5 Respondents specifically deny paragraph 5 of the Petition in so far as it

5 respondents specifically deny paragraph 5 of the

This preview shows page 103 - 105 out of 135 pages.

5. Respondents specifically deny paragraph 5 of the Petition in so far as it states that summons and othe processes may be served on Respondent Imelda R. Marcos at the stated address the truth of the matter that Respondent Imelda R. Marcos may be served with summons and other processes at No. 10-B Bel A Condominium 5022 P. Burgos Street, Makati, Metro Manila, and ADMIT the rest. xxx xxx xxx 10. Respondents ADMIT paragraph 11 of the Petition. 11. Respondents specifically DENY paragraph 12 of the Petition for lack of knowledge sufficient to form a as to the truth of the allegation since Respondents were not privy to the transactions and that they canno remember exactly the truth as to the matters alleged. 12. Respondents specifically DENY paragraph 13 of the Petition for lack of knowledge or information suff form a belief as to the truth of the allegation since Respondents cannot remember with exactitude the con the alleged ITRs and Balance Sheet. 13. Respondents specifically DENY paragraph 14 of the Petition for lack of knowledge or information suff form a belief as to the truth of the allegation since Respondents cannot remember with exactitude the con the alleged ITRs. 14. Respondents specifically DENY paragraph 15 of the Petition for lack of knowledge or information suff form a belief as to the truth of the allegation since Respondents cannot remember with exactitude the con the alleged ITRs. 15. Respondents specifically DENY paragraph 16 of the Petition for lack of knowledge or information suff form a belief as to the truth of the allegation since Respondents cannot remember with exactitude the con the alleged ITRs. 16. Respondents specifically DENY paragraph 17 of the Petition insofar as it attributes willful duplicity on of the late President Marcos, for being false, the same being pure conclusions based on pure assumption allegations of fact; and specifically DENY the rest for lack of knowledge or information sufficient to form a to the truth of the allegation since Respondents cannot remember with exactitude the contents of the alle
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ITRs or the attachments thereto. 17. Respondents specifically DENY paragraph 18 of the Petition for lack of knowledge or information suff form a belief as to the truth of the allegation since Respondents cannot remember with exactitude the con the alleged ITRs. 18. Respondents specifically DENY paragraph 19 of the Petition for lack of knowledge or information suff form a belief as to the truth of the allegation since Respondents cannot remember with exactitude the con the alleged ITRs and that they are not privy to the activities of the BIR. 19. Respondents specifically DENY paragraph 20 of the Petition for lack of knowledge or information suff form a belief as to the truth of the allegation since Respondents cannot remember with exactitude the con the alleged ITRs.
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