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Form No.

167 - PETITION FOR DECLARATION OF


PRESUMPTION OF DEATH AND AUTHORITY
TO EXECUTE DEED OF SALE

(Caption)

PETITION

PETITIONER, alleges that:


(1) Petitioner is of legal age and resident of _______________;
(2) Petitioner was civilly marries to [name of husband], copy
of the marriage certificate is attached hereto and made part
hereof as Annex A;
(3) On _____________, 20___, petitioners husband [name of
the husband] boarded Philippine Airlines Flight No. ____________
bound for the United States of America. Unfortunately, the plane
he was then riding was then declared missing somewhere in the
Pacific Ocean and for more than five (5) years now, the plane he
was riding has not been heard of. Hence, she has all the reasons
to believe that her husband is now dead;
(4) During their marriage, they were able to acquire a
parcel of land covered by T.C.T. No. _____________ which is now in

the name of the petitioner, married to her husband [name of


husband];
(5) Petitioner and her husband did not have any child;
(6) Petitioner needs funds for her sustenance. Hence, there
is a need for judicial authorization to sell the property
aforementioned as her husbands consent is needed.

WHEREFORE, petitioner respectfully prays that judgment


be rendered declaring [name], the petitioners husband,
presumed dead for all legal intents and purposes. Petitioner
further prays that judicial authority be granted to her to sell the
aforementioned conjugal property without the consent of her
husband. Petitioner furthermore prays for such other relief just
and proper under the premises.
(Place, date and Signature)
(Verification)

(Jurat)

Form No. 168 PETITION FOR LEGAL SEPARATION

(Caption)

PETITION FOR LEGAL SEPARATION

PETITIONER, respectfully alleges that;


(1) Petitioner and respondent are both of legal age,
Filipinos. Petitioner is a resident of ______________, while
respondent is presently residing at ______________ where she may
be served with legal processes;
(2) Petitioner and respondent are husband and wife having
been married in a civil ceremony on ______________, copy of their
marriage certificate is attached hereto and made part hereof as
Annex A;
(3) Since their marriage five (5) years ago, they were able to
acquire the following properties:

NATURE OF PROPERTY
_________________________
_________________________

LOCATION

VALUE

____________
____________

__________
__________

(4) Petitioner, after having been married to respondent,


learned that she has committed and continuously commits act
of infidelity by committing adultery such that she abandoned the
conjugal dwelling and is now openly cohabitating with her
paramour at her given address aforementioned;
(5) Petitioner and respondent, despite being married for
more than five (5) years, never begot any child;
(6) Petitioner never condoned such act of adultery
committed by the respondent. In fact, reconciliation between the
parties herein is definitely impossible.

WHEREFORE, Petitioner respectfully prays that:


(1) After due hearing, a decree of legal separation between
the petitioner and respondent be issued by the Honorable Court;
(2) The conjugal partnership be ordered dissolved and
liquidated, depriving the respondent of her share of the conjugal
partnership profits;

(3) Such other relief just and equitable under the


circumstances be granted.

(Place, date and Signature)


(Verification and Certification of non- forum shopping)

Form No. 169 PETITION FOR ANNULMENT OF MARRIAGE

(Caption)

PETITION

PETITIONER, respectfully alleges that:


(1) Petitioner and defendant are both of legal age, married
and resident of _______________, where they may be served with
legal processes;

(2) On _____________, 20 ____, petitioner and defendant were


married in a civil ceremony as shown in the marriage contract,
copy if which is attached hereto and made part hereof as Annex
A;
(3) At the time of marriage, respondent, unknown to the
petitioner, had another wife living and was thus legally married
to [name of the other spouse];

(4) At the time of the marriage to the petitioner,


respondents former marriage was in full force and effect.
But the petitioner had no knowledge or notice of
respondents prior marriage when the petitioner contracted
marriage with respondent;
(5) The petitioner and respondent have no children, the
issue of the marriage;
(6) No property has been accumulated during the
marriage of petitioner and respondent.
WHEREFORE, it is respectfully prayed that:
(1) A decree of annulment be entered in this action
declaring the marriage between petitioner and respondent to
be null and void;
(2) An order be issued commanding the Local Civil
Registrar of _______________ to cancel said marriage from the
book of marriages and order the marriage between the
petitioner and respondent to be of no further legal effect;

(3) Petitioner be granted such other and further relief


as the court may deem proper.

