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if we did refuse, we received the penalty for it. Q.Then you were afraid to refuse? A.Yes. Q.Was this opinion frequently expressed among other experimental subjects? A.Yes, all of them. MR. HARDY:I have no further questions, Your Honor. THE PRESIDENT:Counsel for defendant Beiglboeck may cross-examine the witness. CROSS...
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were thirsty or matters of that sort - that's so. QSo he also visited you and asked you how you were feeling? AYes, of course. QI see. You were visited every morning. How many kilos did you lose? AThat I cannot tell you. QDo you happen to remember how much you weighed then? ANo, I don't. QBut you were a strong healthy ...
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then you stayed another 8 days in the experiment? AYes. QWell, in those 8 days you got nothing to eat at all? ANothing at all. That's right. QCan you say this under oath? Please think about this very carefully, Mr. Laubinger. AYou mean during the seawater? QYes. We know what we are talking about - for four days you rec...
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in view of the food we were getting it is not possible. QHow many gypsies were there in Buchenwald when the people were asked to volunteer for Dachau? AI can't tell you the exact number, but there were some thousands. QAnd of this number the 40 volunteered? AYes. More would have volunteered if they had been wanted, but...
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was like a long bench. They stood up there and did knee-bonds. That was the punishment. QNow, in other words, you are saying what I just said was an exaggeration? AI certainly am. QHow much did you ask from the concentration camp fund as compensation for what you have gone through? AWhat fund are you talking about? QTh...
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I know about Bamberger is what I found out about him in those 11 or 12 days in that experiment. I did not know him before that. QWas he in Buchenwald or Dachau? AHe was in Dachau. He came to the experiments only because he had been promised that if he participated in the experiments -- there was another friend of his t...
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and then the needle was pulled out. Then he examined something that had come out with the needle. In some cases it did not come out just right the first time, and he put the needle back in. In some people he put the needle in several times, until he was satisfied with the result. QThe professor did this himself? AYes, ...
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5 weeks, I should say. QCan it be true that on the 12th of September it was finished? AI can't tell you the exact date. QDid the gypsies help the professor to clear out the experimental station? ANo. Q.Did you cone to Block 22? A.Yes. Q.Did you moot Mettbach there? A.Yes. Q.He said here, as a witness, that he had given...
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PRESIDENT:The secretary will file the certificate of Dr. Roy A. Martin, Captain, Medical Corps, stating that the defendant Oberhauser will not be able to be in court today on account of illness. Just a moment, counsel. During the recess which the Tribunal is about to take, the witness will be kept in the custody of the...
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Schroeder or Becker-Freyseng? Does the prosecution have any redirect examination? MR. HARDY:The prosecution has no further questions to put to this witness, Your Honor. THE PRESIDENT:The witness is excused from the witness stand. (Witness excused.) MR. HARDY:At this time the prosecution would like to call Karl Hoellenr...
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a quarantine block, and one day an SS man came and wrote down our numbers, and they sent us to the surgical department of a certain doctor of the Luftwaffe. I am afraid I no longer remember that physician's name. I know that he came from the Luftwaffe and that ho was an Austrian. He examined all of us, and then we were...
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excuse my conduct. I am very excited. THE PRESIDENT:Ask the witness if he has anything else to say in extenuation of his conduct. THE WITNESS:I am very excited and that man is a murderer. He ruined me for my entire life. THE PRESIDENT:Your statements afford no extenuation of your conduct. You have committed a contempt ...
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upon the defendant Beiglboeck. The witness was asked if he had anything to say in extenuation and simply pleaded his excitement and the strain he was under and that he yielded to the impulse of the moment upon identifying the defendant Beiglboeck in the dock. The Tribunal thereupon sentenced the witness to confinement ...
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in one folder or two folders as the case may be, completely disregarding the superfluous documents. I think that would be the only way I could work it out. I have several documents, and each time Dr. Nelte reads off a number it will take me a considerable number of minutes to find the document involved. We shall go on ...
