GEORGE FOLEY, JR., Magistrate Judge.
Pursuant to Local Rules 7-1 and 26-4, Plaintiff Cirrus Aviation Services, LLC ("Cirrus Aviation") and Defendant Cirrus Design Corporation ("Cirrus Design"), by and through their respective counsel, hereby agree and stipulate to extend certain case management deadlines set forth in the Court's Scheduling Order (ECF No. 30) and Order Granting Stipulation to Extend Discovery Deadlines (ECF No. 35) for a period of 90 days. This is the parties' second request for an extension of time. One prior extension has been granted. The parties' stipulation is supported by the following:
Good cause for the requested extensions of time exists. The Parties have worked diligently to meet the Court-ordered fact discovery deadline of February 18, 2019. Both parties have exchanged and requested document production, and are currently discussing dates to complete depositions of lay and expert witnesses. The parties have done so in light of the recent holidays in December and January. However, because of the holidays, the parties were unable to schedule witness depositions due to witness and counsel travel and office closures.
In addition, counsel for both parties, including lead counsel, have been extremely busy with other matters in early 2019, including a three-week jury trial (still ongoing) for Defendant's lead counsel. Additionally, Plaintiff's lead counsel has been involved in very substantial discovery activities in the lead-up to a four week jury trial in Reno, which is scheduled to begin on February 4, 2019.
In addition, Defendant has recently submitted a motion to substitute the firm of Lewis Roca Rothgerber Christie LLP as its new Nevada-resident counsel. The attorneys from that firm are in the process of familiarizing themselves with the file and record in this matter.
The parties now jointly seek to extend the deadline for the close of discovery by 90 days, from February 18, 2019 to May 18, 2019, and to adjust all case deadlines accordingly.
The parties have completed the following phases of discovery:
The parties must still take lay witness and expert witness depositions.
The parties are still engaged in discussions regarding written discovery, and each party has raised issues about the other party's discovery responses and document production, which they are attempting to resolve.
The parties propose the following extensions of deadlines set forth in the Order Granting Stipulation to Extend Discovery Deadlines: