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COUNSEL IDENTIFICATION ON FINAL PAGE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 1 1 1 1 1 0 1 NATURAL RESOURCES DEFENSE COUNCIL, et al., v. Plaintiffs, RYAN K. ZINKE, in his official capacity as Secretary of the Interior, et al., Defendants. SAN LUIS & DELTA MENDOTA WATER AUTHORITY, et al., Defendants-Intervenors. ANDERSON-COTTONWOOD IRRIGATION DISTRICT, et al., Joined Parties. CASE NO. 1:0-CV-0 LJO-EPG Case No. 1:0-cv-0 LJO-EPG STIPULATION AND ORDER TO EXTEND DEADLINES

1 1 1 1 1 0 1 WHEREAS, on November 1, 0, the parties filed a Revised Stipulation and (Proposed) Scheduling Order (ECF No. 1), which the Court adopted on November, 0 (ECF No. ); WHEREAS, Plaintiffs have served two third-party subpoenas on National Marine Fisheries Service ( NMFS ) employees, Maria Rea and Eric Danner, requesting documents and deposition testimony for January, 0 and January 1, 0, respectively; WHEREAS, Acting General Counsel for the National Oceanic and Atmospheric Administration has informed Plaintiffs counsel that Ms. Rea and Dr. Danner may not give the testimony which Plaintiffs seek; WHEREAS, an informal discovery dispute conference regarding this issue has been set before Magistrate Judge Erica P. Grosjean for January, 0 at :0 a.m.; WHEREAS, Plaintiffs are willing to postpone the deposition dates for Ms. Rea and Dr. Danner by 0 days in order to allow Judge Grosjean time to resolve the discovery dispute prior to the deposition dates; WHEREAS, Plaintiffs have agreed to an extension of the deposition dates on the condition that the Department of Justice accept service of the revised subpoenas and all parties stipulate to an extension of the current motion briefing deadlines and fact discovery cutoff; STIPULATION NOW THEREFORE, counsel for Plaintiffs and Defendants hereby stipulate to the following revised proposed schedule regarding fact discovery 1 and briefing of motions for summary judgment: Schedule Event Plaintiffs motion for summary judgment March, 0 Defendants oppositions and cross-motions April, 0 for summary judgment Plaintiffs reply and opposition May, 0 Deadline 1 By entering this stipulation, Federal Defendants do not waive any argument regarding (i) the proper scope of judicial review for Endangered Species Act ( ESA ) claims, or (ii) the propriety of considering extra-record evidence related to ESA claims. Other discovery deadlines and trial dates remain unchanged from those adopted by the Court s November, 0 Order (ECF No. ). CASE NO. 1:0-CV-0 LJO-EPG 1

Defendants replies May 1, 0 Hearing on motions for summary judgment June, 0 Fact Discovery cutoff April, 0 Provided, however, that if issues remain for trial, any party may seek to reopen fact discovery based on a showing of good cause. 1 1 1 1 1 DATED: January, 0 /s/ Nicole M. Smith Nicole M. Smith U.S. DEPARTMENT OF JUSTICE ENVIRONMENT & NATURAL RESOURCES DIVISION 01 D Street, NW Room 1 Washington, D.C. 00- Telephone: (0) 0-0 Facsimile: (0) 0-0 Bradley H. Oliphant, Trial Attorney U.S. DEPARTMENT OF JUSTICE ENVIRONMENT & NATURAL RESOURCES DIVISION th St., South Terrace, Ste. 0 Denver, CO 00 Tel: (0) -1 Facsimile: (0) - Attorneys for Respondents Ryan K. Zinke, in his official capacity as Secretary of the Interior, et al. 0 1 DATED: January, 0 /s/ Barbara J. Chisholm (as authorized on January, 0). Barbara J. Chisholm BARBARA JANE CHISHOLM (SBN ) HAMILTON CANDEE (SBN ) TONY LOPRESTI (SBN ) CORINNE JOHNSON (SB ) ALTSHULER BERZON LLP Post St., Suite 00 San Francisco, CA Telephone: (1) 1- Facsimile: (1) -0 Attorneys for Plaintiff NRDC KATHERINE POOLE (SBN 0) DOUGLAS ANDREW OBEGI (SBN ) NATURAL RESOURCES DEFENSE COUNCIL 1 Sutter Street, 1st Floor CASE NO. 1:0-CV-0 LJO-EPG