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the mimeographing process moves along as rapidly as possible. DR. NELTE:I have just explained that I submitted a number of affidavits during the case of Handloser which received only temporary exhibit number. Before starting the further submission of evidence, I should like to submit these three affidavits again in the...
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is clearly not admissible, as it is merely a letter. If Dr. Nelte can submit a copy of the letter to which this is the answer, the Tribunal, will then be able to make a decision regarding the admissibility of Document HA 39 later." I have reied to have Prelate Dr. Kreuz add to his letter the jurat as prescribed by the ...
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41. MR. HARDY:Your Honor, I have a problem to take up here. Dr. Nelte has, as Handloser Document 52, in Document Book 3, as Handloser Exhibit 31, just submitted a jurat. This Document 52 has a jurat already, but Document Handloser 10 from the same affiant does not have a jurat, and I assume that this jurat from the sam...
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Brandt on 4 December 1944." As it can be seen from the report, this series of experiments was carried out in the concentration camp of Neuengamme. Since the Prosecution mentioned this suggestion by Professor Wirth in order to incriminate Professor Handloser, by alleging that he was the superior of Professor Wirth, I co...
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that in order to expedite procedure they assemble the supplemental documents which they desire to enter and have them prepared in sequence as Dr. Servatius did yesterday and then submit them to the Tribunal at the earliest possible date. If any of those supplemental documents can be submitted to the Tribunal tomorrow, ...
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way protect the monastery from being closed up, which was a threat to all monasteries at that time. Since Prof. Handloser had in the meantime been promoted to Army Medical Inspector, we felt the effects of his friendship in all our subsequent dealings with the army Medical Authorities. The intention was realized and th...
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Exhibit 55. Then there is an affidavit from Dr. Ludwig Blum. This is HA 59, and will be Exhibit 56. Likewise the affidavit by Dr. Hirt, HA 61. This will be Exhibit 57. Document HA 62 is an affidavit by Generalarct Dr. Wolfgang Schmidt-Brudeckner. The Tribunal approved this Dr. Schmidt-Brueckner as a witness in the case...
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of office I had no knowledge of anything concerning tests and experiments in concentration camps or in the domain of the SS, such as are the subject of the indictment in this trial. If I had known of these inadmissible experiments, which are contrary to all recognized medical principles, I should certainly have submitt...
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there. I knew nothing of this. That was the first and the last time that I saw a concentration camp. "We went back to Berlin and I immediately went on to Cracow. I spoke to no one from the Army Medical Inspectorate. Where the camp Buchenwald got the yellow fever vaccine which it later used for innoculation, I do not kn...
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from this trial - he has made remarks which he and I both believe will show the real integrity of the medical activities of the German Wehrmacht. I offer the affidavit of Prof. Handloser, HA-75 which has not yet been translated, let me say again, which has not yet been translated. It is here in the original. To avoid l...
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are the regulations concerning reports which are not made at specific intervals. This passage here is of particular importance for a matter that concerns this trial; namely, the reporting of special occurrences which have to be brought to the attention of the higher offices immediately and without delay. Also I ask you...
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other Generalaerzte have made. Document HA 68 I should like to put in as Exhibit No. 65. The next document, HA 69, has not yet been translated. It is a very brief document from Generalarzt Wuerfler. The Tribunal will recall that the Prosecution put in a list of research assignments, NO-934, Exhibit 458. Since Wuerfler ...
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same subject, Documents Mrugowsky 63 and 64, Exhibits 30 and 19, and an affidavit from Demnitz, Mrugowsky Document 62, Exhibit 18. These documents present a clear picture of what was discussed in this conference of 29 December 1941. This was a discussion with the pharmaceutical industry. Now in Document 1315, Exhibit 4...
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5 documents here which I ask you please to examine most carefully. In my final brief I shall evaluate the contents and probative value of those documents. MR. HARDY:May I see the original exhibit, Your Honor, those documents which were just mentioned? DR. NELTE:These are copies from the files of the Behring Works, whic...
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DR. NELTE:It is erroneously dated September and should be dated April. MR. HARDY:Well, then, I would like to see the original exhibit, Your Honor. The translation has the 26th of September thereon. DR. NELTE:I have already attempted to correct that. The original of this resolution probably cannot be found. This resolut...
