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Republic of the Philippines )

City of ) S.S.

X--------------------------------------X

SWORN STATEMENT

I, COGSWORTH W. CLOCK, 26 years of age, single, currently


residing in Lot No. 23, Constantinopole Road, Tondo Village, Manila City,
after having been duly sworn to in accordance with law, do hereby
depose and state that:

1. I have been living at the Enchanted Mansion for about 15


years;

2. That I have known MR. MACK HALE D. BEAST since I was a


boy and we were childhood friends.

3. That MR. MACK HALE D. BEAST’s parents brought me in as a


house helper when I was 11 years old.

4. That I would remember MR. MACK HALE D. BEAST brought


to my favorite snack, French fries from Potato Corner every
after school classes and we’ll play till evening.

5. That after his parents died due to petrification two (2) years
ago, MR. MACK HALE D. BEAST would constantly bring
different women to the mansion.

6. That I am taking good care of the visitors that MR. MACK


HALE D. BEAST would bring home in the mansion.

7. MR. MACK HALE D. BEAST has continuously kept me as his


servant serving food to women he would bring to the
mansion;

8. That I realized that the visitors MR. MACK HALE D. BEAST


brings in are for the purpose of satisfying his carnal desires.

9. That I could hear screaming, cries and wails from the attic
every time he’d bring women in;

10. That one time I accidentally delivered lunch earlier than


expected and found MR. MACK HALE D. BEAST performing
the sexual act on a woman against her will;

11. That I submit that the sexual act was against the woman’s will
due to her screaming “Don’t do this to me. Please stop!”;

12. That on the 15th of August 2018, MR. MACK HALE D. BEAST,
brought another girl to the mansion;
13. That I overheard MR. MACK HALE D. BEAST calling the girl
by the name of “Belle”;

14. That along with the girl, MR. MACK HALE D. BEAST brought
from outside, he also brought in an elderly man who I have
come to know as MR. TATAY N. BEAUTY;

15. That I would deliver lunch to MS. BELLE N. BEAUTY and MR.
TATAY N. BEAUTY; and I would also notice blood in the cell
where MS. BELLE N. BEAUTY was kept;

16. That me and my co-workers have decided to help the Tatay


and Belle and at the same time help ourselves;

17. That I was told by MRS. TEA T. POTTS on August 18, 2018
that she found the keys to the cell on the desk of MR. MACK
HALE D. BEAST and that she told me to fetch the Beautys
around 10:15 when MR. MACK HALE D. BEAST was out for
his morning run;

18. That I went to fetch the Beautys at 10:15 but only found MR.
TATAY N. BEAUTY with no sign of MS. BELLE N. BEAUTY;

19. That I told MR. TATAY N. BEAUTY to proceed with the plan
and just look for MS. BELLE N. BEAUTY at a later time;

20. That I, TATAY N. BELLE, MR. LUMIERE C. LIGHT and MRS.


TEA T. POTTS left the mansion at 10:30 in the morning of the
19th of August 2018;

21. That MR. TATAY N. BEAUTY, MRS. TEA T. POTTS, MR.


LUMIERE C. LIGHT went to the police station; I on the other
hand volunteered to stay behind to wait for Belle, whenever
she returned.

22. That I saw MR. MACK HALE D. BEAST return to the


Enchanted Mansion with BELLE N. BEAUTY, and I saw MR.
MACK HALE D. BEAST stab BELLE N. BEAUTY in her chest
with the heirloom dagger possessed by her family since time
immemorial. He then dragged her body to the Mansion’s
garden.

23. That I am executing this Sworn Statement to attest to the


truth of all the foregoing statements and for whatever legal
purpose it may serve.

AFFIANTS SAYETH NAUGHT.


IN WITNESS THEREOF, I have hereunto set my hands this 25th day of
August 2018.
COGSWORTH W. CLOCK
Affiant

SUBSCRIBED AND SWORN TO before me this _______day of ______ 2018


at________________________. I HEREBY CERTIFY that I have personally
examined the herein affiant and I am satisfied that they have voluntarily
executed and understood their given affidavit.

