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+in the PUBLIC DOMAIN IN THE UNITED STATES.
+
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+Project Gutenberg (https://www.gutenberg.org) public repository for
+eBook #66530 (https://www.gutenberg.org/ebooks/66530)
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-The Project Gutenberg eBook of Trial of the Major War Criminals
-Before the International Military Tribunal, Vol. 13, by International
-Military Tribunal
-
-This eBook is for the use of anyone anywhere in the United States and
-most other parts of the world at no cost and with almost no restrictions
-whatsoever. You may copy it, give it away or re-use it under the terms
-of the Project Gutenberg License included with this eBook or online at
-www.gutenberg.org. If you are not located in the United States, you
-will have to check the laws of the country where you are located before
-using this eBook.
-
-Title: Trial of the Major War Criminals Before the International
- Military Tribunal, Vol. 13
- Nuremburg 14 November 1945-1 October 1946
-
-Author: International Military Tribunal
-
-Release Date: October 13, 2021 [eBook #66530]
-[Last updated: October 21, 2021]
-
-Language: English
-
-Produced by: John Routh PM, Cindy Beyer, and the online Distributed
- Proofreaders Canada team at http://www.pgdpcanada.net
-
-*** START OF THE PROJECT GUTENBERG EBOOK TRIAL OF THE MAJOR WAR
-CRIMINALS BEFORE THE INTERNATIONAL MILITARY TRIBUNAL, VOL. 13 ***
-
-
- [Cover Illustration]
-
-
-
-
- TRIAL
- OF
- THE MAJOR WAR CRIMINALS
-
- BEFORE
-
- THE INTERNATIONAL
- MILITARY TRIBUNAL
-
- N U R E M B E R G
- 14 NOVEMBER 1945—1 OCTOBER 1946
-
-
- [Illustration]
-
-
- P U B L I S H E D A T N U R E M B E R G , G E R M A N Y
- 1 9 4 8
-
-
-
-
- This volume is published in accordance with the
- direction of the International Military Tribunal by
- the Secretariat of the Tribunal, under the jurisdiction
- of the Allied Control Authority for Germany.
-
-
-
-
- VOLUME XIII
-
-
-
- O F F I C I A L T E X T
-
- I N T H E
-
- ENGLISH LANGUAGE
-
-
-
- P R O C E E D I N G S
-
- 3 May 1946—15 May 1946
-
-
-
-
- CONTENTS
-
-
- One Hundred and Twentieth Day, Friday, 3 May 1946,
- Morning Session 1
- Afternoon Session 44
-
- One Hundred and Twenty-first Day, Saturday, 4 May 1946,
- Morning Session 80
-
- One Hundred and Twenty-second Day, Monday, 6 May 1946,
- Morning Session 103
- Afternoon Session 129
-
- One Hundred and Twenty-third Day, Tuesday, 7 May 1946,
- Morning Session 166
- Afternoon Session 203
-
- One Hundred and Twenty-fourth Day, Wednesday, 8 May 1946,
- Morning Session 231
- Afternoon Session 246
-
- One Hundred and Twenty-fifth Day, Thursday, 9 May 1946,
- Morning Session 267
- Afternoon Session 296
-
- One Hundred and Twenty-sixth Day, Friday, 10 May 1946,
- Morning Session 330
- Afternoon Session 372
-
- One Hundred and Twenty-seventh Day, Saturday, 11 May 1946,
- Morning Session 410
-
- One Hundred and Twenty-eighth Day, Monday, 13 May 1946,
- Morning Session 437
- Afternoon Session 467
-
- One Hundred and Twenty-ninth Day, Tuesday, 14 May 1946,
- Morning Session 496
- Afternoon Session 523
-
- One Hundred and Thirtieth Day, Wednesday, 15 May 1946,
- Morning Session 559
- Afternoon Session 600
-
-
-
-
- ONE HUNDRED AND TWENTIETH DAY
- Friday, 3 May 1946
-
-
- _Morning Session_
-
-[_The Defendant Schacht resumed the stand._]
-
-THE PRESIDENT (Lord Justice Sir Geoffrey Lawrence): The Tribunal will
-sit in open session tomorrow at 10 o’clock and will adjourn into closed
-session at 12 noon.
-
-Mr. Justice Jackson and Defendant Schacht: It is desired on behalf of
-the interpreters that you should pause if possible after the question
-has been put to you and if you find it necessary, owing to the condition
-of the documents with which you are dealing, to read in English or speak
-in English, to give an adequate pause so that those interpreters who are
-interpreting from English into other languages can take over the
-interpretation. Is that clear?
-
-MR. JUSTICE ROBERT H. JACKSON (Chief of Counsel for the United States):
-I owe an apology constantly to the interpreters. It is hard to overcome
-the habit of a lifetime.
-
-THE PRESIDENT: It is very difficult.
-
-MR. JUSTICE JACKSON: [_Turning to the defendant._] Dr. Schacht, by the
-way, the photograph Number 10 which was shown you yesterday, that was
-one of the occasions on which you wore the Party Badge which you
-referred to, was it not?
-
-HJALMAR SCHACHT (Defendant): That may be.
-
-MR. JUSTICE JACKSON: You are quite sure of that, are you not?
-
-SCHACHT: I cannot distinguish it clearly; but it may be, and that would
-prove that the picture must have been taken after 1937.
-
-MR. JUSTICE JACKSON: That is what I wanted to prove. And as a matter of
-fact, it was taken after 1941, was it not? As a matter of fact, Bormann
-did not come to any important official position until after 1941, did
-he?
-
-SCHACHT: Bormann?
-
-MR. JUSTICE JACKSON: Bormann, yes.
-
-SCHACHT: That I do not know.
-
-MR. JUSTICE JACKSON: Now, if we return to the Four Year Plan which began
-in 1936, as I understand it you opposed the appointment of Göring to
-have charge of the Four Year Plan on two grounds: First, you thought
-that that new plan might interfere with your functions; and secondly, if
-there were to be a Four Year Plan, you did not think Göring was fit to
-administer it?
-
-SCHACHT: I do not know what you mean by “opposed.” I was not satisfied
-with it and considered the choice of Göring not the right one for any
-leading position in economics.
-
-MR. JUSTICE JACKSON: As a matter of fact you have described Göring as a
-fool in economics, have you not?
-
-SCHACHT: Yes, as one does say such things in a heated conversation.
-
-MR. JUSTICE JACKSON: Or in interrogation?
-
-SCHACHT: Interrogations are also sometimes heated.
-
-MR. JUSTICE JACKSON: Now, very soon Göring began to interfere with your
-functions, did he not?
-
-SCHACHT: He tried it repeatedly, I believe.
-
-MR. JUSTICE JACKSON: Well, he got away with it too, did he not?
-
-SCHACHT: I do not understand what you mean by “he got away with it.”
-
-MR. JUSTICE JACKSON: Well, this American slang is difficult, I admit. I
-mean he succeeded.
-
-SCHACHT: In July 1937 he had me completely against the wall.
-
-MR. JUSTICE JACKSON: That started over a proposal that he made or a
-measure that he took with reference to mining?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: He also made a speech to some industrialists, did
-he not?
-
-SCHACHT: I assume that he made several speeches to industrialists. I do
-not know to which one you are referring. I presume you mean the speech
-in December 1936 or so.
-
-MR. JUSTICE JACKSON: I am referring to the speech in which you said to
-us in interrogation that Göring had assembled industrialists and said a
-lot of foolish things about the economy which you had to refute.
-
-SCHACHT: That was the meeting of 17 December 1936.
-
-MR. JUSTICE JACKSON: And then you wrote to Göring complaining about the
-mining measures?
-
-SCHACHT: I assume that you mean the letter of 5 August?
-
-MR. JUSTICE JACKSON: Right. That document is Document EC-497, Exhibit
-USA-775. And in that letter of August 1937 you said this, if I quote you
-correctly:
-
- “Meanwhile I repeatedly stressed the need of increased exports
- and actively worked towards that end. The very necessity of
- bringing our armament up to a certain level as rapidly as
- possible must place in the foreground the idea of as large
- returns as possible in foreign exchange and therewith the
- greatest possible assurance of raw material supplies.”
-
-Correct?
-
-SCHACHT: I assume it is.
-
-MR. JUSTICE JACKSON: And you also said this, I believe:
-
- “I have held this view of the economic situation which I have
- explained above from the first moment of my collaboration.”
-
-That was also true, was it not?
-
-SCHACHT: Yes, certainly.
-
-MR. JUSTICE JACKSON: Now, both of those things were true, were they not?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: And then you concluded, addressing Göring:
-
- “I ask you to believe me, my dear Prime Minister, that it is far
- from me to interfere with your policies in any way whatsoever. I
- offer no opinion, either, as to whether my views, which are not
- in agreement with your economic policy, are correct or not. I
- have full sympathy for your activities. I do believe, however,
- that in a totalitarian state it is wholly impossible to conduct
- two divergent economic policies.”
-
-And that was also true, was it not?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: And that was the basis on which you and Göring
-disagreed so far as policy was concerned?
-
-SCHACHT: So far as what was concerned?—Policy? I do not understand what
-you mean by policy. I mean the way business was conducted.
-
-MR. JUSTICE JACKSON: Yes.
-
-SCHACHT: Entirely aside from other differences which we had.
-
-MR. JUSTICE JACKSON: These other differences were personal differences.
-You and Göring did not get along well together?
-
-SCHACHT: On the contrary. Until then we were on very friendly terms with
-each other.
-
-MR. JUSTICE JACKSON: Oh, were you?
-
-SCHACHT: Oh, yes.
-
-MR. JUSTICE JACKSON: So the beginning of your differences with Göring
-was the struggle as to which of you would dominate the preparations for
-war?
-
-SCHACHT: No.
-
-MR. JUSTICE JACKSON: Well...
-
-SCHACHT: I have to deny that absolutely. The differences...
-
-MR. JUSTICE JACKSON: Do you want to say anything more about it?
-
-SCHACHT: The differences which led to my resignation resulted from the
-fact that Göring wanted to assume command over economic policies while I
-was to have the responsibility for them. And I was of the opinion that
-he who assumes responsibility should also have command; and if one has
-command then he also has to assume the responsibility. That is the
-formal reason why I asked for my release.