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moment I cannot say at what point in the trial the Document 1305 was put in. At any rate I do know that I asked Dr. Bernhard Schmidt about this matter. I believe that I got a full perspective of this matter when I made the acquaintance of Dr. Mrugowsky's Document Book and Demnitz' letter. In a matter as important as th...
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not know whether or not the Tribunal has the translations of them. If it is agreeable to the Tribunal, I should like to but the three documents in now, even if they do not have the translations, giving a brief summary of their contents. THE PRESIDENT:Counsel may proceed. The Tribunal has no copies of the documents that...
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not a member of the Reich Research Council, that he was merely the deputy of Professor Karl Brandt from 1944 on, and that Professor Rostock himself never participated in a meeting of the presidial council or of the chiefs of specialized departments (Fachspartenleiter) in the Reich Research Council. The affiant particul...
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have drafted an index where you will find all of the documents which have been submitted so far. Also you will find there all of those documents which I intend to submit to the Tribunal today. In view of the short time at my disposal, I was not able to get a translation in time. I do believe, however, that this index e...
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I thought it sufficient to submit only a copy. If however, it is desired, I can submit the original to the Tribunal. THE PRESIDENT:The originals should be submitted. A photostat, being a facsimile of the original, will serve a purpose, but a mere typewritten copy would not. DR. SEIDL:In that case I shall submit the ori...
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he any official connection with the clinic up to the end of the war, either in a medical or in a military sense." I then turn to the affidavit of Dr. med. habil. Josef Koestler. This affidavit can be found on page 15 of the document book, and it is submitted as Gebhardt Exhibit Number21. Dr. Koestler was also an assist...
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therapy and the bath tretement of clinic patients in the framework of our work on stimulation therapy, of course retaining the usual life-preserving therapy. Tests on clinic patients suffering from chronic diseases and late complications were clearly justified, as these methods were not applied at the beginning of a di...
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the contents of this excerpt. A lecture by the Defendant Professor Gebhardt in collaboration with Standartenfuehrer Schulze, who was chief physician at Hohenlychon; regarding physiotherapy and the mobilization of joints, is described under figure 2. On page 28 of the document book you find the name Koestler mentioned a...
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number of letters which wore addressed to me a number of statements and converted them into the form of an affidavit. I don't thin that it is necessary to read anything into the record and I shall merely submit them to the Tribunal as exhibits. The affidavit made by Wilhelmine Henne on page 34 of tho document book whic...
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affidavits with which I intended to give a picture to the Tribunal about the spirit in which Professor Gcbhardt tried lead his clinic. As already mentioned these affidavits have been selected from a large number of letters from his former collaborators and patients. Now I shall turn to page 55 of the docunont book. Her...
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Conrad Scherz on the 25th of March 1947. THE PRESIDENT:That is Document No. 38, counsel, is it not? You said Document 39. It seems to be No. 38. DR. SEIDL:Yes, it will be No. 38. THE PRESIDENT:Exhibit No. 37. DR. SEIDL:Document 38 will become Gebhardt Exhibit No.37. This is an affidavit signed by Konrad Scherz. The aff...
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in a position to submit a photostat copy. MR. HARDY:I understand defense counsel certifies that this is a. true copy of the Act as set forth in the Government General's rules, or orders -- is that correct? JUDGE SEBRING:Dr. Seidl, we have been observing this document No. 42, that is certified by you. I understand this ...
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have no copy of that document in English. I wonder if one is available - an English translation of this document? We have only one copy of that document translated. DR. SEIDL:I brought a number of translations along with me, Mr. President. I should merely like to explain, Mr. President, that my only reason for submitti...
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just a rehashing of the testimony of the defendant which he has been examined on. In other words, the defendant own summary of the evidence in this own judgement of how he testified. That is for the Tribunal to decide when reading the testimony. THE PRESIDENT:If the affidavit is a conclusion rather than a statement of ...