(Place, date and Signature)


(Verification and Certification of non- forum shopping)

Form No. 170 APPLICATION FOR LAND REGISTRATION

(Caption and Title)

APPLICATION

APPLICANT in the above-entitled land registration case,


hereby applies to have the land hereinafter described brought
under the operation of Property Registration Decree (P.D. 1529),
and to have the title thereto be confirmed in his/her name and;

FURTHER DECLARES .
1. That applicant is the owner of that real property situated
in ________________, fully bounded and respectively described
per plan Psu _____________ and of the accompanying technical
description which is hereto attached and made part of the
application;
2. That the real property subject of application is assessed
for taxation purposes at P _____________ as per hereto attached
Tax Declaration No. _____________;
3. That as far as known to the applicant, the real property
being applied for registration is not within any government
project, civil, air naval or military reservations nor there exist
any proposed project therein programmed by the government;
4. That applicant acquired the real property thru
inheritance from his/her late ________________, and that
applicant and his/her predecessors-in-interest has been in
actual ownership and possession of the lot in concept of true

and legal owner, open and adversed against the whole world
since time immemorial;
5. That the civil status and personal circumstances of
applicant are as follows:
______________________, of legal age,
Filipino, and a resident of ___________________.

married/single,

6. That the names of the owners of the lots adjoining the


property applied for registration are as follows:
(state the names and the location of the properties in
relation to the property being applied for)
7. That the following documents are hereto attached and
made parts hereof, to wit:
a. Three (3) copies of plan Psu _______________;
b. Certified true copy of technical description plus three (3)
copies;
c. Three (3) copies of Geodetic Engineers Certificate;
d. Owners copy of Tax Declaration No. ______________ and
four (4) copies.

_______________________
(Place, Date)
________________________
Applicants Signature

______________________
Address
Form No. 171 NOTICE OF DEATH AND FOR
SUBSTITUTION OF PARTIES IN LAND
REGISTRATION CASE

(Caption)

NOTICE AND MOTION FOR SUBSTITUTION OF PARTIES

UNDERSIGNED COUNSEL, respectfully states:


(1) One of the applicants herein [name of applicant] died on
________________ at __________________, as evidenced by his
Death Certificate attached herewith and made part hereof as
Annex A;
(2) Pursuant to the Rules of Civil Procedure, the
undersigned is required to give notice to the Honorable Court the
fact of death of said [name of the deceased applicant] and to give
the names, addresses and civil status of the legal and
compulsory heirs of the deceased;
(3) In view of such requirement, the undersigned is giving
notice that hereunder are the decedents legal and compulsory
heirs and as such, the deceased should be substituted by all of

the following legal and compulsory heirs with their respective


addresses and spouses:

NAMES

ADDRESS

NAME OF SPOUSES

_________________
_________________ ______________________
_________________
_________________ ______________________
WHREFORE, it is respectfully prayed that the deceased,
[name], be substituted by his above-named legal and compulsory
heirs with their respective spouses and to have their names
registered accordingly in the Original Certificate of Title that may
be issued by virtue of this Land Registration proceedings.

(Place, date and Signature)


(Copy furnished)
(Proof of service)

Form No. 172 INFORMATION GENERAL FORM

(Caption)

INFORMATION

Undersigned, Provincial/City Prosecutor, accuses [Name of


the accused] of the crime of [Name of crime], committed as
follows:

(State the date, time and place of the commission of the


crime complained of and narrate the facts constituting the
essential elements of the offense charged, the aggravating
circumstances, if any)
CONTRARY TO LAW.

(Place and Date)


BAIL RECOMMENDED.
_______________________

[Signature]
_____________________________
Provincial/City Prosecutor

(Oath)

A preliminary investigation in this case has been conducted


under my direction and I have examined the witnesses under
oath.

[Signature]
_____________________________
Provincial/City Prosecutor
WITNESSES:
1. ___________________________

ADDRESSES:
1. _________________________

2. ___________________________

2. _________________________

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