SUSAN ILLSTON, District Judge.
WHEREAS, on August 6, 2014, Plaintiff J. Augusto Bastidas, M.D. filed a Third Amended Complaint against Defendants Good Samaritan Hospital LP, Samaritan, LLC, Good Samaritan Hospital Medical Staff, Steven M. Schwartz, M.D., and Bruce G. Wilbur, M.D. for racial discrimination and retaliation under 42 U.S.C. § 1981; and
WHEREAS, on September 17, 2014, the court continued the hearing on Defendants' Motion to Dismiss the Third Amended Complaint to November 12, 2014; and
WHEREAS, on October 29, 2014, the court continued the hearing on Defendants' Motion to Dismiss the Third Amended Complaint to November 13, 2014; and
WHEREAS, on November 10, 2014, the court issued an order, per the parties' joint stipulation, continuing the hearing on Defendants' Motion to Dismiss the Third Amended Complaint to December 12, 2014, and the Initial Case Management Conference to December 12, 2014; and
WHEREAS, under the current schedule in the Pretrial Preparation Order [Dkt. No. 95], the deadline for dispositive motions is August 7, 2015; the deadline for Plaintiff's oppositions to dispositive motions is August 21, 2015; the deadline for Defendants' replies to Plaintiff's oppositions is August 28, 2015; and the hearing on dispositive motions is set for no later than September 11, 2015; and
WHEREAS, under the current schedule in the Pretrial Preparation Order, the cut-off date for non-expert discovery is July 31, 2015; and
WHEREAS, due to scheduling issues with deponents who are medical doctors, due to the amount of relevant information and documents produced and remaining to be produced — including two depositions noticed by Plaintiff that remain to be taken — and the complexity of the pertinent legal and factual issues, the parties have conferred and agreed, subject to the Court's approval, upon the following schedule for briefing regarding any dispositive motions the Parties may file:
WHEREAS, this modification will not alter the date of any other event or deadline fixed by any Court order,
IT IS HEREBY STIPULATED AND AGREED, subject to the Court's approval, that:
I, Michael Li-Ming Wong, am the ECF user whose ID and password are being used to file this Joint Stipulation and [Proposed] Order to Extend Time to File Dispositive Motions and Continue Related Deadlines. I hereby attest that James A. Hennefer has concurred in this and has authorized me to affix his electronic signature to this Stipulation.