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an affidavit signed by the witness Ruff. After the customary introduction the witness states, and I quote: "I was Chief of the Fuehrungsabteilung (administrative department) in the SS Fuchrungshauptamt (SS Administrative Main Office) since August 1943, and from 1 May 1942 to the end of the War 1 was la of the SS Fuchru...
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Document Book. Here we have the cross-examination of the same witness, Dr. Kogan by defense counsel Dr. Seidl. As it is well-known Balachowsky had submitted an affidavit to the prosecution, document No. 484 which was Exhibit No. 291. On page 65 of the cocument 12 of the prosecution, there Balachowsky speaks about a Mai...
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book. This is the direct interrogation of the Witness Ackermann by the prosecution: "Q. Was Dr. Mueller, whom you mentioned, subordinated to Dr. Lolling?" A.Dr. Mueller, like every other doctor in the concentration camps, was subordinated to Dr. Lolling." This establishes that every Doctor in the concentration camps, i...
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which I now intend to submit, run from No. 17 to No. 23. This is the supplemental volume 3, it begins with an affidavit of Dr. Professor Werner Knothe, repeat supplement 3 to document book Blome, starting with document 17. JUDGE SEBRING:Well, counsel members of the Tribunal have supplemental 3 in their rooms. If you wo...
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had the common exhibit No. 18. I am now continuing with the presentation of the Blome documents, starting with document No. 17. I repeat Document No. 17, which will receive the Exhibit No. 19. I repeat Document No. 17 will be given Exhibit No. 19 in Blome's supplemental volume. This is an affidavit signed by Professor ...
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the document submitted in evidence or was its admission held for a subsequent decision? DR. SAUTER:As far as I know it was already admitted into evidence because otherwise it would not have received an exhibit number. At the moment I am not sure. THE PRESIDENT:Then why is it offered again, counsel? DR. SAUTER:At that t...
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doctor? DR. SAUTER:This is document No. 22, Exhibit No. 21. The next document is No. 23 and will receive exhibit No. 22. This is a short affidavit, signed by the defendant, Professor Dr. Blome, dated the 1st of April 1947 which has been certified in the proper manner by defense counsel. This document only gives a few i...
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(and considering the brevity of time, I shall not quote, although it is of extensive importance for the defendant Professor Blome) the scholar confirms that the defendant Dr. Blome performed a tremendously meritorious service for furthering progress of the German medical profession during Hitler's rule. For that reason...
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nations. My supplemental volumes 2 and 3 are still in translation and I have not yet received them back. One of these document books only contains excerpts from the record of the Pohl trial. The presentation will only last a very short time since it merely contains excerpts from records. The other document book contain...
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DR. SAUTER:That is right, yes. THE PRESIDENT:Very well, proceed. DR. SAUTER:As counsel for the defendant Ruff I shall begin putting in the documents in his Supplemental Volume IV. The first one in this volume is Document No. 22, which will be Exhibit No. 21. MR. HARDY:May it please your Honor, Dr. Sauter calls to my at...
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PRESIDENT:Very well. DR. SAUTER:That definitely concludes my defense of the defendant Blome and I proceed now to putting in the further documents for the defendant Ruff. So far, documents up to Document 21 have been put in. I shall now begin with Supplemental Volume 4, containing, first of all, Ruff Document #22, which...
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Volume 4 and now I come to Ruff Supplemental Volume No. 5, which contains documents 24, 25, and 26. Document No. 24 will be Exhibit No. 23. This is a list of the penalties to which Vieweg was subjected. The original is with the Secretary General who made the original available to me only for a few days so that I might ...
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of the original before me." Mr. HARDY: He does not have an exhibit, as such, to offer to the Court at this time as an exhibit; he only has copies in these document books. DR. SAUTER:That is the only way I can do it, your Honors. If I received an original from the Secretary General I would have to give it back the next ...
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been previously sentenced, had never-theless received no less than 5 previous convictions, one of which was 5 years in the penitentiary and 5 years of loss of Civil rights. This witness volunteered and was called by the Prosecution, and in this Document No. 24, Exhibit 23, he is shown up in his true colors. I go now to...
