Evidence – Admissibility. The Court of Appeal, Civil Division, allowed the claimant tenants' appeal concerning the applicability of the 'without prejudice' privilege to certain discussions that had taken place between the second tenant and the defendant landlord's solicitor. The entirety of the discussions at the first interview and thereafter in correspondence, and at the second interview were properly to be regarded as having been protected by without prejudice privilege, which had not been waived.