Notary Public

Doc. No.________
Page No. _______
Book No. _______
Series of 2018.
Republic of the Philippines
National Capital Judicial Region
REGIONAL TRIAL COURT
Branch 123
Makati City

PEOPLE OF THE PHILIPPINES


Plaintiff,
Criminal Case No. 666
Versus
For:
SPECIAL COMPLEX CRIME
OF
KIDNAPPING WITH RAPE
AND
HOMICIDE

MACK HALE D. BEAST


Accused

X - -- -- -- -- -- -- -- -- -- -- -- -- -- -- -- - X

JUDICIAL AFFIDAVIT

I, Cogsworth W. Clock, of legal age, Filipino and a resident of #69


Tropical Valley Gardens, San Roque, Antipolo City, Rizal, under oath,
hereby answer the questions asked of me, fully conscious that I may face
criminal liability for false testimony or perjury, to wit:

PRELIMINARY STATEMENT

This Judicial Affidavit is being executed under oath in compliance


with A.M. 12-8-8-SC and is being adopted the direct testimony of the
witness in the case of People of the Philippines vs Mack Hale D. Beast,
docketed as Crim. Cases No. 666 for Special Complex Crime of
Kidnapping with Rape and Homicide.

The person examining me is Atty. Hanzel P. Menor. The


examination is being held in Makati City.

OFFER OF TESTIMONY:

The testimony of witness, Mr. Cogsworth Clock, is being


respectfully offered in the above-entitled cases to:

1. Testify that he personally met the accused, Mack Hale D.


Beast at #100 Forest Ridge Village, San Isidro, Antipolo City;

2. That he has been living at the Enchanted Mansion of the


accused for about fifteen (15) years;

3. That he has personal knowledge of the arrival of Mack Hale


D. Beast together with Cogsworth W. Clock and his daughter, Belle N.
Beauty, were unlawfully detained on opposite cells directly across each
other at the said mansion for three (3) consecutive days;

4. That Belle N. Beauty was repeatedly raped by Mack Hale D.


Beast across the cell where Cogsworth W. Clock was unlawfully detained;

5. That he volunteered to stay at the vicinity ;


5. He will also identify relevant documents and testify on some
other relevant matters.
DIRECT EXAMINATION CONDUCTED BY ATTY. FORTEZA
1. Q: Good morning Mr. Witness, you do know of a certain Mack
Hale D. Beast?
A: Yes sir.

2. Q: Why do you know him?


A: I met him before when he courted my daughter Belle and
when I was inside a moving vehicle at the evening of 15 August 2018 sir.

3. Q: Why were you inside this moving vehicle?


A: While my daughter Belle and I were on our way to the
parking lot, I was struck by a hard object, when I have come to my
senses I was already inside the vehicle sir.

4. Q: While you were inside the vehicle, who are you with?
A: I was with my daughter Belle sir.

5. Q: Aside from Belle, was there any other person inside the
vehicle?
A: Yes sir.

5. Q: Who was this person then?


A: It was Mack Hale D. Beast sir.

6. Q: What happened next, if any?


A: Belle and I were then dragged out of the vehicle and we were
brought inside the mansion by Mack Hale D. Beast sir.

7. Q: Where exactly in the mansion were you and Bell brought?


A. We were brought at the attic by Mack Hale D. Beast sir.

8. Q: What happened next after you were brought at the attic, if


any?
A: I was pushed inside the cell by Mack Hale D. Beast sir

9. Q: What else happened after that, if any?


A: After he locked the railing where I was placed, he dragged
Belle inside the cell across the cell where I was placed sir.

10. Q: Was there anything you have noticed in the place, if any?
A: The area was properly lit sir.

11. Q: What happened next, if any?


A: Mack Hale D. Beast goes to the cell of my daughter, Belle,
multiple times where she is ruthlessly harassed, mauled and
relentlessly raped by Mack Hale D. Beast sir.

13. Q: What else happened, if any?


A: After Mack Hale D. Beast is satisfied with his lust, he will
then leave my daughter. He also shouts “linisan n’yo yan!”
sir.

14. Q: After he shouts that phrase what was the next thing that
happened, if any?
A: Mrs. Tea T. Potts, who happens to be one of the servant of
Mack Hale D. Beast would provide first aid for the bruises
sustained by my daughter, Belle. Mrs. Potts is also one of the
servants who brings us food sir.

15. Q: What else have you noticed, if any?


A: There are instances where it was not Mrs. Potts who brings
us food sir.

16. Q: Who brings your food then?


A: During lunch time, it was Mr. Cogsworth W. Clock who
would provide us food and during the evening it was Mr.
Lumiere C. Light who would come serve us dinner sir.