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Center in Heidelberg for two years is probably the first specialist in Germany in the field of pressure fall sickness regarding which we have already heard many details here. Dr. Hornberger concerned himself with those problems both for the German air force and in the Acro-Medical Center. This is his specialty, and he ...
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Therefore he is a man of particular authority in judging the question whether and to what extent the experiments carried on by Ruff and Romberg helped to solve the problem of rescue from high altitudes, and to what extent and whether they were necessary for German aviation and for aviation in general. This particularly...
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testimony was, but I remembered something. It was the testimony of the defendant Ruff. DR. SAUTER:This is exactly the same book. I put it to the witness at that time, and at that time asked the prosecuting attorney to assure himself of the authenticity of it, and at that time again he said that he didn't know enough Ge...
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PRESIDENT:Well, that can now be considered. We can consider the offer of that exhibit at this time. MR. HARDY:Your Honor, I might inquire as to the fifth paragraph of this document. Whose handwriting is this in the light blue ink? It is a different handwriting that the signature of the affiant. DR. SAUTER:That is diffe...
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was made. The affiant may well have added something to the affidavit before it was sworn to, even though the form of the typewriting apparently concludes the affidavit. MR. HARDY:But I am talking about the sentence before the ink, as a concluding sentence to an affidavit. THE PRESIDENT:I understand that, but still ther...
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has concluded his defense. MR. HARDY:I suggest, your Honor, that when Dr. Sauter gets his work book returned to him that he make extracts of the two entries and have them certified and file them as an exhibit so that the Secretary General's office will have an index file for that particular exhibit. THE PRESIDENT:Very ...
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you please turn to Document Book for Ruff, Supplement #6, Document 32, as it appears in your document book? DR. SAUTER:Yes, I have it. JUDGE SEBRING:Let's see it. Hold it up, please. Now, where, Sir, is the original paper that was signed by you on this exhibit? DR. SAUTER:At the moment I cannot tell you. I assume that ...
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can be made as to where or not the exhibits are there because these original must be filed with the Tribunal. The Tribunal will now be in recess. (A recess was taken.) THE MARSHAL:The Tribunal is again in session. THE PRESIDENT:Counsel. DR.WEISGERBER (Representing Dr. Kaufmann, defense counsel for the defendant Rudolf ...
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far as I remember, he had a speed of 360 syllables a minute at a schoolboys' test in the autumn of 1927 and achieved speeds of more than 300 syllables a minute in a great number of tests up to the year of 1933. Since I attained such speed in shorthand myself, I know what long, untiring industry and also what a temporat...
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Ministry of the Interior in Berlin were also delivered to the Ministerial Office. Brandt reported on all this and informed Himmler about the natters concerned, answering again all inquiries according to the decisions of Himmler, in that ho informed the Berlin Ministry about all such decisions and orders of Himmler, eit...
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this affidavit for Rudolf Brandt these two letters of the World Jewish Congress be admitted, because they throw light on the conditions at that time, and it is for that reason that I believe that these two documents have a certain probative value. THE PRESIDENT:The Tribunal rules that these documents have no probative ...
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that I submit this affidavit at the end of the entire submission of evidence. I should like to offer this document, Weltz Document No. 23, as Exhibit No. 21. The English translations have been attached. I should not like to quote this extensive document, I believe that I can limit myself to summarizing the relevant con...
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can make out, this Document Book III will be only one document, because one is a Prosecution exhibit that is already in evidence, and I don't see any sense in putting it in evidence again. THE PRESIDENT:The Tribunal has just received the supplement, which contains only an affidavit by Dr. Wendt. Now, is the document, C...
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translations arc available to the Prosecution and the Tribunal. When they are available, the matter may be again called to the attention of the Tribunal. DR. WILLE:I have no further documents to offer. THE PRESIDENT:Are there any other documents on behalf of defense counsel? DR.FRITZ, (counsel for the defendant Rose): ...
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the afternoon she can take up with rebuttal document books if necessary. THE PRESIDENT:Counsel, Dr. Flemming for defendant Mrugowsky, the Tribunal has Supplement 1, Case 1, defendant Mrugowsky. Is that the volume from which you propose to offer further documents? DR. FLEMMING:Mr. President, I really intended to submit ...
