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Final Demand for Unpaid Rent and Eviction

This document is a series of letters from a lawyer to a tenant regarding an expired lease contract. The lawyer's client, the landlord, has repeatedly demanded verbally and in writing that the tenant settle the issues of the expired contract. The first letter serves as a demand for the tenant to discuss the contract and a notice to vacate within 15 days. The second letter demands unpaid rent of PHP 40,000 and a second notice to vacate within 15 days. The third letter is a final demand for PHP 45,000 in unpaid rent and a final notice to vacate within 15 days, or legal action will be taken.

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Janine Garcia
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0% found this document useful (0 votes)
559 views3 pages

Final Demand for Unpaid Rent and Eviction

This document is a series of letters from a lawyer to a tenant regarding an expired lease contract. The lawyer's client, the landlord, has repeatedly demanded verbally and in writing that the tenant settle the issues of the expired contract. The first letter serves as a demand for the tenant to discuss the contract and a notice to vacate within 15 days. The second letter demands unpaid rent of PHP 40,000 and a second notice to vacate within 15 days. The third letter is a final demand for PHP 45,000 in unpaid rent and a final notice to vacate within 15 days, or legal action will be taken.

Uploaded by

Janine Garcia
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd

ANNEX B

August 2, 2016

ASTER CARAMEL GIRL CARILLO


143 Pumapag-ibig Street,
City of Manila

Mr. Carillo:

This is in connection with your Contract of Lease with Mrs. Zesyl Avigail
Francisco-Angels.

My client has made repeated verbal demands to settle your issues regarding
your expired contract with her but heard nothing from you.

Let this serve as:

1. a first written demand to give you an ample opportunity to settle the


issue of your expired contract of lease with my client; and
2. first notice to vacate, within FIFTEEN (15) days from receipt of this
letter if you will still not going to talk with my client regarding the
said contract. Otherwise, I will be constrained to file the necessary
legal action against you to protect my client's interest.

Truly yours,

ATTY. JANNA LLAMANZARES


Counsel of Mrs. Zesyl Avigail Francisco-Angeles
ANNEX C

August 24, 2016

ASTER CARAMEL GIRL CARILLO


143 Pumapag-ibig Street,
City of Manila

Mr. Carillo:

This is in connection with your Contract of Lease with Mrs. Zesyl Avigail
Francisco-Angels.

My client has made repeated verbal demands and sent you her first written
demand to settle your issues regarding your expired contract with her but
heard nothing from you.

Let this serve as:

1. a second written demand to give you again an ample opportunity to


settle the issue of your expired contract of lease with my client;
2. a demand for you to PAY the amount of Forty Thousand Pesos (P
40,000), directly to my client, for the unpaid rentals from January 14,
2015 until present; and
3. a second notice to VACATE THE PREMISES, within FIFTEEN (15)
days from receipt of this letter. Otherwise, I will be constrained to file
the necessary legal action against you to protect my client's interest
without further notice.

Truly yours,

ATTY. JANNA LLAMANZARES


ANNEX D

October 14, 2016

ASTER CARAMEL GIRL CARILLO


143 Pumapag-ibig Street,
City of Manila

Mr. Carillo:

This is in connection with your Contract of Lease with Mrs. Zesyl Avigail
Francisco-Angels.

My client has made repeated verbal demands and sent you her first written
demand to settle your issues regarding your expired contract with her but
heard nothing from you.

Let this serve as:

1. a THIRD and FINAL written demand to give you, for the last time, an
an ample opportunity to settle the issue of your expired contract of
lease with my client;
2. a demand for you to PAY the amount of Forty-five Thousand Pesos (P
45,000), directly to my client, for the unpaid rentals from January 14,
2015 until present; and
3. a THIRD and FINAL NOTICE to VACATE THE PREMISES, within
FIFTEEN (15) days from receipt of this letter. Otherwise, I will be
constrained to file the necessary legal action against you to protect
my client's interest without further notice.

Truly yours,

ATTY. JANNA LLAMANZARES

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