-
-MR. JUSTICE JACKSON: Well now, I turn to your interrogation of 16
-October 1945, Document 3728-PS, Exhibit USA-636, and ask if you did not
-give the following testimony:
-
- “After Göring had taken over the Four Year Plan—and I must say
- after he had taken over the control of Devisen, already since
- April 1936—but still more after the Four Year Plan in September
- 1936, he had always tried to get control of the whole economic
- policy. One of the objects, of course, was the post of
- Plenipotentiary for War Economy in the case of war, being only
- too anxious to get everything into his hands, he tried to get
- that away from me. Certainly as long as I had the position of
- Minister of Economics, I objected to that...”
-
-You made that statement?
-
-SCHACHT: I believe that is correct.
-
-MR. JUSTICE JACKSON: Yes, and then you describe your last visit with him
-after Luther for two months had endeavored to unite Göring and yourself.
-
-SCHACHT: That is a mistake; it is Hitler, and not Luther.
-
-MR. JUSTICE JACKSON: Very well.
-
-You described it as follows:
-
- “Then I had a last talk with Göring; and at the end of this talk
- Göring said, ‘But I must have the right to give orders to you.’
- Then I said, ‘Not to me, but to my successor.’ I have never
- taken orders from Göring; and I would never have done it,
- because he was a fool in economics and I knew something about
- it, at least.
-
- “Question: ‘Well, I gather that was a culminating, progressive,
- personal business between you and Göring. That seems perfectly
- obvious.’
-
- “Answer: ‘Certainly.’”
-
-Is that correct?
-
-SCHACHT: Yes, certainly.
-
-MR. JUSTICE JACKSON: And then the interrogator went on:
-
- “Let us go into the duties of that job for a moment and see what
- he was trying to take away from you. There are only two
- possibilities, as it has been explained to me; if I am wrong,
- correct me. One would be the preparation for a mobilization, and
- the other would be the actual taking charge of this in the event
- of war. Otherwise, the post had no meaning. So the things you
- resisted his taking away from you, as I see it, were the right
- to be in charge of the preparation for mobilization and,
- secondly, the right to control in the event of war.
-
- “Answer: ‘Correct.’”
-
-Did you give that testimony?
-
-SCHACHT: Please, Mr. Justice, you are confusing the events in relation
-to time. The differences with Göring about this so-called
-Plenipotentiary for War Economy occurred in the winter 1936-37; and the
-so-called last conversation with Göring which you have just mentioned
-took place in November 1937. I stated, I believe in January 1937, that I
-was prepared to turn over the office and the activity as Plenipotentiary
-for War Economy immediately to Göring. That can be found in the
-memorandum from the Jodl Diary which has been frequently mentioned here.
-
-At that time the War Ministry, and Blomberg in particular, asked to have
-me kept in the position of Plenipotentiary for War Economy, since I was
-the Minister of Economy, as long as I was the Minister of Economy. You
-can find the correspondence about that, which I think has already been
-submitted by you to the Tribunal.
-
-MR. JUSTICE JACKSON: Well, all right; I think the dates appear in your
-testimony. I am not concerned at the moment with the sequence of events;
-I am concerned with the functions that you were quarreling over, and
-which you described in your interrogations. And the questions and
-answers which I read to you are correct; these are the answers you made
-at the time, are they not?
-
-SCHACHT: Yes, but I must say the following: If you ask me about these
-individual phases, it will give an entirely different picture if you do
-not single out the different periods. Mr. Justice, surely you cannot
-mention events of January and November in the same breath and then ask
-me if that is correct. That is not correct.
-
-MR. JUSTICE JACKSON: Well, let us get what is wrong about this, if
-anything.
-
-When was your last conversation with Göring in which you told him he
-would give orders to your successor but not to you?
-
-SCHACHT: November 1937.
-
-MR. JUSTICE JACKSON: Now, the question as to the duties of the job has
-nothing to do with relation to time, has it? That is, the
-Plenipotentiary for War Economy, the disagreement between you and
-Göring, and in order to make it perfectly clear I will read this
-question and answer to you again, and I am not concerned with time; I am
-concerned with your description of the job.
-
- “Question: ‘Let us go into the duties of that job for a moment
- and see what he was trying to take away from you. Now, there are
- only two possibilities, as it has been explained to me; if I am
- wrong, correct me. One would be the preparation for a
- mobilization, and the other would be the actual taking charge of
- this in the event of war. Otherwise the post had no meaning. So
- the things you resisted his taking away from you, as I see it,
- were the right to be in charge of the preparation for
- mobilization and, secondly, the right to control in the event of
- war.’”
-
-And you answered, “correct,” did you not?
-
-SCHACHT: This difference...
-
-MR. JUSTICE JACKSON: Can you answer me first as to whether you did give
-that answer to that question, that it was correct?
-
-SCHACHT: Yes, the minutes are correct. And now I should like...
-
-MR. JUSTICE JACKSON: All right.
-
-SCHACHT: But now please let me finish.
-
-MR. JUSTICE JACKSON: All right, go ahead with your explanation.
-
-SCHACHT: Yes. Now I wish to say that that disagreement between Göring
-and myself had absolutely nothing to do with the conversation of
-November, and that it was not even a disagreement between Göring and
-myself. That disagreement which you have just read about occurred in
-January 1937, but it was not at all a difference of opinion between
-Göring and myself because I said right away, “Relieve me of the post of
-Plenipotentiary for War Economy and turn it over to Göring.” And the War
-Ministry, that is, Herr Von Blomberg, protested against this, not I. I
-was delighted to turn over that office to Göring.
-
-MR. JUSTICE JACKSON: Is there anything in writing about that, Dr.
-Schacht?
-
-SCHACHT: The documents which you have submitted here. I would like to
-ask my counsel to look for these documents and to present them during
-the re-examination. They have been submitted by the Prosecution.
-
-MR. JUSTICE JACKSON: Now, is it not a fact that your controversy with
-Göring was a controversy of a personal character, between you and him,
-for control and not a controversy as to the question of armament? You
-both wanted to rearm as rapidly as possible.
-
-SCHACHT: I do not want to continue that play with words as to whether it
-was personal or anything else, Mr. Justice. I had differences with
-Göring on the subject; and if you ask whether it was on armament, speed,
-or extent, I reply that I was at greatest odds with Göring in regard to
-these points.
-
-I have never denied that I wanted to rearm in order to gain equality of
-position for Germany. I never wanted to rearm any further. Göring wanted
-to go further; and this is one difference which cannot be overlooked.
-
-MR. JUSTICE JACKSON: Now I do not want to play upon words; and if you
-say my reference to it as personal is a play upon words, you force me to
-go into what you told us about Göring.
-
-Is it not a fact that you told Major Tilley this?
-
- “Whereas I have called Hitler an amoral type of person, I can
- regard Göring only as immoral and criminal. Endowed by nature
- with a certain geniality which he managed to exploit for his own
- popularity, he was the most egocentric being imaginable. The
- assumption of political power was for him only a means to
- personal enrichment and personal good living. The success of
- others filled him with envy. His greed knew no bounds. His
- predilection for jewels, gold and finery, _et cetera_, was
- unimaginable. He knew no comradeship. Only as long as someone
- was useful to him did he profess friendship.
-
- “Göring’s knowledge in all fields in which a government member
- should be competent was nil, especially in the economic field.
- Of all the economic matters which Hitler entrusted to him in the
- autumn of 1936 he had not the faintest notion, though he created
- an immense official apparatus and misused his powers as lord of
- all economy most outrageously. In his personal appearance he was
- so theatrical that one could only compare him with Nero. A lady
- who had tea with his second wife reported that he appeared at
- this tea in a sort of Roman toga and sandals studded with
- jewels, his fingers bedecked with innumerable jewelled rings and
- generally covered with ornaments, his face painted and his lips
- rouged.”
-
-Did you give that statement to Major Tilley?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Yes. And you say you had no personal differences
-with Göring?
-
-SCHACHT: Mr. Justice, I ask here again that the different periods of
-time should not be confused. I found out about all these things only
-later and not at the time of which you speak, that is, the year 1936.
-
-MR. JUSTICE JACKSON: Do you dispute the testimony of Gisevius that in
-1935 he told you about Göring’s complicity in the whole Gestapo setup?
-
-SCHACHT: I have testified here that I knew about the Gestapo camps which
-Göring had set up and said that I was opposed to them. I do not at all
-deny that.
-
-MR. JUSTICE JACKSON: But your friendship continued despite that
-knowledge.
-
-SCHACHT: I have never had a friendship with Göring.
-
-MR. JUSTICE JACKSON: Well...
-
-SCHACHT: I surely cannot refuse to work with him, especially as long as
-I do not know what kind of a man he is.
-
-MR. JUSTICE JACKSON: All right. Let us take up foreign relations, about
-which you have made a good deal of complaint here. I think you have
-testified that in 1937 when you were doing all this rearming, you did
-not envisage any kind of a war, is that right?
-
-SCHACHT: No, what you are saying, Mr. Justice, is not correct. In 1937 I
-did not do everything to rearm; but from 1935, from the fall of 1935 on,
-I tried everything possible to slow down the rearming.
-
-MR. JUSTICE JACKSON: All right. I refer you to your interrogation of 16
-October 1945, and ask whether you gave these answers to these questions:
-
- “Question: ‘Let me ask you then, in 1937 what kind of war did
- you envisage?’
-
- “Answer: ‘I never envisaged a war. We might have been attacked,
- invaded by somebody; but even that I never expected.’
-
- “Question: ‘You did not expect that. Did you expect a
- possibility of a mobilization and concentration of economic
- forces in the event of war?’
-
- “Answer: ‘In the event of an attack against Germany, certainly.’
-
- “Question: ‘Now, putting your mind back to 1937, are you able to
- say what sort of an attack you were concerned with?’
-
- “Answer: ‘I do not know, Sir.’
-
- “Question: ‘Did you have thoughts on that at the time?’
-
- “Answer: ‘No, never.’
-
- “Question: ‘Did you then consider that the contingency of war in
- 1937 was so remote as to be negligible?’