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heard the ruling of the President that they will be admitted in evidence as Mrugowsky exhibits. What exhibit number do you assign to Mrugowsky Document No. 67? DR. FLEMMING:No. 67 will receive Exhibit No. 61. JUDGE SEBRING:Very well. Then the Tribunal will receive in evidence Mrugowsky Document 67 as Exhibit 6l; Mrugow...
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of letters and note files coming from the works at Hoechst. Dr. Bruemmer in his affidavit certifies that these files and letters attached to the document are authentic copies of the documents from the files of the I.G. Farben Works at Hoechst. We are here concerned with the preparation Akridin and its usage. This corre...
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to Document No. 96. The next will be Mrugowsky Document 97, which I offer as Mrugowsky Exhibit No.89. This is an excerpt from the Central Journal for Complete Hygiene, Including Bacteriology and Immunology. This is the recognized journal for this branch of the Profession. The extract contains a report regarding whoopin...
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included in this document book the part of the ordinance which I need for my case. This will become Mrugowsky Exhibit 96. THE PRESIDENT:These documents are all received in evidence and the Tribunal desires to compliment Dr. Flemming on the manner in which he has presented these documents and the manner in which they we...
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at 1:30, and we will see how far we can get with these documents, and when they arc entered the Prosecution will be in a position to offer some documents. MR. HARDY:Your Honor, due to that fact, if the Prosecution goes on about 3:00 o'clock with their rebuttal document books, it is advisable that all defense counsel be...
Harvard: Medical Case (Karl Brandt et al.)
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the deliverer bears no responsibility for what the recipient does with the material. The next document is Number 50 which will be Rose Exhibit 49. This likewise is an affidavit by Professor Ernst Nauck. This concerns itself with the question of whether malaria tertiana is a dangerous disease, and it says that very freq...
Harvard: Medical Case (Karl Brandt et al.)
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FRITZ:Correction, Exhibit 56. This is a letter from the president of the Land Labor Offices Westphalia to the District Group Anthracite Mining Ruhr of the Economic Group Mining, Essen, and is dated 3 February '42. This letter throws light on tho typhus epidemic among the Russian prisoners of war in German imprisonment ...
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the translation department. Professor Rose has asked me also to put these papers in evidence. THE PRESIDENT:During the noon recess I consulted with the translation department. They will do the very best they can, but there are limits, I fear, to what they can do. They promised to expedite the documents and send them in...
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notices conforming to the regulations of the Tribunal. These two witnesses will testify as to the activities of Hagen at Natzweiler. THE PRESIDENT:Very well, those witnesses may be presented Monday. Any further witnesses desired to be called should be presented at the earliest possible moment, because that would, to so...
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with his secretary attended to everything. This office was probably only supposed to keep up appearances because as previously, discussions took place always with Grawitz in strict privacy even if they were quite unimportant which was almost always the case with mine. "At any rate Dr. Poppendick was never present at my...
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rely. DR. DUERR:This affidavit is a cross-affidavit from Dr. Gerhard Schiedlausky in reply to the affidavit which the prosecution put in with the documentNO-508. I shall not read it. I should like to draw the attention of the Tribunal beginning with the paragraph beginning with the words, "From my own observation," whi...
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since it is very long but I should like to draw the Tribunal's attention to the first two paragraphs. That will conclude the case for Poppendick; but I should like to point out the last document in Document Book No. 2 here. This is Document NO-1300, which has already been put in by the prosecution. There was an error i...
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- THE PRESIDENT:Just a moment, until we straighten out this matter of the documents. I have the last number 22. Number 23 appears to be correct. MR. HARDY:Your Honor, then the prosecution, even though they have agreed to this change, will not rectify their briefs and refer to the new page number in the record where thi...
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if the rebuttal witness went any further than to testify concerning witnesses of the defendants, which Dr. Ivy in certain cases did. MR. HARDY:I am not aware of that, Your Honor. THE PRESIDENT:The Tribunal will be disposed to receive evidence concerning the testimony of rebuttal witnesses, which won't go farther than t...
