PEGGY A. LEEN, Magistrate Judge.
IT IS HEREBY STIPULATED AND AGREED by and between Plaintiffs WILLIAM J. BERRY, JR., CYNTHIA FALLS, and SHANE KAUFMANN and Defendant DESERT PALACE, INC., d/b/a CAESARS PALACE ("Caesars"), by and through their respective counsel of record, that (i) the deadline for completion of depositions be extended from the current discovery cutoff date of August 24, 2018, to October 21, 2018; (ii) the deadline for written discovery related to new information disclosed during the depositions of Maggie Gong, Dan Burdalski, and Kim Williams, be extended from July 25, 2018, to August 16, 2018; and the dispositive motion deadline be extended from September 24, 2018, to November 30, 2018. This is the parties' third stipulation to extend discovery deadlines. The parties state as follows:
1. Plaintiffs filed suit on January 3, 2017 (ECF No. 1).
2. Discovery has twice been stayed while the parties attended mediation sessions on October 31, 2017 (ECF No. 45) and May 8, 2018 (ECF No. 73).
3. To date, as a group, plaintiffs William J. Berry, Jr., Shane Kaufmann, and Cynthia Falls have:
4. To date, Caesars has:
5. Caesars has produced 25,747 pages of documents and responsive video files.
6. Plaintiffs have produced 2,576 pages of documents and one audio record.
7. The parties agree that an extension of the discovery deadline to October 21, 2018, to complete depositions is appropriate. Caesars reserves its right to object to depositions exceeding the ten provided for under Rule 30(a)(2).
8. The parties agree that plaintiffs should have an opportunity to propound written discovery related to new information disclosed during the depositions of Maggie Gong, Dan Burdalski, and Kim Williams, though Caesars reserves all objections to the substance of such discovery requests.
9. Plaintiffs reserve their right to seek relief from the Court for additional discovery beyond what Caesars has agreed to in this stipulation.
10. Plaintiffs began noticing the pending depositions between June 28, 2018, and July 3, 2018. The parties met and conferred in good faith regarding scheduling. In light of plaintiffs' counsel's accommodations of the deponents' scheduling conflicts, and in light of plaintiffs' counsel's unexpected family medical issues which will require additional flexibility and absence in August (when discovery is scheduled to end on August 24), the parties agree that a brief extension to October 21, 2018, to complete depositions is appropriate. The parties also agree that written discovery related to new information disclosed during the depositions of Maggie Gong, Dan Burdalski, and Kim Williams, which could have been served in advance of the currentlyscheduled discovery cutoff absent accommodation of the deponents' scheduling conflicts, is appropriate.
12. This stipulation is made in good faith to allow the parties to continue to make diligent and sincere efforts to complete discovery and is not for the purpose of causing any undue delay, and the parties agree that good cause therefor exists for the stipulated extensions.
IT IS SO STIPULATED.