded by

juataslawoffice
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
0% found this document useful (0 votes)
94 views2 pages

Arlene Complaint Affidavit

Uploaded by

juataslawoffice
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
You are on page 1/ 2

REPUBLIC OF THE PHILIPPINES

PARAÑAQUE CITY

AFFIDAVIT OF COMPLAINT

I, ARLENE DOPLON, of legal age, Filipino, with residence at B 14 L 18 The Glen at


Parkspring, San Antonio, San Pedro, Province of Laguna after being duly sworn to in accordance
with law, hereby depose and state:

1. On September 1, 2024, I entered into a Contract Agreement with Ms. Perlita P.


Fernandez, who is of legal age, Filipino, and residing at Blk 2 Lot 243 Ph 1 Ciudad de
San Jose, Sta. Rosa City, Laguna, Philippines, and at Blk 2 Lot 63 Carnation St., Ciudad
de San Jose, Balibago, Sta. Rosa, Laguna.

2. Under the said Contract Agreement, I lent Ms. Fernandez the amount of Two Hundred
Thousand Pesos (Php 200,000.00), which she agreed would be used to complete pending
items at an apartment project in Rosada Subd., Brgy. Tagapo, Sta. Rosa Laguna. These
items included windows, doors, a rooftop gate and ceiling, waterproofing of firewalls,
final paint, kitchen aluminum cabinets, kitchen shelves, and a partition wall.

3. The agreement specified that Ms. Fernandez’s vehicle (L300 FB) would be left in my
possession as collateral until the amount of Php 200,000.00 was returned in full no later
than thirty (30) days from the date of the agreement. A copy of the Contract Agreement is
attached hereto as Annex "A."

4. Despite the lapse of more than thirty (30) days, and after several verbal and written
demands, including a formal demand letter sent on November 20, 2024, Ms. Fernandez
has failed to fulfill her obligation to repay the said amount. A copy of the demand letter is
attached hereto as Annex "B."

5. The demand letter issued by my legal counsel, Atty. Asisclo Castañeda III, clearly
outlined Ms. Fernandez’s obligation to settle the debt within fifteen (15) days from
receipt of the letter.

6. To date, Ms. Fernandez has neither paid the amount of Php 200,000.00 nor
communicated any valid justification for her failure to pay.

7. Ms. Fernandez’s actions have caused me significant financial harm and inconvenience. I
have made every reasonable effort to amicably resolve this matter, but my efforts have
been ignored.

8. I am executing this affidavit to attest to the foregoing facts and to support the filing of a
formal complaint against Ms. Perlita P. Fernandez for violation of our agreement and for
the recovery of the amount owed, together with any accrued interest, damages, and legal
expenses.

I IN WITNESS WHEREOF, I have hereunto set my hand this 31 st day of December 2024,
in Parañaque City, Philippines.

ARLENE DOPLON
Affiant

SUBSCRIBED AND SWORN TO before me this 31st day of December 2024, in


Parañaque City, Philippines. Affiant personally appeared before me and presented competent
evidence of identity: Competent Evidence of Identity: Driver’s License ID No.: N03-99-277085
Date of Expiry: MAY 4, 2032

NOTARY PUBLIC
Doc. No. _____;
Page No. _____;
Book No. _____;
Series of 2024.

You might also like