-
- “Answer: ‘Yes.’
-
- “Question: ‘You did?’
-
- “Answer: ‘Yes.’” (Document Number 3728-PS)
-
-Did you give those answers?
-
-SCHACHT: I have made exactly the same statements as found in this
-interrogation, here before the Tribunal.
-
-MR. JUSTICE JACKSON: Now, you testified that you tried to divert
-Hitler’s plan which was to move and expand to the East—you tried to
-divert his attention to colonies instead.
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: What colonies? You have never specified.
-
-SCHACHT: Our colonies.
-
-MR. JUSTICE JACKSON: And where were they located?
-
-SCHACHT: I assume that you know that exactly as well as I do.
-
-MR. JUSTICE JACKSON: You are the witness, Dr. Schacht. I want to know
-what you were telling Hitler, not what I know.
-
-SCHACHT: Oh, what I told Hitler? I told Hitler we should try to get back
-a part of the colonies which belonged to us and the administration of
-which was taken away from us, so that we could work there.
-
-MR. JUSTICE JACKSON: What colonies?
-
-SCHACHT: I was thinking especially of the African colonies.
-
-MR. JUSTICE JACKSON: And those African colonies you would regard as
-essential to your plan for the future of Germany?
-
-SCHACHT: Not those, but generally any colonial activity; and of course,
-at first, I could only limit my colonial desires to our own property.
-
-MR. JUSTICE JACKSON: And your property, as you call it, was the African
-colonies?
-
-SCHACHT: Not I personally called them that. That is what the Treaty of
-Versailles calls them—“our property.”
-
-MR. JUSTICE JACKSON: Any way you wish it, you wanted the colonies you
-are talking about.
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: You considered that the possession and exploitation
-of colonies was necessary to the sort of Germany that you had in mind
-creating?
-
-SCHACHT: If you would replace the word “exploitation” by “development,”
-I believe there will be no misunderstanding, and to that extent I agree
-with you completely.
-
-MR. JUSTICE JACKSON: Well, by “development” you mean trading, and I
-suppose you expected to make a profit out of trade?
-
-SCHACHT: No, not only “trade” but “developing the natural resources” or
-the economic possibilities of the colonies.
-
-MR. JUSTICE JACKSON: And it was your proposal that Germany should become
-reliant upon those colonies instead of relying on expansion to the East?
-
-SCHACHT: I considered every kind of expansion within the European
-continent as sheer folly.
-
-MR. JUSTICE JACKSON: But you agreed with Hitler that expansion, either
-colonial or to the East, was a necessary condition of the kind of
-Germany you wanted to create.
-
-SCHACHT: No, that I never said. I told him it was nonsense to undertake
-anything toward the East. Only colonial development could be considered.
-
-MR. JUSTICE JACKSON: And you proposed as a matter of policy that
-Germany’s development should depend on colonies with which there was no
-overland trade route to Germany and which, as you knew, would require a
-naval power to protect them.
-
-SCHACHT: I do not think that at all—how do you get that idea?
-
-MR. JUSTICE JACKSON: Well, you do not get to Africa overland, do you?
-You have to go by water at some point, do you not?
-
-SCHACHT: You can go by air.
-
-MR. JUSTICE JACKSON: What was your trade route? You were thinking only
-of air developments?
-
-SCHACHT: No, no. I thought of ships also.
-
-MR. JUSTICE JACKSON: Yes. And Germany was not then a naval power?
-
-SCHACHT: I believe we had a merchant marine which was quite
-considerable.
-
-MR. JUSTICE JACKSON: Did your colonial plan involve rearmament by way of
-making Germany a naval power to protect the trade routes to the colonies
-that you were proposing?
-
-SCHACHT: Not in the least.
-
-MR. JUSTICE JACKSON: Then your plan was to leave the trade route
-unprotected?
-
-SCHACHT: Oh, no. I believed that international law would be sufficient
-protection.
-
-MR. JUSTICE JACKSON: Well, that is what you disagreed with Hitler about.
-
-SCHACHT: We never spoke about that.
-
-MR. JUSTICE JACKSON: Well, in any event he rejected your plan for
-colonial developments?
-
-SCHACHT: Oh, no. I have explained here that upon my urgent request he
-gave me the order in summer 1936 to take up these colonial matters.
-
-MR. JUSTICE JACKSON: Did you not give these answers in your
-interrogation, Dr. Schacht?
-
- “Question: ‘In other words, at the time of your talks with
- Hitler in 1931 and 1932 concerning colonial policy, you did not
- find him, shall we say, enthusiastic about the possibility?’
-
- “Answer: ‘Neither enthusiastic nor very much interested.’
-
- “Question: ‘But he expressed to you what his views were
- alternatively to the possibility of obtaining colonies?’
-
- “Answer: ‘No, we did not go into other alternatives.’”
-
-Did you give those answers?
-
-SCHACHT: Certainly.
-
-MR. JUSTICE JACKSON: Now, after the Fritsch affair, at least, you knew
-that Hitler was not intent upon preserving the peace of Europe by all
-possible means.
-
-SCHACHT: Yes, I had my doubts.
-
-MR. JUSTICE JACKSON: And after the Austrian Anschluss you knew that the
-Wehrmacht was an important factor in his Eastern policy?
-
-SCHACHT: Well, you may express it that way. I do not know exactly what
-you mean by it.
-
-MR. JUSTICE JACKSON: Well, do not answer anything if you do not know
-what I mean, because we will make it clear as we go along. Except for
-the suggestion of colonies you proposed no other alternative to his plan
-of expansion to the East?
-
-SCHACHT: No.
-
-MR. JUSTICE JACKSON: Never at any Cabinet meeting or elsewhere did you
-propose any other alternative?
-
-SCHACHT: No.
-
-MR. JUSTICE JACKSON: Now, as to the move into Austria, I think you gave
-these answers:
-
- “Question: ‘Actually Hitler did not use the precise method that
- you say you favored?’
-
- “Answer: ‘Not at all.’
-
- “Question: ‘Did you favor the method that he did employ?’
-
- “Answer: ‘Not at all, Sir.’
-
- “Question: ‘What was there in his method that you did not like?’
-
- “Answer: ‘Oh, it was simply overrunning, just taking the
- Austrians over the head—or what do you call it? It was force,
- and I have never been in favor of such force.’”
-
-Did you give those answers?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Now, you have made considerable complaint here that
-foreigners did not come to your support at various times in your efforts
-to block Hitler, have you not?
-
-SCHACHT: Certainly.
-
-MR. JUSTICE JACKSON: You knew at the time of the Austrian Anschluss the
-attitude of the United States towards the Nazi regime, as expressed by
-President Roosevelt, did you not?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: And you knew of his speech suggesting that the Nazi
-menace ought to be quarantined to prevent its spread?
-
-SCHACHT: I do not remember; but I certainly must have read it at that
-time, if it was published in Germany, as I assume it was.
-
-MR. JUSTICE JACKSON: Goebbels let loose a campaign of attack on the
-President as a result of it, did he not?
-
-SCHACHT: I assume I read that.
-
-MR. JUSTICE JACKSON: As a matter of fact, you joined in the attack on
-foreigners who were criticizing the methods, did you not?
-
-SCHACHT: When and where? What attacks?
-
-MR. JUSTICE JACKSON: All right. After the Austrian Anschluss, when force
-was used, with your disapproval, you immediately went in and took over
-the Austrian National Bank, did you not?
-
-SCHACHT: That was my duty.
-
-MR. JUSTICE JACKSON: Yes. Well, you did it.
-
-SCHACHT: Of course.
-
-MR. JUSTICE JACKSON: And you liquidated it for the account of the Reich.
-
-SCHACHT: Not liquidated; I merged it, amalgamated it.
-
-MR. JUSTICE JACKSON: I beg your pardon?
-
-SCHACHT: Amalgamated.
-
-MR. JUSTICE JACKSON: Amalgamated it. And you took over the personnel?
-
-SCHACHT: Everything.
-
-MR. JUSTICE JACKSON: Yes. And the decree doing so was signed by you.
-
-SCHACHT: Certainly.
-
-MR. JUSTICE JACKSON: Yes. And you called the employees together on 21
-March 1938.
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: And made a speech to them.
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: And did you say the following among other things...
-
-SCHACHT: Certainly.
-
-MR. JUSTICE JACKSON: Well, you have not heard it yet.
-
-SCHACHT: Yes, I heard it during the case of the Prosecution.
-
-MR. JUSTICE JACKSON: Well, I would like to quote some of it to you and
-remind you of it.
-
- “I think it is quite useful if we recall these things to our
- mind in order to expose all the sanctimonious hypocrisy exuding
- from the foreign press. Thank God, these things could after all
- not hinder the great German people on their way, for Adolf
- Hitler has created a communion of German will and German
- thought. He has bolstered it up with the newly strengthened
- Wehrmacht, and he has thereby given the external aspect to the
- inner union between Germany and Austria.
-
- “I am known for sometimes expressing thoughts which give
- offense; nor would I care to depart from this custom today.”
-
- “Hilarity” is noted at this point in your speech.
-
- “I know that there are even here in this country a few people—I
- believe they are not too numerous—who find fault with the
- events of the last few days. But nobody, I believe, doubts the
- goal; and it should be said to all hecklers that you cannot
- satisfy everybody. There are those who say they would have done
- it in some other way, perhaps, but strange to say they did not
- do it”—and in parentheses the word “hilarity” appears again.
- Continuing with your speech—“it was done by our Adolf Hitler
- (Long, continued applause); and if there is still something left
- to be improved, then those hecklers should try to bring about
- these improvements from within the German Reich and the German
- community and not disturb it from without.” (Document EC-297)
-
-Did you use that language?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: In other words, you publicly ridiculed those who
-were complaining of the methods, did you not?
-
-SCHACHT: If that is the way you see it.
-
-MR. JUSTICE JACKSON: Then you also, in addressing the personnel of the
-Austrian National Bank, which you were taking over, said this:
-
- “I consider it completely impossible that even a single person
- will find a future with us who is not wholeheartedly for Adolf
- Hitler. (Loud, continued applause; shouts of ‘Sieg Heil’).”
