Concubinage

Republic of the Philippines

____________ Judicial Region

________________ TRIAL COURT

Branch _____, _____________, _____________


REPUBLIC OF THE PHILIPPINES,

Complainant,

-versus-


______________________,

Accused.

x - - - - - - - - - - - - - - - - - - - - - - - - -x



CRIMINAL CASE NO. _______________

FOR: _________________

COMPLAINT

The undersigned, _____________, accuses _____________ of the crime of CONCUBINAGE, committed as follows, to wit:

That on or about _____________, in the City/Municipality of _____________, Province of _____________ and within the jurisdiction of this Honorable Court, the accused _____________ who is the husband of the undersigned Complainant, cohabited and lived together with his co-accused _____________ as husband and wife in a private dwelling, begetting out of such cohabitation, a child named _____________, the co-accused _____________ knowing fully well that accused _____________ was a very much married man.

Contrary to law.

_____________, Philippines, __Date__.


___________________________________

COMPLAINANT


SUBSCRIBED AND SWORN TO BEFORE ME, A Notary public in and for the City of Puerto Princesa and the Province of Palawan this 24th day of October 2013. Affiant personally came and appeared with Driver’s License ID No. issued by the Land Transportation Office and valid until May 1, 2015, at Puerto Princesa City, bearing his photograph and signature, known to me as the same person who personally signed the foregoing instrument before me and avowed under penalty of law to the whole truth of the contents of said instrument


_________________________________

Notary Public

Doc. No. ______;

Page No. ______;

Book No. ______;

Series of 20__;

Witnesses:

____________________

____________________