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Republic of the Philippines

National Police Commission


Philippine National Police
Bacolod City Police Station
Bacolod City

PEOPLE OF THE PHILIPPINES PS2 CASE NR PS2-11-1111


Complainant DTD: September 19, 2017
-versus- For Violation of Section 6 of RA 9165
JAPETH CUA Y BRILLIANTES) DETAINED
Accused
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COMPLAINT

The undersigned hereby accuses JAPETH CUA Y BRILLIANTES 28 years of age (DOB October 26, 1989), a
resident of 123 Lacson Street Bacolod City Philippines for violation of Sections 6 article II of RA 9165
(Comprehensive Dangerous Drugs Act of 2002)

A. AFFIDAVIT
1. Affidavit of Arrest SP02 Joshua William D. Su, legal age, Married c/o Station 2,
Corner Aguinaldo BS Aquino Drive, Barangay 3, Bacolod City.
B. PIECES OF EVIDENCE
1. Police Station 2 Incident Record Form NO. PS2 1111 dated September 18, 2017
2. Request for Laboratory Examination
3. Request for Drug Test Examination
4. Result of Laboratory Examination
5. Result of Drug Test Examination
6. Receipt/Inventory of Recovered/Seized items
7. Photographs of Recovered/Seized Items
8. Photographs of signing of inventory of arresting officer

CONTRARY TO LAW

Office of the Police Station 2, Bacolod City Police Office, Bacolod City dated September 19 2017 An
investigation on this case was conducted under my direction having examined the witness deposition.

Henry Sy
Police Officer 1
Investigator

1st Endorsment
September 19, 2017

Respectfully forwarded to the Office of the City Prosecutor, Bacolod City, and recommending
prosecution and please furnish this office of any action taken for our guidance and information

Benedictor Villarias JR
Police Chief Inspector
Chief of Police
(REPUBLIC OF THE PHILIPPINES)
(CITY OF BACOLOD) S.S.
X-------------------------------X

AFFIDAVIT-COMPLAINT

I, JOSHUA WILLIAM SU y Depasucat of legal age married Married c/o Station 2, Corner Aguinaldo BS
Aquino Drive, Barangay 3, Bacolod City, after having been sworn to in accordance with the law do
hereby depose and state;

That I am a regular member of the Philippine National Police with the rank of SPO2 presently assigned
with Police Station 2, Corner Aguinaldo BS Aquino Drive, Barangay 3, Bacolod City Police designated as a
member of the Drug Enforcement Team:

That I am filing a criminal complaint against the person of JAPETH CUA Y BRILLIANTES 28 years of age
(DOB October 26, 1989), a resident of 123 Lacson Street Bacolod City Philippines for violation of Sections
6 article II of RA 9165 (Comprehensive Dangerous Drugs Act of 2002)

That in the attempt to intensify the war on drugs I was instructed to conduct a buy bust operation going
undercover and attempt to catch drug pushers in the act while posing as a drug user.

That on or around 10:00 PM of September 17, 2017 I observed a suspicious character who was engaged
in handing out sachets near 123 Lacson Street. Upon inquiry the person explained that he was able to
sell to me the illegal drug of Methamphetamine Hydrochloride street named shabu, upon handing him
the marked bills in my persons, he handed to me a sachet and then I proceeded to announce my name
and my intention to arrest the person, to which he responded by fleeing the scene of the crime, and to
which I pursued. He gave chase towards a house crying out Police are coming! Run! and upon entering
the house he closed the and locked the door. I had no choice but to kick the door open and investigated
the house. Inside the house there were two other individuals who scrambled to escape my arrest and
the accused JAPETH CUA Y BRILLIANTES, I ordered them to lay on the ground, but only the accused
complied, the others ran away and escaped me.

After informing the accused of his rights and the nature of his arrest I asked if he resided in the house, to
which he responded that he was, after calling for back-up the accused was sent under the custody of
Police Station Branch 2 to which he is now currently detained awaiting trial.

Upon examination of the house, I discovered that it was used as a drug den, and therefore since the
accused was a resident of the house, I had believed him to be a user and a person who maintains the
drug den.

Inside the house I found various illegal contraband and paraphernalia used to administer the drug into
the human body.

That I am with sure certainty aware that the house was used as a drug den and since the same was the
residence of the accused as per his admission.

The suspected illegal drugs were immediately sealed as per police procedure and was immediately
delivered for laboratory examinations.

That I am executing this affidavit to establish the truth of the foregoing facts.

IN TRUTH WHEREOF, I hereunto affixed my signature this 19th day of September 2017, in the City of
Bacolod, Philippines.
SPO2 Joshua William Su Y Depasucat
(Affiant)

SUBSCRIBED AND SWORn TO ME THIS 19th day of September 19, 2017 in the City of Bacolod,
Philippines. I hereby certify that I personally examined the affiant and I am conviced that he voluntarily
executed and fully understood the contents of his affidavit

Maria Merceds E. Odango


Senior Assistant City prosecutor
Bacolod City

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