17. Q: What happened next, if any?


A: The next evening, after Mr. Light has served us dinner, he
whispered to me words of encouragement sir.

18. Q. What were these words?


A: He told me that Belle and I must prepare ourselves because
we will be escaping as soon as possible sir

19. Q. And how soon was this?


A: It was the next day sir.

20. Q. What happened next?


A. Ms. Potts gave me the keys to our cell

MANIFESTATION:
The Cell Keys was previously marked during the Pre-Trial
Conference as Exhibit “______” for the prosecution

21. Q. If the said Keys will be shown to you, would you be able to
indentify it?
A: Yes sir.

22. Q. I am showing you the Keys marked as Exhibit “________”


can you please go over this and tell the Honorable Court of its
relation to the one you are mentioning earlier.
A: These are the same keys sir.

23: Q. What happened next after Ms. Potts gave you the keys, if
any?
A: She told me to wait for the go-signal of Mr. Clock in order for
us to escape sir.

24: Q. What else happened, if any?


A: I told my daughter, Belle, that we should take a nap for a
while in order for us to regain strength that will enable us to
escape sir.
25: Q. Then what happened next, if any?
A: Mr. Clock woke me up at around 10 AM that same day. He
told me that we have to leave immediately. I also asked him if he
was able to wake up Belle, since we are already about to leave sir.

26: Q. What was the response of Mr. Clock?


A: We were both astonished that my daughter, Belle, was not in
her cell sir.
27: Q. What happened then, if any?
A: The four of us – Lumiere C. Light, Tea T. Potts And
Cogsworth W. Clock, escaped without my daughter, BELLE, and it
was tremendously painful for me to leave without her sir.

28: Q. Was there anything you have noticed during your escape?
A: While we were running away the mansion Mr. Lumiere C.
Light told us that it was Mr. Mack Hale D. Beast who took Belle
away, but they don’t know where sir.

29: Q: What happened after that, if any?


A Mr. Cogsworth Clock volunteered to stay in order to see the
return of Mr. Mack Hale D. Beast and Belle. So, Mrs. Light and
Mrs. Potts accompanied me to the nearest police station to ask for
help sir.

30: Q: Were you able to arrive at the Nearest Police Station?


A: Yes sir.

31: Q: What happened in the Police Station you were referring to?
A: When we arrived at the Police Station PO1 Tank U. Lefou
together with Sr. Inspector Gaston, asked us what happened and
we told him everything. He then helped us file the Police Blotter.

MANIFESTATION:
The Police Blotter was previously marked during the Pre-
Trial Conference as Exhibit “______” for the prosecution

32. Q. If the said document will be shown to you, would you be able
to indentify it?
A: Yes sir.

33. Q. I am showing you the document marked as Exhibit


“________” can you please go over this document and tell the
Honorable Court of its relation to the one you are mentioning
earlier.
A: These are the same documents sir.

34. Q: What happened next, if any?


A: Sr. Inspector Slick S. Gaston ordered his men to raid
mansion based on our testimony. Also Mr. Lumiere C. Light and I
were accompanied by the police to the mansion and they
immediately blocked the escape routes of premises. They searched
the whole mansion and the lot adjacent thereto where they have
found the corpse of my daughter, with a stab wound in her chest
IN WITNESS WHEREOF, I have hereunto set my hand this 26th of
September 2018 in Antipolo City.

COGSWORTH W. CLOCK
Affiant
________________

SUBSCRIBED AND SWORN to before me this _________________


2018 in ______________________________.
LAWYER’S ATTESTATION

I, ATTY. HANZEL P. MENOR, counsel of record in Crim. Case No.


666 before the Regional Trial Court in Cities in Antipolo City, with office
address at 2nd Floor, Matibay Building, Philam Homes, Antipolo City,
Philippines, under oath, hereby attests to the following:

1. I am the lawyer who conducted and supervised the


examination of the witness COGSWORTH W. CLOCK;
2. I faithfully recorded the questions I asked the witness and
the corresponding answers he gave;
3. Neither I nor any other person then present when I recorded
the examination coached the witness regarding his answers.

Done this _____________________ 2018 in __________________.

ATTY. HANZEL P. MENOR


Public Prosecutor

SUBSCRIBED AND SWORN to before me this __ day of September


2018 in Antipolo City, affiant exhibited to me his IBP ID No. 12345.

Copy Furnished:

Atty. Karyll Ann Mitra


CEU-OLA
Gil Puyat
Makati City, Philippines

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