Comment on Formal Offer of Evidence

Republic of the Philippines

____________ Judicial Region

________________ TRIAL COURT

Branch _____, _____________, _____________


______________________,

Plaintiff,

-versus-


______________________,

Defendant.

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CIVIL CASE NO. _______________

FOR: _________________

COMMENT ON THE FORMAL OFFER OF DEFENDANT’S EVIDENCE


PLAINTIFF, thru undersigned counsel, in the above-entitled case, and unto this Honorable Court most respectfully manifests her comments and objections to the Defendant’s Formal Offer of Evidence for the following reasons:

PRAYER

WHEREFORE, premises considered, it is most respectfully prayed that this Honorable Court take cognizance of the matters herein set forth and exclude the object evidence identified above.

Other reliefs just and equitable are likewise prayed for.

Makati City for the City of Taguig, 4 February 2010.


PROOF OF SERVICE

I, Speedy Gonzales, messenger of Atty. Jonathan Nepomuceno, herein counsel for Plaintiff Kris Aquino, hereby certify that I personally delivered Plaintiff’s Comment to Defendant’s Formal Offer of Evidence dated 4 February 2010 to Atty. Laurice Marie Angela Austria, counsel for the Defendant, with address at 8th Floor, Strata 4000 Towers, Emerald Ave., Pasig City. The Comment to Defendant’s Formal Offer of Evidence was received by counsel personally.


SPEEDY GONZALES


SUBSCRIBED AND SWORN to before me this 4TH day of February 2010 at Makati City, Metro Manila, personally appeared affiant SPEEDY GONZALES and exhibiting to me his Driver’s License with License No. N-12345, issued at the Quezon City on 14 February 2008.

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Page No. ______;

Book No. ______;

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