1. ABC Corporation filed a civil case against Juan Dela Cruz for unlawful detainer as Dela Cruz refused to vacate a property owned by ABC Corporation.
2. Dela Cruz, through the public attorney's office, filed an answer to ABC Corporation's complaint denying several allegations and asserting that he has a valid lease contract for the property signed by the president of ABC Corporation.
3. Dela Cruz requests that the court dismiss the case and provide any other just and equitable relief.
1. ABC Corporation filed a civil case against Juan Dela Cruz for unlawful detainer as Dela Cruz refused to vacate a property owned by ABC Corporation.
2. Dela Cruz, through the public attorney's office, filed an answer to ABC Corporation's complaint denying several allegations and asserting that he has a valid lease contract for the property signed by the president of ABC Corporation.
3. Dela Cruz requests that the court dismiss the case and provide any other just and equitable relief.
1. ABC Corporation filed a civil case against Juan Dela Cruz for unlawful detainer as Dela Cruz refused to vacate a property owned by ABC Corporation.
2. Dela Cruz, through the public attorney's office, filed an answer to ABC Corporation's complaint denying several allegations and asserting that he has a valid lease contract for the property signed by the president of ABC Corporation.
3. Dela Cruz requests that the court dismiss the case and provide any other just and equitable relief.
NATIONAL CAPITAL JUDICIAL REGION BRANCH 1, QUEZON CITY
ABC Corporation, Plaintiff,
-versus- CIVIL CASE NO. 111111 For: UNLAWFUL DETAINER
Juan W. Dela Cruz, Defendant. x------------------------------------------x
ANSWER
COMES NOW DEFENDANT JUAN W. DELA CRUZ, assisted by the by public attorneys office, unto this Honorable Court, by way of Answer to the Plaintiffs Complaint, most respectfully avers that:
1. For lack of knowledge and information sufficient to form a belief as to the truth and veracity of the Complainants residence, Paragraph 1 of the Complaint is specifically denied;
2. Defendant admits Paragraph 2 of the Complaint being the personal circumstances of the Defendant;
3. Defendant admits Paragraph 3 of the Complaint regarding the Defendants ownership of the subject property;
4. Defendant admits Paragraph 4 of the Complaint;
5. Defendant admits Paragraph 5 of the Complaint regarding the DEMAND LETTER;
6. Defendant Admits paragraph 6 of the Complaint on the matter refusing to vacate the property because the property is already paid by him in the amount of forty five thousand pesos (P45,000) and with ten post dated checks to Raul B. Roxas the General manager of ABC Corporation in virtue of the lease contract between abc corporation and defendant affixed with the signature of Carolo Miguel the president of abc corporation which was notarized (Copy hereto attached as Annex A);
7. For lack of knowledge and information sufficient to form a belief as to the truth and veracity thereof, Paragraphs 7 of the Complaint is specifically denied;
8. Plaintiffs allegation that defendant has no authority to the said property is of no merit for the reason that a there is a lease contract entered into between defendant and plaintiff which will give rise to a valid title or ownership;
PRAYER
WHEREFORE, it is most respectfully prayed of this Honorable Court that after due notice and hearing, judgment be rendered DISMISSING the instant case for utter lack of merit.
Defendant prays for further relief which may be deemed just and equitable under the premises.
Quezon City, September 9 ______, 2014.
JUAN W. DELA CRUZ
Assisted by:
ATTY. JOHN FERDINEL MANALOTO Public Attorney II Roll no. 51922 IBP NO. 7644446 09-08-14 Compliance No. II- 00333339 009/2/14 Public Attorneys Office Department of Justice Room 107, Hall of Justice Building Diliman, Quezon City
VERIFICATION
I, JUAN W. DELA CRUZ, of legal age, Filipino, after having been duly sworn to in accordance with law, depose and say:
1. That I am the DEFENDANT in the instant case; 2. That I have caused the preparation of the foregoing ANSWER TO THE COMPLAINT; 3. That I have read all the allegations therein and that the same are true of my own personal knowledge based on existing authentic documents.
JUAN W. DELA CRUZ Affiant
REPUBLIC OF THE PHILIPPINES ) QUEZON CITY ) S.S.
SUBSCRIBED AND SWORN TO before me this ___________ day of September 2014, affiant exhibited to me her drivers license No.1438700 issued on September 2 2014, at Quezon City, Philippines.
Doc. No._______ ATTY. JOHN FERDINEL MANALOTO Page No._______ PUBLIC ATTORNEY II Book No._______ PURSUANT TO R.A. 9406 Series No. 2009
Copy furnished:
ATTY. KELVIN MENDOZA No. 25 Matalino st. Teacher village, Quezon
EXPLANATION
Due to lack of manpower in the office, counsel for the Complainants was furnished a copy of this Answer by registered mail in lieu of personal service.
LEGPROF-06-Re Letter of the UP Law Faculty Entitled “Restoring Integrity- A Statement by the Faculty of the UP College of Law on the Allegations of Plagiarism and Misrepresentation in the Supreme Court” Digest