-
-Continuing with the speech:
-
- “Whoever does not do so had better withdraw from our circle of
- his own accord. (Loud applause).”
-
-Is that what happened?
-
-SCHACHT: Yes, they all agreed, surprisingly.
-
-MR. JUSTICE JACKSON: Now, had the Reichsbank before 1933 and 1934 been a
-political institution?
-
-SCHACHT: No.
-
-MR. JUSTICE JACKSON: Had politics been in the Reichsbank?
-
-SCHACHT: Never.
-
-MR. JUSTICE JACKSON: Well, on this day, speaking to its employees, you
-said this, did you not?
-
- “The Reichsbank will always be nothing but National Socialist,
- or I shall cease to be its manager. (Heavy, protracted
- applause).”
-
-Did that happen?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Now, Sir, you have said that you never took the
-oath to Hitler.
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: I ask you if this is what you, as head of the
-Reichsbank, required of the employees whom you were taking over in
-Austria; and I quote:
-
- “Now I shall ask you to rise. (The audience rises.) Today we
- pledge allegiance to the great Reichsbank family, to the great
- German community; we pledge allegiance to our newly arisen,
- powerful Greater German Reich, and we sum up all these
- sentiments in the allegiance to the man who has brought about
- all this transformation. I ask you to raise your hands and to
- repeat after me:
-
- “I swear that I will be faithful and obedient to the Führer of
- the German Reich and the German people, Adolf Hitler, and will
- perform my duties conscientiously and selflessly. (The audience
- takes the pledge with uplifted hands.)
-
- “You have taken this pledge. A bad fellow he who breaks it. To
- our Führer a triple ‘Sieg Heil’.”
-
-Is that a correct representation of what took place?
-
-SCHACHT: The oath is the prescribed civil service oath and it is quite
-in accordance with what I said here yesterday, that the oath is made to
-the head of the state just as I have stated before too: “We stand united
-before the German people”—I do not know exactly what the German
-expression is. I hear your English version here. That oath is exactly
-the same.
-
-MR. JUSTICE JACKSON: I have referred to Document EC-297, Exhibit
-USA-632, in the course of this. That is the exhibit I have been using.
-
-So you say that was to an impersonal head of state and not to Adolf
-Hitler?
-
-SCHACHT: Yes. One obviously cannot take an oath to an idea. Therefore,
-one has to use a person. But I said yesterday that I did not take an
-oath to Herr Ebert or to Herr Hindenburg or to the Kaiser, but to the
-head of State as representative of the people.
-
-MR. JUSTICE JACKSON: You told your employees that all of the sentiments
-of this oath were summed up in the allegiance to the man, did you not?
-
-SCHACHT: No.
-
-MR. JUSTICE JACKSON: Is that not what you said?
-
-SCHACHT: No, that is not correct. If you read it again, it does not say
-to the man but to the leader as the head of State.
-
-MR. JUSTICE JACKSON: Well, no matter what you took the oath to...
-
-SCHACHT: [_Interposing._] Excuse me. There is a very great difference.
-
-MR. JUSTICE JACKSON: Well, we will get to that. Whatever you took the
-oath to, you were breaking it at the very time, were you not?
-
-SCHACHT: No. I never broke the oath to this man as representative of the
-German people, but I broke my oath when I found out that that man was a
-criminal.
-
-MR. JUSTICE JACKSON: When you plotted to cause his death?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Do you want to explain to the Tribunal how you
-could cause the death of Adolf Hitler without also causing the death of
-the head of the German State?
-
-SCHACHT: There is no difference because unfortunately that man was the
-head of the German nation.
-
-MR. JUSTICE JACKSON: You say you never broke the oath?
-
-SCHACHT: I do not know what you want to express by that. Certainly I did
-not keep the oath which I took to Hitler because Hitler unfortunately
-was a criminal, a perjurer, and there was no true head of State. I do
-not know what you mean by “breaking the oath,” but I did not keep my
-oath to him and I am proud of it.
-
-MR. JUSTICE JACKSON: So you were administering to your employees an oath
-which you at that moment were breaking and intended to break?
-
-SCHACHT: Again you confuse different periods of time, Mr. Justice. That
-was in March 1938 when as you have heard me say before, I still was in
-doubt, and therefore it was not clear to me yet what kind of a man
-Hitler was. Only when in the course of 1938 I observed that Hitler was
-possibly walking into a war, did I break the oath.
-
-MR. JUSTICE JACKSON: When did you find him walking into a war?
-
-SCHACHT: In the course of 1938 when, judging from the events, I
-gradually became convinced that Hitler might steer into a war, that is
-to say, intentionally. Then only did I break my oath.
-
-MR. JUSTICE JACKSON: Well, you stated yesterday that you started to
-sabotage the government in 1936 and 1937.
-
-SCHACHT: Yes, because I did not want excessive armament.
-
-MR. JUSTICE JACKSON: And we find you administering an oath to the
-employees to be faithful and obedient.
-
-Now, I ask you if you did not make this statement in interrogation:
-
- “Question: ‘But you make this statement at the end of the oath,
- after everybody has raised his hand and made his oath. Did you
- say the following, “You have taken this pledge. A bad fellow he
- who breaks it”?’
-
- “Answer: ‘Yes, I agree to that and I must say that I myself
- broke it.’
-
- “Question: ‘Do you also say that at the time that you urged this
- upon the audience, that you already were breaking it?’
-
- “Answer: ‘I am sorry to say that within my soul I felt very
- shaken in my loyalty already at that time, but I hoped that
- things would turn out well at the end.’”
-
-SCHACHT: I am glad that you quote this because it confirms exactly what
-I have just said; that I was in a state of doubt and that I still had
-hope that everything would come out all right; that is to say, that
-Hitler would develop in the right direction. So it confirms exactly what
-I have just said.
-
-MR. JUSTICE JACKSON: Well, I am sure we want to be helpful to each
-other, Dr. Schacht.
-
-SCHACHT: I am convinced that both of us are trying to find the truth,
-Mr. Justice.
-
-MR. JUSTICE JACKSON: Now, you remained in the Reichsbank after this
-Anschluss, of course?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: And you remained there until later—until January
-1939, if that is the date?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Now, after this Anschluss, the mefo bills which had
-been issued began to become due, did they not, in 1938 and 1939?
-
-SCHACHT: No, the maturity date of the first mefo bills must have been at
-the earliest in the spring of 1939. They had all been issued for 5 years
-and I assume that the first mefo bills were issued in the spring of
-1934, so that the first mefo bills became due in the spring of 1939.
-
-MR. JUSTICE JACKSON: Now, this is the question and the answer. Correct
-me if I am wrong.
-
- “Question: ‘Well, did you in the Reichsbank utilize funds which
- were available? Let me put it this way: As these mefo bills
- became due, what did you do about them?’
-
- “Answer: ‘I asked the Minister of Finance whether he could repay
- them, because after 5 years he had to repay them, some in 1938
- or 1939, I think. The first mefo bills would have become due for
- repayment and of course he said, “I cannot.”’”
-
-You had that conversation with the Finance Minister while you were still
-President of the Reichsbank?
-
-SCHACHT: Mr. Justice, I said that throughout our financial dealings we
-became somewhat worried as to whether we would get our bills paid back
-or not. I have already explained to the Tribunal that in the second half
-of 1938 the Finance Minister got into difficulties and he came to me in
-order again to borrow money. Thereupon I said to him, “Listen, in what
-kind of a situation are you anyway for you will soon have to repay the
-first mefo bills to us. Are you not prepared for that?” And now it
-turned out, that was in the fall of 1938, that the Reich Finance
-Minister had done nothing whatever to fulfill his obligation to meet
-payment of the mefo bills; and that, of course, in the fall of 1938,
-made for exceedingly strained relations with the Reich Finance Minister,
-that is, between the Reichsbank and the Reich Finance Minister.
-
-MR. JUSTICE JACKSON: Now, taxes did not yield any sufficient revenue to
-discharge those bills, did they?
-
-SCHACHT: Yes; I explained already yesterday that the risk which was
-taken in the mefo bills, which I have admitted from the very beginning,
-was not really a risk if a reasonable financial policy were followed;
-that is, if from 1938 on, further armament had not continued and
-additional foolish expenditures not been made, but if instead, the money
-accruing from taxes and bonds had been used for meeting the payment of
-the mefo bills.
-
-MR. JUSTICE JACKSON: All I am asking you at the present moment, Dr.
-Schacht, is whether these bills could not have been paid out of the
-revenue from taxes.
-
-SCHACHT: Surely. Yes.
-
-MR. JUSTICE JACKSON: They could have?
-
-SCHACHT: Of course, but that was the surprising thing, they were not
-repaid; the money was used to continue rearming. May I add something in
-order to give you further information?
-
-MR. JUSTICE JACKSON: No, I am really not concerned with the financing; I
-am merely concerned with what kind of a mess you were in at the time you
-resigned.
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: The mefo bills were due and could not be paid?
-
-SCHACHT: Shortly.
-
-MR. JUSTICE JACKSON: They were shortly to mature?
-
-SCHACHT: Yes, but they could be paid. That is a mistake if you say that
-they could not be paid.
-
-MR. JUSTICE JACKSON: Well, they could not be paid out of the current
-year’s taxes, could they?
-
-SCHACHT: Yes, indeed. You are not interested and do not want me to tell
-you, but I am quite ready to explain it.
-
-MR. JUSTICE JACKSON: Well, you have explained it pretty well to us.
-
-SCHACHT: You have just told me you were not interested.
-
-MR. JUSTICE JACKSON: Your subscriptions to the Fourth Reich Loan of 1938
-had produced unsatisfactory results, had they not?
-
-SCHACHT: They were hardly pleasing. The capital market was not good.
-
-MR. JUSTICE JACKSON: And you have reported on the loan that there had
-been a shortage in the public subscription? And the result had been
-unsatisfactory?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Now, did you not make this answer to the
-interrogator’s question:
-
- “Question: ‘But I am asking you whether during that period from
- 1 April 1938 to January 1939 you did not continue to finance
- armaments?’
