JOHN A. MENDEZ, District Judge.
Plaintiff David Luna and Defendant Rite Aid Corporation (collectively herein "the parties"), by and through their respective counsel, enter into the following second stipulation to continue expert witness disclosures and all related dates:
1. On November 5, 2018, the Honorable Judge John A. Mendez entered an order pursuant to the parties' joint stipulation to continue the expert witness disclosure dates as follows:
A. That the currently-scheduled dates for expert witness disclosure, supplemental expert witness disclosures, and disclosure of any rebuttal experts be vacated.
B. That the expert witness disclosure date be continued to December 17, 2018.
C. That the supplemental expert witness disclosure and disclosure of any rebuttal witness dates be continued to January 14, 2019.
D. That any and all other dates related to expert witness disclosures be continued by six (6) weeks.
2. On November 26, 2018, the parties jointly submitted a stipulation to submit the above-entitled action to the Voluntary Dispute Resolution Program ("VDRP") pursuant to Local Rule 271.
3. In light of the parties' intent to engage in mediation through the VDRP and/or private mediation and to avoid the costs associated with expert witness disclosure, the parties agree there is good cause to extend the expert witness disclosure, supplemental expert witness disclosures, and disclosure of any rebuttal experts by six (6) weeks.
WHEREFORE the parties stipulate as follows:
IT IS SO STIPULATED.
1. That the currently-scheduled dates for expert witness disclosure, supplemental expert witness disclosures, and disclosure of any rebuttal experts be vacated.
2. That the expert witness disclosure date be continued to January 28, 2019.
3. That the supplemental expert witness disclosure and disclosure of any rebuttal witness dates be continued to February 25, 2019.
4. That any and all other dates related to expert witness disclosures be continued by six (6) weeks.
IT IS SO STIPULATED.
Having read the above joint stipulations regarding expert witness disclosures, and good cause appearing, it is hereby ordered that the above stipulations are adopted, and all parties must comply with the stipulations as set forth herein and as follows:
1. That the currently-scheduled dates for expert witness disclosure, supplemental expert witness disclosures, and disclosure of any rebuttal experts be vacated.
2. That the expert witness disclosure date be continued to January 28, 2019.
3. That the supplemental expert witness disclosure and disclosure of any rebuttal witness dates be continued to February 25, 2019.
4. That any and all other dates related to expert witness disclosures be continued by six (6) weeks.
IT IS SO ORDERED.