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a document? THE PRESIDENT:The Tribunal has no information on that matter. Is there any defense counsel who represents a defendant who has not as yet introduced any supplemental documents, and does not expect to offer any? No one volunteers. MR. HARDY:Then, Your Honor, on Monday it will bo possible for us to bring in tw...
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affidavit on two occasions before the beginning of the trial. At first it was apparently intended to use him as an incrimating witness against Suhren. The first interrogation took place Paderborn in September 1946, and the second interrogation in November 1946. The prosecution has had ample opportunity to present this ...
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Exhibit 535. This is an affidavit of a handwriting expert who certified as to the genuiness of the signatures of Ding and Schuler, and arrives at the opinion they are has contended that the signature "Schuler" is an alias for the name "Ding".The next document is on Page 22 of the document book. It isNO-3680which is off...
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of the various departments of the Reich Chamber of Physicians, and one of those departments was the Foreign Department. And as Dr. Sauter will see from NO1322, on page 26 of the document book, this Dr. Haubold was clearly con nected with the Foreign Department of the Reich Chamber of Physicians. In other words, Dr. Blo...
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letter dated November 18, 1943, from Rascher to Pfannenstiel where he reports that the deputy Reich Medical Chief, Dr. Blome, with whom Rascher has been working, has been making certain efforts in connection with the Rascher habilitation. That is, as you will recall, the efforts of Rascher to obtain a university profes...
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these two documents does not intend to maintain or prove that Blome was a member of the Corps of Political Leaders, that is, a member of a criminal organization, but merely intends to prove that Blome held a prominent position within the Party. Did I understand you correctly? MISS JOHNSON:Yes. DR. SAUTER:Thank you, in ...
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may file an affidavit stating his view of the matter. MISS JOHNSON:The next document, on page 51 of the document book isNO-1120, is offered as Prosecution Exhibit 544. This document also relates to the defendant Poppendick. This is an evaluation of the services of the defendant Poppendick by his superior, Reich Physici...
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exhibit 545. MISS JOHNSON:I have? THE PRESIDENT:Unless I am mistaken. MISS JOHNSON:I beg your pardon, Your Honor. NO-3347is offered as Prosecution Exhibit 546. I believe the covering affidavit will have to be distributed. DR.HOFFMANN (Counsel for the defendant Pokorny): The document which was handed to me by the Prosec...
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to he proper rebuttal evidence. Of course, there is the affidavit, Document No. 3347. Is that a supplement to 334? In the book? MISS JOHNSON:Yes, Your Honor, the affiant in the affidavit, Friedrich Scheiffarth, is the person who wrote this treatise which is on page 54 of the book and he signed it on page 71 of the docu...
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in any event the letter was written in January 1942. If there is any question in counsel's mind an enlarged photograph could be taken of that date if it is considered important. An enlargement would probably show exactly what that is. The document will be admitted but if defense counsel desires identification of that d...
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the understanding was at that conference that artificial typhus infection should be made on concentration camp inmates to test the efficacy of the typhus vaccine. The balance of the documents in the Document Book relate to Euthanasia. Coming to page 80 is DocumentNO 3356, which is offered as Prosecution Exhibit 552. We...
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would instruct the Prosecution to furnish Dr. Servatius and bring before the Tribunal these 3 annexes if they had them; but as it is stated they do not have them, if the Prosecution can give Dr. Servatius any information as to where they found this document, they should do so. MR. HARDY:Your Honor, these documents, as ...
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the Ministry for Eastern Territories. It was one of the documents that was found with documents which were submitted to Brack on cross-examination and which were apparently admissible at that time although, of course, the admissibility of those documents has not been determined for certain. It relates to the question o...
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the number of the document to which you are referring? MISSJOHNSON: 1874. I beg your pardon, 1873. THE PRESIDENT:Well there is one document on page 84 - Document No. 1234-PS. MISS JOHNSON:Yes, your Honor. Yes. Coming to page 84 which is No. 1234-PS, which will be offered as Exhibit 555, we have here under date of 3 Apr...
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