-
- “Answer: ‘Sir, otherwise these mefo bills had to be refunded by
- the Reich, which they could not be, because the Reich had no
- money to do it; and I could not procure any money for refunding
- because that would have had to come from taxes or loans. So I
- had to continue to carry these mefo bills and that, of course, I
- did.’”
-
-Did you give that answer?
-
-SCHACHT: Yes, that was quite in order—kindly let me speak, would you
-not—because the Finance Minister did not make his funds available for
-the repayment of the mefo bills, but instead gave them for armaments. If
-he had used these funds to pay the mefo bills, everything would have
-been all right.
-
-MR. JUSTICE JACKSON: And you carried the mefo bills which let him use
-current revenues to continue the plans of rearmament after 1938, did you
-not?
-
-SCHACHT: Mr. Justice, this was the situation. A large part of the mefo
-bills was already on the financial and capital market. Now, when that
-market was too heavily burdened by the government, then the people
-brought in the mefo bills to the Reichsbank, for the Reichsbank had
-promised to accept them. That, precisely, was the great obstruction to
-my policy. The Reich Finance Minister financed the armament instead of
-honoring the mefo bills as he had promised.
-
-MR. JUSTICE JACKSON: Now, it was under those circumstances that you took
-a position which would result in your retirement from the Reichsbank?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Now we come to Czechoslovakia. Did you favor the
-policy of acquiring the Sudetenland by threat of resort to arms?
-
-SCHACHT: Not at all.
-
-MR. JUSTICE JACKSON: I think you characterized the manner in which the
-Sudetenland was acquired as wrong and reprehensible.
-
-SCHACHT: I do not know when I could have done that. I said that the
-Allies, by their policy, gave the Sudetenland to Hitler, whereas I
-always had expected only that the Sudeten Germans would be given
-autonomy.
-
-MR. JUSTICE JACKSON: Then you approved of Hitler’s policy in handling
-the Sudetenland situation? Is that what you want to be understood as
-saying?
-
-SCHACHT: I never knew that Hitler, beyond autonomy, demanded anything
-else.
-
-MR. JUSTICE JACKSON: Your only criticism of the Czechoslovakian
-situation relates to the Allies, as I understand you?
-
-SCHACHT: Well, it also applies to the Czechs, maybe to the Germans too;
-for goodness sake, I do not want to play the judge here.
-
-MR. JUSTICE JACKSON: Well, now on 16 October 1945, in Exhibit USA-636,
-Document 3728-PS, I ask if you did not make these replies to questions:
-
- “Question: ‘Now, I am coming back to the march against
- Czechoslovakia which resulted in the appeasement policy, Munich,
- and the cession of the Sudetenland to the Reich.’
-
- “Answer: ‘Yes.’
-
- “Question: ‘Did you at that time favor the policy of acquiring
- the Sudetenland?’
-
- “Answer: ‘No.’
-
- “Question: ‘Did you favor at that time the policy of threatening
- or menacing the Czechs by force of arms so as to acquire the
- Sudetenland?’
-
- “Answer: ‘No, certainly not.’
-
- “Question: ‘Then I ask you, did it strike you at that time, did
- it come to your consciousness, that the means which Hitler was
- using for threatening the Czechs was the Wehrmacht and the
- armament industry?’
-
- “Answer: ‘He could not have done it without the Wehrmacht.’”
-
-Did you give those answers?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Continuing:
-
- “Question: ‘Did you consider the manner in which he handled the
- Sudeten question wrong or reprehensible?’
-
- “Answer: ‘Yes.’
-
- “Question: ‘You did?’
-
- “Answer: ‘Yes, Sir.’
-
- “Question: ‘And did you have a feeling at that time, looking
- back on the events that had proceeded and in your own
- participation in them, that this army which he was using as a
- threat against Czechoslovakia was at least in part an army of
- your own creation? Did that ever strike you?’
-
- “Answer: ‘I cannot deny that, Sir.’”
-
-SCHACHT: Certainly not.
-
-MR. JUSTICE JACKSON: But here again, you turned in to help Hitler, once
-he had been successful with it, did you not?
-
-SCHACHT: How can you say such a thing? I certainly did not know that
-Hitler would use the army in order to threaten other nations.
-
-MR. JUSTICE JACKSON: After he had done it, you turned in and took over
-the Czech bank, did you not?
-
-SCHACHT: Of course.
-
-MR. JUSTICE JACKSON: Yes. You followed to clean up economically just so
-far as Hitler got the territory, did you not?
-
-SCHACHT: But I beg your pardon. He did not take it with violence at all.
-The Allies presented him with the country. The whole thing was settled
-peacefully.
-
-MR. JUSTICE JACKSON: Well, we have your testimony on the part the
-Wehrmacht played in it and what part you played in the Wehrmacht.
-
-SCHACHT: Yes, I have never denied that.
-
-MR. JUSTICE JACKSON: No. What I mean is this, referring to your
-interrogation of 17 October (Exhibit US-616):
-
- “Question: ‘Now, after the Sudetenland was taken over by the
- Munich agreement, did you, as the President of the Reichsbank,
- do anything about the Sudeten territory?’
-
- “Answer: ‘I think we took over the affiliations of the Czech
- Bank of Issue.’
-
- “Question: ‘And you also arranged for the currency conversion,
- did you not?’
-
- “Answer: ‘Yes.’”
-
-That is what you did after this wrong and reprehensible act had been
-committed by Hitler, did you not?
-
-SCHACHT: It is no “wrong and reprehensible” act “committed” by Hitler,
-but Hitler received the Sudeten German territory by way of treaty and,
-of course, the currency and the institute which directed financing had
-to be amalgamated with this field in Germany. There can be no talk of
-injustice. I cannot believe that the Allies have put their signature to
-a piece of injustice.
-
-MR. JUSTICE JACKSON: So you think that everything up to Munich was all
-right?
-
-SCHACHT: No. I am certainly of a different opinion. There was much
-injustice.
-
-MR. JUSTICE JACKSON: Were you in this Court when Göring testified to his
-threat to bomb Prague—“the beautiful city of Prague”?
-
-SCHACHT: Thanks to your invitation, I was here.
-
-MR. JUSTICE JACKSON: Yes. I suppose you approved that use of the force
-which you had created in the Wehrmacht?
-
-SCHACHT: Disapproved; disapproved under all circumstances.
-
-MR. JUSTICE JACKSON: You did not think that was right dealing, then?
-
-SCHACHT: No, no, that was an atrocious thing.
-
-MR. JUSTICE JACKSON: Well, we have found something we agree on, Doctor.
-You knew of the invasion of Poland?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: You regarded it as an unqualified act of aggression
-on Hitler’s part, did you not?
-
-SCHACHT: Absolutely.
-
-MR. JUSTICE JACKSON: The same was true of the invasion of Luxembourg,
-was it not?
-
-SCHACHT: Absolutely.
-
-MR. JUSTICE JACKSON: And of Holland?
-
-SCHACHT: Absolutely.
-
-MR. JUSTICE JACKSON: And of Denmark?
-
-SCHACHT: Absolutely.
-
-MR. JUSTICE JACKSON: And of Norway?
-
-SCHACHT: Absolutely.
-
-MR. JUSTICE JACKSON: And of Yugoslavia?
-
-SCHACHT: Absolutely.
-
-MR. JUSTICE JACKSON: And of Russia?
-
-SCHACHT: Absolutely, sir; and you have left out Norway and Belgium.
-
-MR. JUSTICE JACKSON: Yes; well, I got to the end of my paper. The entire
-course was a course of aggression?
-
-SCHACHT: Absolutely to be condemned.
-
-MR. JUSTICE JACKSON: And the success of that aggression at every step
-was due to the Wehrmacht which you had so much to do with creating?
-
-SCHACHT: Unfortunately.
-
-MR. JUSTICE JACKSON: Now, I intend to take up another subject and
-perhaps it would be ... it is almost recess time.
-
-THE PRESIDENT: We will adjourn now.
-
- [_A recess was taken._]
-
-MARSHAL (Colonel Charles W. Mays): If it pleases the Tribunal, the
-report is made that Defendant Von Neurath is absent.
-
-MR. JUSTICE JACKSON: Dr. Schacht, in your direct testimony you made
-reference to a film, which was taken and exhibited in Germany for
-propaganda purposes, of your demeanor on the occasion of Hitler’s return
-after the fall of France.
-
-SCHACHT: May I correct that? Not I, but my counsel, spoke of this film;
-and it was not mentioned that it was used for propaganda purposes. My
-counsel merely said that it had been run in a newsreel, so it probably
-was shown for about one week.
-
-MR. JUSTICE JACKSON: I will ask to exhibit that film to the Tribunal. It
-is a very brief film, and the movement in it is very rapid. There is
-very little of translation involved in it, but the speed of it is such
-that for myself I had to see it twice in order to really see what it is.
-
-THE PRESIDENT: Do you want to put it on now?
-
-MR. JUSTICE JACKSON: I would like to put it on now. It will take only a
-moment, and Dr. Schacht should be placed where he can see it for I want
-to ask him some questions and [_Turning to the defendant_] particularly
-I may ask you to identify the persons in it.
-
-I will ask, if I may, to have it shown twice, so that after all has been
-seen you can once more see it.
-
-THE PRESIDENT: Certainly.
-
-[_Moving pictures were then shown._]
-
-MR. JUSTICE JACKSON: I think that I, in mentioning this exhibit which I
-wish to offer in evidence, spoke of it as a “propaganda film.” That was
-not the language of Dr. Dix. Dr. Dix described it as a “weekly newsreel”
-and as a “weekly film.”
-
-[_Turning to the defendant._] While our memory is fresh about that, will
-you tell the Court as many of the defendants as you recognized present
-in that picture?
-
-SCHACHT: In glancing at it quickly I could not see exactly who was
-there. However, I should assume that almost all were present—I say that
-from memory, not from the film—either in Hitler’s retinue or among
-those who received him.
-
-MR. JUSTICE JACKSON: While you were still President of the Reichsbank
-and after the action in taking over the Czechoslovakian Bank you made a
-speech, did you not, on 29 November 1938?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: It is Document EC-611, Exhibit USA-622. I am
-advised that the film became Exhibit USA-835, and before I pass from it
-I would like to offer the statement as to the personality of Hermann
-Göring, which is Document 3936-PS, as Exhibit USA-836.
