THOMAS S. ZILLY, District Judge.
IT IS HEREBY STIPULATED AND AGREED by Counsel for Plaintiffs Tyco Integrated Security LLC ("TycoIS"), Tyco International plc ("TIP"), and Tyco International Management Company, LLC ("TIMC") (collectively, "Plaintiffs"), and Counsel for Defendant John B. Bradford ("Defendant" or "Bradford") (hereinafter Plaintiffs and Defendant will collectively be referred to as the "Parties"), as follows:
WHEREAS, the current scheduled date for the close of discovery is May 5, 2017 (Dkt. No. 40);
WHEREAS, the Parties have reached an agreement to hold Mr. Bradford's deposition on May 11, 2017and hereby stipulate and agree to the following:
1) Plaintiffs' deposition of Mr. Bradford may be convened on May 11, 2017, notwithstanding the Court's May 5, 2017 discovery cutoff; and
2) If Plaintiffs seek any relief from any other deadline in the case schedule, including a trial continuance, Plaintiffs will not rely upon this Stipulation or the court order endorsing this Stipulation.
All signatories listed below, and on whose behalf the filing is submitted, concur in and consent to the filing's content and have authorized the filing.
It is so stipulated.
It is SO ORDERED.