"In any event, the Defendant will say that the causative effect of any breach of contract and/or negligence which may be proved against the Defendant (other than that hereinbefore expressly omitted) was broken by one or more or all of the following matters which, for the avoidance of doubt, were not reasonably foreseeable and/or represent Axa's failure [or possibly its failure] to mitigate its loss."
"(b), Cameron Durley's failure to investigate adequately or at all what work CEB had specified and was undertaken by Glenborough Estates and Pearce; "(d), Cameron Durley's failure to undertake any or any adequate inquiries of Glenborough Estates and Pearce to establish whether they had undertaken the allegedly defective work and, if so, on whose instructions, and whether any and, if so, what work had been carried out by the policyholders; "(f) Cameron Durley's failure to undertake a detailed review of Glenborough Estates' final account so as to establish what works Axa had paid for."