-
-[_Turning to the defendant._] In this speech of 29 November 1938, Dr.
-Schacht, if I am correctly informed—and by the way, it was a public
-speech was it not?
-
-SCHACHT: Inasmuch as it was made before the German Academy. It was
-entirely public, and if it passed the censorship it certainly was also
-mentioned in the papers. It was public; anyone could hear it.
-
-MR. JUSTICE JACKSON: You used this language, did you not?:
-
- “It is possible that no bank of issue in peace times has carried
- on such a daring credit policy as has the Reichsbank since the
- seizure of power by National Socialism. With the aid of this
- credit policy, however, Germany has created an armament second
- to none, and this armament in turn has made possible our
- political successes.” (Document EC-611)
-
-Is that correct?
-
-SCHACHT: That is absolutely correct, and—would you please mind letting
-me talk in the future? That is correct and I was very much surprised
-that it was necessary to do this in order to create justice in the
-world.
-
-MR. JUSTICE JACKSON: The taking over of Czechoslovakia representing your
-idea of justice?
-
-SCHACHT: I have already told you that Germany did not “take over
-Czechoslovakia,” but that it was indeed presented to Germany by the
-Allies on a silver platter.
-
-MR. JUSTICE JACKSON: Are you now saying that that was an act of justice,
-or are you condemning it? I cannot get your position, Doctor. Just tell
-us, were you for it? Are you today for it, or against it?
-
-SCHACHT: Against what? Will you please tell me against what and for
-what?
-
-MR. JUSTICE JACKSON: Against the taking over of the Sudetenland by the
-method by which it was done.
-
-SCHACHT: I cannot answer your question for the reason that, as I said,
-it was no “taking over,” but was a present. If someone gives me a
-present, such as this, I accept it gratefully.
-
-MR. JUSTICE JACKSON: Even though it does not belong to them to give?
-
-SCHACHT: Well, that I must naturally leave up to the donor.
-
-MR. JUSTICE JACKSON: And although it was taken at the point of a gun,
-you still would accept the gift?
-
-SCHACHT: No, it was not taken “at the point of a gun.”
-
-MR. JUSTICE JACKSON: Well, we will pass on to your speech. Did you say
-also:
-
- “Instead of a weak and vacillating government a single,
- purposeful, energetic personality is ruling today. That is the
- great miracle which has happened in Germany and which has had
- its effect in all fields of life and not last in that of economy
- and finance. There is no German financial miracle. There is only
- the miracle of the reawakening of German national consciousness
- and German discipline, and we owe this miracle to our Führer,
- Adolf Hitler.” (Document EC-611)
-
-Did you say that?
-
-SCHACHT: Certainly. That was what I was so greatly astonished at.
-
-MR. JUSTICE JACKSON: As Minister without Portfolio, what did your
-Ministry consist of?
-
-SCHACHT: Nothing.
-
-MR. JUSTICE JACKSON: What employees did you have?
-
-SCHACHT: One female secretary.
-
-MR. JUSTICE JACKSON: What space did you occupy?
-
-SCHACHT: Two or three rooms in my own apartment which I had furnished as
-office rooms.
-
-MR. JUSTICE JACKSON: So the government did not even furnish you an
-office?
-
-SCHACHT: Yes, they paid me a rental for those rooms.
-
-MR. JUSTICE JACKSON: Oh, and whom did you meet with as Minister without
-Portfolio?
-
-SCHACHT: I do not understand. Whom I met with?
-
-MR. JUSTICE JACKSON: Well, did you have any meetings? Did you have any
-official meetings to attend?
-
-SCHACHT: I have stated here repeatedly that, after my retirement from
-the Reichsbank, I never had a single meeting or conference, official or
-otherwise.
-
-MR. JUSTICE JACKSON: Did anybody report to you, or did you report to
-anybody?
-
-SCHACHT: No, no one reported to me, nor did I report to anyone else.
-
-MR. JUSTICE JACKSON: Then I take it that you had no duties whatever in
-this position?
-
-SCHACHT: Absolutely correct.
-
-MR. JUSTICE JACKSON: And you were Minister without Portfolio, however,
-at the time that Hitler came back from France, and you attended the
-reception for him at the railway station? And went to the Reichstag to
-hear his speech?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: Now, notwithstanding your removal as President of
-the Reichsbank, the government continued to pay you your full salary
-until the end of 1942, did it not?
-
-SCHACHT: I stated yesterday that that is not correct. I received my
-salary from the Reichsbank, which was due to me by contract, but a
-minister’s salary was not paid to me. I believe that as Minister I
-received certain allowances to cover expenses, I cannot say that at the
-moment; but I did not receive a salary as a Minister.
-
-MR. JUSTICE JACKSON: Well, I will return to your interrogation of 9
-October 1945 and ask you whether you gave these answers to these
-questions on that interrogation:
-
- “Question: ‘What salary did you receive as Minister without
- Portfolio?’
-
- “Answer: ‘I could not tell you exactly. I think it was some
- 24,000 marks, or 20,000 marks. I cannot tell you exactly, but it
- was accounted on the salary and afterward on the pension which I
- got from the Reichsbank, so I was not paid twice. I was not paid
- twice.’
-
- “Question: ‘In other words, the salary that you received as
- Minister without Portfolio during the period you were also
- President of the Reichsbank was deducted from the Reichsbank?’
-
- “Answer: ‘Yes.’
-
- “Question: ‘However, after you severed your connection with the
- Reichsbank in January 1939, did you then receive the whole
- salary?’
-
- “Answer: ‘I got the whole salary because my contract ran until
- the end of June 1942, I think.’
-
- “Question: ‘So you received a full salary until the end of June
- 1942?’
-
- “Answer: ‘Full salary and no extra salary, but from the 1st of
- July 1942 I got my pension from the Reichsbank, and again the
- salary of the Ministry was deducted from that, or vice versa.
- What was higher, I do not know; I got a pension of about 30,000
- marks from the Reichsbank.’”
-
-And on 11 July 1945, at Ruskin, you were questioned and gave answers as
-follows:
-
- “Question: ‘What was the date of your contract?’
-
- “Answer: ‘From 8 March 1939, 1940, 1941, 1942. Four years. Four
- years’ contract.’
-
- “Question: ‘You were really then given a four-year appointment?’
-
- “Answer: ‘That is what I told you. After 1942 I got a pension
- from the Reichsbank.’
-
- “Question: ‘What was the amount of your salary and all other
- income from the Reichsbank?’
-
- “Answer: ‘All the income from the Reichsbank, including my fees
- for representation, amounted to 60,000 marks a year, and the
- pension is 24,000. You see, I had a short contract but a high
- pension. As Reich Minister without Portfolio, I had another, I
- think also 20,000 or 24,000 marks.’”
-
-Now, is that correct?
-
-SCHACHT: The salaries are stated on paper and are correctly cited here
-and I have indeed claimed that I was paid by one source only. I was
-asked, “What salary did you receive as Reich Minister?” I stated the
-amount, but I did not receive it, as it was merely deducted from my
-Reichsbank salary. And the pension, as I see here, is quoted wrongly in
-one case. I believe I had only 24,000 marks’ pension, while it says here
-somewhere that it was 30,000 marks. In my own money affairs I am
-somewhat less exact than in my official money affairs. However, I was
-paid only once, and that is mainly by the Reichsbank up to—and that
-also has not been stated here correctly. It was not the end of 1942, but
-the end of June 1942, that my contract expired. Then the pension began
-and it too was paid only once. How those two, that is, the Ministry and
-Reichsbank, arranged it with each other is unknown to me.
-
-MR. JUSTICE JACKSON: Well, you were entitled to a salary and a pension
-both, and one was offset against the other; is that what you mean? And
-that arrangement continued as long as you were a part of the regime?
-
-SCHACHT: It is still in effect today. It has nothing to do with the
-regime. I hope that I shall still receive my pension; how else should I
-pay my expenses?
-
-MR. JUSTICE JACKSON: Well, they may not be very heavy, Doctor.
-
-When General Beck resigned, he asked you to resign, did he not?
-
-THE PRESIDENT: Just a minute; it is quite unnecessary for anyone present
-in Court to show his amusement by laughter.
-
-MR. JUSTICE JACKSON: Were you asked to resign when General Beck
-resigned?
-
-SCHACHT: No, he did not say that.
-
-MR. JUSTICE JACKSON: Have you in mind the testimony given by Gisevius
-here?
-
-SCHACHT: Yes. It was a mistake on the part of Gisevius.
-
-MR. JUSTICE JACKSON: Oh, well, in any event, when General Beck resigned,
-it was called sharply to your attention?
-
-SCHACHT: He paid me a visit and told me about it a few days before his
-retirement. I assume that was about the end of August or the beginning
-of September of 1938.
-
-MR. JUSTICE JACKSON: And you say that no proposal was made to you at
-that time that you should resign along with Beck?
-
-SCHACHT: No, nothing was said about that. Beck saw me in my room; he did
-not mention anything of this sort, and it was not discussed by us.
-
-MR. JUSTICE JACKSON: Did it ever occur to you that resignation would be
-the appropriate way of expressing your protest against these things
-which you now say you disapprove?
-
-SCHACHT: No, I do not at all believe that a resignation would have been
-the means to achieve that which had to be done, and I also regretted it
-very much that Beck retired. That which happened, Mr. Justice, was
-caused by an entirely false policy—a policy that partly was forced upon
-us, and partly, I am sorry to say, was not handled properly by us. In
-February, Neurath was dismissed. In the fall Beck stepped out; in
-January 1939 I was dismissed. One after the other was gotten rid of. If
-it had been possible for our group—if I too may now speak of a
-group—to carry out a common action, as we hoped for and expected, then
-that would have been an excellent thing. However, these individual
-retirements served no purpose whatsoever; at least, they had no success.
-
-MR. JUSTICE JACKSON: You felt that Beck should have stayed at his post
-and been disloyal to the head of the State?
-
-SCHACHT: Absolutely.
