NANCY J. KOPPE, Magistrate Judge.
Plaintiff/Counter/Cross-Defendant, PROF-2016-S3 LEGAL TITLE TRUST IV, BY U.S. BANK NATIONAL ASSOCIATION, AS LEGAL TITLE TRUSTEE ("U.S. Bank"), by and through its attorneys of record of the law firm of Wright, Finlay & Zak, LLP, Defendant/Counter/Cross-Claimant, SFR INVESTMENTS POOL 1, LLC ("SFR") by and through its attorneys of record Kim Gilbert Ebron, and Defendant LA MANCHA SHOMEOWNERS ASSOCIATION, INC. ("La Mancha"), by and through its attorneys of record Boyack Orme & Anthony, (collectively "Parties") hereby stipulate and agree to extend discovery follows:
1. On November 2, 2017, the Court filed a Scheduling Order [ECF No. 38] setting forth the following discovery deadlines:
2. La Mancha served its FRCP 26(f) Conference List of Witnesses and Documents on December 1, 2017.
3. U.S. Bank served its FRCP 26(f) Conference List of Witnesses and Documents on February 5, 2018.
4. SFR served its Notice Of Rule 30(B)(6) Deposition Of U.S. Bank National Association, on February 5, 2018, setting the deposition for April 16, 2018.
5. U.S. Bank served its Initial Disclosure of Expert Witness on February 23, 2018.
6. U.S. Bank served its Subpoena to Produce Documents, Information, or Objects to Alessi & Koenig, LLC, on March 1, 2018.
7. U.S. Bank served its Notice of Taking Deposition of F.R.C.P 30(B)(6) Witness For La Mancha Homeowners Association, Inc., on March 1, 2018, setting the deposition for April 20, 2018.
8. U.S. Bank served its Notice Of Taking Deposition Of F.R.C.P 30(B)(6) Witness For SFR Investments on March 1, 2018, setting the deposition for April 20, 2018.
10. SFR served its First Request for Admissions to U.S. Bank on March 12, 2018.
11. SFR served its First Request for Production of Documents to U.S. Bank on March 12, 2018.
13. U.S. Bank served its First Set of Requests for Production of Documents to SFR on March 26, 2018.
14. U.S. Bank served its First Set of Requests for Admissions to SFR on March 26, 2018.
15. U.S. Bank served its First Set of Interrogatories to La Mancha on March 26, 2018.
16. U.S. Bank served its First Set of Requests for Production of Documents to La Mancha on March 26, 2018.
17. U.S. Bank served its First Set of Requests for Admissions to La Mancha on March 26, 2018.
The Parties are actively conducting discovery in this matter. Although La Mancha's
30(b)(6) deposition was set on March 1, 2018, for April 20, 2018, La Mancha's counsel recently learned they do not have deposition availability any time before mid-May, which is after the currently scheduled close of discovery. Further, there are outstanding written discovery requests, which likely the Parties will require an extension on in order to answer. An extension of the current discovery deadlines is necessary to allow all Parties to participate in and complete discovery, including set a key party's deposition and respond meaningfully to written discovery. The Parties are requesting a 60 day extension to allow sufficient time to re-schedule and conduct depositions and complete other outstanding discovery that may become necessary, as well as explore settlement.
This Request is made in good faith and is made 21 days prior to the close of discovery.