San Francisco, CA Telephone: (1) -0 Facsimile: (1) - Attorneys for Plaintiff NRDC 1 1 1 1 1 0 1 DATED: January, 0 /s/meredith Nikkel (as authorized on January, 0). Meredith Nikkel DOWNEY BRAND LLP 1 Capitol Mall, th Floor Sacramento, CA 1 Telephone: (1) -00 Facsimile: (1) -0 Attorneys for Intervenors and Joined Party Defendants Reclamation District No., Sutter Mutual Water Company, Natomas Central Mutual Water Company, River Garden Farms Company, Pleasant Grove-Verona Mutual Water Company, Pelger Mutual Water Company, Meridian Farms Water Company, Henry D. Richter, et al., Howald Farms, Inc., Oji Brothers Farm, Inc., Oji Family Partnership, Carter Mutual Water Company, Windswept Land And Livestock Company, Maxwell Irrigation District, and Tisdale Irrigation and Drainage Company DATED: January, 0 /s/ Andrew Hitchings (as authorized on January, 0) ` Andrew Hitchings SOMACH SIMMONS & DUNN A Professional Corporation 00 Capitol Mall, Suite 00 Sacramento, CA 1 Telephone: (1) - Facsimile: (1) - Attorneys for Intervenors and Joined Party Defendants Glenn-Colusa Irrigation District, Princeton-Codora-Glenn Irrigation District, Provident Irrigation District, Anderson-Cottonwood Irrigation District, City Of Redding, M & T Chico Ranch (Pacific Realty Associates), Reclamation District No. 0, Conaway Preservation Group, LLC, and David and Alice te Velde Family Trust CASE NO. 1:0-CV-0 LJO-EPG

DATED: January, 0 /s/ Daniel J. O Hanlon (as authorized on January, 0) Daniel J. O Hanlon KRONICK, MOSKOVITZ, TIEDEMANN & GIRARD A Professional Corporation 00 Capitol Mall, th Floor Sacramento, CA 1 Telephone: (1) 1-00 Facsimile: (1) 1- Attorneys for Defendant-Intervenors and Joined Party Defendants, San Luis & Delta-Mendota Water Authority, Westlands Water District, Coelho Family Trust, Eagle Field Water District, Fresno Slough Water District, Mercy Springs Water District, Oro Loma Water District, and Tranquillity Irrigation District 1 1 1 1 1 0 1 CASE NO. 1:0-CV-0 LJO-EPG

1 1 1 1 1 ORDER Pursuant to the Parties Stipulation, the Court hereby ORDERS that the following schedule for fact discovery and briefing of motions for summary judgment is established. Event Deadline Plaintiffs motion for summary judgment March, 0 Defendants oppositions and cross-motions April, 0 for summary judgment Plaintiffs reply and opposition May, 0 Defendants replies May 1, 0 Hearing on motions for summary judgment June, 0 Fact Discovery cutoff April, 0 Provided, however, that if issues remain for trial, any party may seek to reopen fact discovery based on a showing of good cause. The existing pretrial and trial dates remain unchanged and will not be moved. The parties are cautioned that this continuance does not change the Court s estimate of the time it will need to issue a ruling on the cross motions for summary judgment (at least 1 weeks). IT IS SO ORDERED. Dated: January, 0 /s/ Lawrence J. O Neill UNITED STATES CHIEF DISTRICT JUDGE 0 1 CASE NO. 1:0-CV-0 LJO-EPG