-
-MR. JUSTICE JACKSON: And, in all events, you continued in every public
-way throughout the period, until the fall of France, to hold yourself
-out as a part of the government and a part of the regime, did you not?
-
-SCHACHT: Well, I never considered myself a part of the regime exactly,
-because I was against it. But, of course, ever since the fall of 1938 I
-worked towards my own retirement, as soon as I saw that Hitler did not
-stop the rearmament but continued it, and when I became aware that I was
-powerless to act against it.
-
-MR. JUSTICE JACKSON: Well, when did you start working towards your own
-retirement?
-
-SCHACHT: Pardon me; I did not understand—to work towards what?
-
-MR. JUSTICE JACKSON: When did you start working towards your own
-retirement from office.
-
-SCHACHT: After Munich and after we realized that we could no longer
-expect disarmament or a stopping of rearmament by Hitler and that we
-could not prevent a continuation of the rearmament; so, within the
-circles of the Reichsbank Directorate, we began to discuss this question
-and to realize that we could not follow the further course of
-rearmament. That was the last quarter of 1938.
-
-MR. JUSTICE JACKSON: And all of these events of which you disapproved
-never were of sufficient consequence to cause you to resign and withhold
-a further use of your name from this regime?
-
-SCHACHT: Until then I had still hoped that I could bring about a change
-for the better; consequently I accepted all the disadvantages entailed
-with my remaining in office, even facing the danger that some day I
-might be judged, as I am today.
-
-MR. JUSTICE JACKSON: You continued to allow your name to be used at home
-and abroad despite your disapproval, as you say, of the invasion of
-Poland?
-
-SCHACHT: I never was asked for my permission, and I never gave that
-permission.
-
-MR. JUSTICE JACKSON: You knew perfectly well, did you not, that your
-name meant a great deal to this group at any time and that you were one
-of the only men in this group who had any standing abroad?
-
-SCHACHT: The first part of your statement I already accepted yesterday
-from you as a compliment. The second part, I believe, is not correct. I
-believe that several other members of the regime also had a “standing”
-in foreign countries, some of whom are sitting with me here in the
-prisoners’ dock.
-
-MR. JUSTICE JACKSON: Any foreign observer, who read affairs in Germany,
-would have obtained the understanding that you were supporting the
-regime continuously until you were deprived of the office of Minister
-without Portfolio, would they not?
-
-SCHACHT: That is absolutely incorrect. As I have stated repeatedly
-yesterday and also during my direct examination, I was always referred
-to in foreign broadcasts as a man who was an opponent of this system,
-and all my numerous friends and acquaintances in foreign countries knew
-that I was against this system and worked against it. And if any
-journalist can be mentioned to me today who did not know this, then he
-does not know his business.
-
-MR. JUSTICE JACKSON: Oh, do you refer to the letter which you wrote to
-the New York banker Leon...?
-
-SCHACHT: Leon Fraser.
-
-MR. JUSTICE JACKSON: Now, at the time you sent that letter to
-Switzerland, there was a diplomatic representative of the United States
-in Berlin, was there not?
-
-SCHACHT: Yes.
-
-MR. JUSTICE JACKSON: And you knew he had a pouch communication at least
-once a week and usually once a day with Washington?
-
-SCHACHT: Yes, I did not know it, but I assumed it.
-
-MR. JUSTICE JACKSON: And, if you wanted to communicate with the
-Government of the United States or with an official of the United
-States, you might have communicated through the regular channels?
-
-SCHACHT: I did not desire to communicate with the American Government or
-with an American official. I merely desired to re-establish my
-connection with a friend who had invited me in January to come to the
-United States, and I made reference to this previous correspondence
-between him and me in January.
-
-MR. JUSTICE JACKSON: That disposes of the Fraser matter then.
-
-Now, Dr. Schacht, while you were Minister without Portfolio, aggressive
-wars were instituted, according to your testimony, against Poland,
-against Denmark and Norway in April of 1940, against Holland and Belgium
-in May of 1940; in June there was the French armistice and surrender; in
-September of 1940 there was the German-Japanese-Italian-Tripartite Pact;
-in April of 1941 there was an attack on Yugoslavia and Greece, which you
-say was aggressive; in June of 1941 there was the invasion of Soviet
-Russia, which you say was aggressive; on 7 December 1941 Japan attacked
-Pearl Harbor, and after the attack declared war on the United States; on
-8 December 1941 the United States declared war on Japan, but not on
-Germany; on 11 December 1941, Germany and Italy declared war on the
-United States; and all of these things happened in the foreign field and
-you kept your position as Minister without Portfolio under the Hitler
-Government, did you not?
-
-SCHACHT: Mr. Justice...
-
-MR. JUSTICE JACKSON: Did you not and is that not a fact?
-
-SCHACHT: Yes, and I wish to add something to this. From dozens of
-witnesses who have testified here, and from myself, you have heard again
-and again that it was impossible unilaterally to retire from this office
-because, if I was put in as a minister by the head of a government, I
-could also be retired only with his signature. You have also been told
-that at various times I attempted to rid myself of this ministerial
-office. Besides the witnesses’ testimony from countless others,
-including Americans, to the effect that it was well known that Hitler
-did not permit anyone to retire from office without his permission. And
-now you charge me with having remained. I did not remain for my
-pleasure, but I remained because I could not have retired from the
-Ministry without making a big row. And almost constantly, I should say,
-I tried to have this row until finally in January 1943 I succeeded; and
-I was able to disappear from office, not without danger to my life.
-
-MR. JUSTICE JACKSON: Well, I will deal with your explanation later. I am
-now getting the facts.
-
-You did not have an open break with Hitler, so that you were not
-entirely out of office until after the German offensive broke down in
-Russia and the German armies were in retreat and until after the Allies
-had landed in Africa, did you?
-
-SCHACHT: The letter by which I brought about the last successful row is
-dated 30 November 1942. The row and its success dates from 21 January
-1943, because Hitler and Göring and whoever else participated in
-discussing it, needed 7 weeks to make up their minds about the
-consequence of my letter.
-
-MR. JUSTICE JACKSON: Then by your letter it plainly shows that you
-thought the ship was sinking, was it not; that means that the war was
-lost?
-
-SCHACHT: My oral and written declarations from former times have already
-shown this. I have spoken here also about this. I have testified on the
-letter to Ribbentrop and Funk; I have presented a number of facts here
-which prove that I never believed in the possibility of a German
-victory. And my disappearance from office has nothing whatsoever to do
-with all these questions.
-
-MR. JUSTICE JACKSON: Now, meanwhile, while you were remaining as
-Minister without Portfolio because you thought it might be dangerous to
-resign, you were encouraging the generals in the army to commit treason
-against the head of the State, were you not?
-
-SCHACHT: Yes, and I should like now to make an additional statement to
-this. It was not because of threatening danger to my life that I could
-not resign earlier. For I was not afraid of endangering my life because
-I was used to that ever since 1937, having constantly been exposed to
-the arbitrariness of the Party and its heads.
-
-Your question as to whether I tried to turn a number of generals to high
-treason, I answer in the affirmative.
-
-MR. JUSTICE JACKSON: And you also tried to get assassins to assassinate
-Hitler, did you not?
-
-SCHACHT: In 1938 when I made my first attempt, I was not thinking as yet
-of an assassination of Hitler. However, I must admit that later I said
-if it could not be done any other way, we would have to kill the man, if
-possible.
-
-MR. JUSTICE JACKSON: Did you say, “We will have to kill him,” or did you
-say, “Somebody else will have to kill him,” Dr. Schacht?
-
-SCHACHT: If I had had the opportunity I would have killed him, I myself.
-I beg you therefore not to summon me before a German court for attempted
-murder because in that sense I am, of course, guilty.
-
-MR. JUSTICE JACKSON: Well, now, whatever your activities, they were
-never sufficiently open so that the foreign files in France, which you
-say were searched by the Gestapo, had an inkling of it, were they?
-
-SCHACHT: Yes, I could not announce this matter in advance in the
-newspapers.
-
-MR. JUSTICE JACKSON: And the Gestapo, with all its searching of you,
-never was in a position to put you under arrest until after the 20 July
-attack on Hitler’s life?
-
-SCHACHT: They could have put me under arrest much earlier than that if
-they had been a little smarter; but that seems to be a strange attribute
-of any police force.
-
-MR. JUSTICE JACKSON: And it was not until 1943 that the Hitler regime
-dismissed you? Until that time apparently they believed that you were
-doing them more good than harm?
-
-SCHACHT: I do not know what they believed at that time, hence I ask you
-not to question me about that. You will have to ask somebody from the
-regime; you still have enough people here.
-
-MR. JUSTICE JACKSON: You have now contended that you knew about the plot
-of 20 July on Hitler’s life?
-
-SCHACHT: I knew about it.
-
-MR. JUSTICE JACKSON: You knew that Gisevius says you did not know about
-it?
-
-SCHACHT: I already stated yesterday that I was informed not only of
-Goerdeler’s efforts but that I was thoroughly informed by General
-Lindemann, and the evidence of Colonel Gronau has been read here. I also
-stated that I did not inform my friends about this, because there was a
-mutual agreement between us that we should not tell anyone anything
-which might bring him into an embarrassing situation in case he were
-tortured by the Gestapo.
-
-MR. JUSTICE JACKSON: Do you recall that Gisevius said that there were
-only three civilians that knew about that plot which was carefully kept
-within military personnel?
-
-SCHACHT: You see that even Gisevius was not informed on every detail.
-Naturally, he cannot testify to more than what he knew.
-
-MR. JUSTICE JACKSON: And so, Dr. Schacht, we are to weigh your testimony
-in the light of the fact that you preferred, over a long period of time,
-a course of sabotage of your government’s policy by treason against the
-head of the State, rather than open resignation from his cabinet?
-
-SCHACHT: You constantly refer to my resignation. I have told you and
-proven that no resignation was possible. Consequently your conclusion is
-wrong.
-
-MR. JUSTICE JACKSON: All right! Now let us see. In your interrogation on
-16 October 1945, Exhibit USA-636, some questions were asked you about
-the generals of the Army, and I ask you if you were not asked these
-questions and if you did not give these answers:
-
- “Question: ‘I say, suppose you were Chief of the General Staff
- and Hitler decided to attack Austria, would you say you had the
- right to withdraw?’
-
- “Answer: ‘I would have said, “Withdraw me, Sir.”’
-
- “Question: ‘You would have said that?’
-
- “Answer: ‘Yes.’
-
- “Question: ‘So you take the position that any official could at
- any time withdraw if he thought that the moral obligation was
- such that he felt he could not go on?’
-
- “Answer: ‘Quite.’
-
- “Question: ‘In other words, you feel that the members of the
- General Staff of the Wehrmacht who were responsible for carrying
- into execution Hitler’s plan are equally guilty with him?’
-
- “Answer: ‘That is a very hard question you put to me, Sir, and I
- answer, “yes”.’”
-
-You gave those answers, did you not? Did you give those answers?
-
-SCHACHT: Yes, and I should like to give an explanation of this, if the
-Tribunal permits it. If Hitler ever had given me an immoral order, I
-should have refused to execute it. That is what I said about the
-generals also, and I uphold this statement which you have just read.
-
-MR. JUSTICE JACKSON: I am through with him, Your Honor, except that I
-would like to note the exhibit numbers. The petition to Hindenburg
-referred to yesterday is 3901-PS, and will become Exhibit USA-837. The
-Von Blomberg interrogation of October 1945 is Exhibit USA-838.
-
-DR. HANS LATERNSER: (Counsel for General Staff and High Command of the
-German Armed Forces): Mr. President, I request that the statement of the
-Defendant Schacht insofar as it was cited and becomes part of the
-minutes be stricken from the record. The question, as I understood it,
-was whether he considered the General Staff to be just as guilty as
-Hitler. This question was answered in the affirmative by the Defendant
-Schacht in this examination. The question and the answer—the question
-to begin with is inadmissible and likewise the answer because a witness
-cannot pass judgment on this. That is the task of the Court. And for
-this reason I request that this testimony be stricken from the record.
-
-MR. JUSTICE JACKSON: May it please the Tribunal, I do not, of course,
-offer this opinion of Schacht’s as evidence against the General Staff or
-against any individual soldier on trial. The evidence, I think, was as
-to the credibility of Schacht and as to his position. I do not think
-that his opinion regarding the guilt of anybody else would be evidence
-against that other person; I think that his opinion on this matter is
-evidence against himself in the matter of credibility.
-
-THE PRESIDENT: Yes, Dr. Dix.
-
-DR. RUDOLF DIX (Counsel for Defendant Schacht): The question by Justice
-Jackson was not whether Schacht considered the generals guilty, but the
-question was whether it was correct that Schacht, in an interrogation
-previous to the Trial, had given certain answers to certain questions.
-In other words, it was a question about an actual occurrence which took
-place in the past and not a question about an opinion or a judgment
-which he was to give here. As Schacht’s counsel, I am not interested in
-this passage being stricken from the record, except to the extent that
-these words remain: “I, Schacht, would never have executed an immoral
-order and an immoral demand by Hitler.” So far as the rest of this
-answer of Schacht is concerned I, as his defense counsel, declare that
-it is a matter of indifference to me.
-
-DR. LATERNSER: Mr. President, after the declaration of Justice Jackson,
-I withdraw my objection.
-
-MAJOR GENERAL G. A. ALEXANDROV (Assistant Prosecutor for the U.S.S.R.):
-Mr. President, may I begin my cross-examination?
-
-THE PRESIDENT: Yes.
-
-GEN. ALEXANDROV: Defendant Schacht, when answering the questions put to
-you by your counsel, you informed us of the circumstances under which
-you first became acquainted with Hitler and Göring. You even remembered
-a detail such as the pea soup with lard which was served for supper at
-Göring’s house.
-
-What I am interested in now are some other particulars, rather more
-relevant to the case, of your relations with Hitler and Göring. Tell me,
-on whose initiative did your first meeting with Hitler and Göring take
-place?
-
-SCHACHT: I have already stated that my friend, Bank Director Von Stauss,
-invited me to an evening in his home so that I might meet Göring there.
-The meeting with Hitler then took place when Göring asked me to come to
-his home—that is, Göring’s home—to meet Hitler.
-
-GEN. ALEXANDROV: For what reasons did you, at that time, accept the
-invitation to meet Hitler and Göring?
-
-SCHACHT: The National Socialist Party at that time was one of the
-strongest parties in the Reichstag with 108 seats, and the National
-Socialist movement throughout the country was extremely lively.
-Consequently, I was more or less interested in making the acquaintance
-of the leading men of this movement whom up to then I did not know at
-all.
-
-GEN. ALEXANDROV: But you declared that you were invited by Göring
-himself. Why did Göring especially invite you?
-
-SCHACHT: Please ask Herr Göring that.
-
-GEN. ALEXANDROV: Did you not ask him yourself?
-
-SCHACHT: Herr Göring wished me to meet Hitler, or Hitler to meet me.
-
-GEN. ALEXANDROV: What for? With what aim in mind?
-
-SCHACHT: That you must ask Herr Göring.
-
-GEN, ALEXANDROV: Do you not think that Hitler and Göring intended—and
-not unsuccessfully at that—to inveigle you into participating in the
-fascist movement, knowing that in Germany you were an economist and
-financier of repute who shared their views?
-
-SCHACHT: I was uninformed about the intentions of these two gentlemen at
-that time. However, I can imagine that it was just as much a matter of
-interest for these gentlemen to meet Herr Schacht as it was for me to
-meet Herr Hitler and Herr Göring.
-
-GEN. ALEXANDROV: Then it was a matter of purely personal interest; or
-were other considerations involved, of a political nature? You yourself
-understood that your participation in the fascist movement would be of
-advantage to Hitler, inasmuch as you were a well-known man in your own
-country?
-
-SCHACHT: As far as I was concerned, I was only interested in seeing what
-kind of people they were. What motives these two gentlemen had are
-unknown to me, as I have already stated. My collaboration in the fascist
-movement was entirely out of the question, and it was not given...
-
-GEN. ALEXANDROV: Tell me, please...
-
-SCHACHT: Please let me finish. My collaboration was not given before the
-July elections of 1932. As I have stated here, the acquaintance was made
-in January 1931, which was 1½ years before these elections. Throughout
-these 1½ years no collaboration took place.
-
-GEN. ALEXANDROV: Tell me, was your acquaintance with Hitler and Göring
-exclusively limited to these meetings, or had you already met them
-before Hitler came into power?
-
-SCHACHT: Until July 1932 I saw Hitler and Göring, each of them, perhaps
-once, twice, or three times—I cannot recall that in these 1½ years. But
-in any case there is no question of any frequent meetings.
-
-GEN. ALEXANDROV: Then, how do you explain your letter to Hitler of 29
-August 1932 in which you offered your services to Hitler? You remember
-this letter?
-
-SCHACHT: Yes.
-
-GEN. ALEXANDROV: How do you explain it?
-
-SCHACHT: I have spoken about this repeatedly. Will you be so kind as to
-read it in the record?
-
-GEN. ALEXANDROV: Please repeat it once more, briefly.
-
-THE PRESIDENT: If he has been over it once, that is sufficient.
-
-GEN. ALEXANDROV: When, and by whom were you first invited to participate
-in the future Hitlerite Government and promised the post of President of
-the Reichsbank?
-
-SCHACHT: The President of the Reichsbank did not hold a position in the
-government, but was a high official outside the government. The first
-time that there was any talk in my presence about this post was on 30
-January 1933, when I accidentally ran into Göring in the lobby of the
-Kaiserhof Hotel, and he said to me, “Ah, there comes our future
-President of the Reichsbank.”
-
-GEN. ALEXANDROV: When answering the questions of your counsel, you
-declared that the fascist theory of race supremacy was sheer nonsense,
-that the fascist ideology was no ideology at all, that you were opposed
-to the solution of the Lebensraum problem by the seizure of new
-territories, that you were opposed to the Leadership Principle within
-the Fascist Party and even made a speech on this subject in the Academy
-of German Law, and that you were opposed to the fascist policy of
-exterminating the Jews.
-
-Is this right? Did you say this when answering the questions put by your
-counsel?
-
-SCHACHT: Yes, we both heard it here.
-
-GEN. ALEXANDROV: Well, then tell me, what led you to fascism and to
-co-operation with Hitler?
-
-SCHACHT: Nothing at all led me to fascism; I have never been a fascist.
-
-GEN. ALEXANDROV: Then what induced you to co-operate with Hitler since
-you had adopted a negative attitude toward his theories and the theories
-of German fascism?
-
-THE PRESIDENT: General Alexandrov, he has told us what he says led him
-to co-operate with Hitler. I think you must have heard him.
-
-GEN. ALEXANDROV: But it did, in fact, take place?
-
-[_Turning to the defendant._] In reply to a question by your counsel as
-to why you did not emigrate, you stated that you did not wish to be a
-simple martyr. Tell me, did you not know the fate which befell Germany’s
-outstanding personalities, who held democratic and progressive ideas
-when Hitler came to power? Do you know that they were all exiled or sent
-to concentration camps?
-
-SCHACHT: You are confusing things here. I did not answer that I did not
-want to be a martyr to the question of whether I wanted to emigrate; but
-I said, “Emigrants—that is, voluntary emigrants—never served their
-country,” and I did not want to save my own life, but I wanted to
-continue to work for the welfare of my country.
-
-The martyr point was in connection with a question following, as to
-whether I expected any good to have resulted for my country if I had
-died as a martyr. To that I replied, “Martyrs serve their country only
-if their sacrifice becomes known.”
-
-GEN. ALEXANDROV: You related it somewhat differently. I shall,
-nevertheless, repeat my question.
-
-THE PRESIDENT: I would be very grateful if you would repeat this
-question.
-
-GEN. ALEXANDROV: Do you know the fate which befell the foremost men of
-Germany, men who held progressive and democratic ideas when Hitler came
-to power? You know that all these people were either exiled or sent to
-concentration camps?
-
-SCHACHT: I expressly stated here that when I spoke of emigrants I meant
-those who were in exile, who did not leave the country under compulsion
-but left voluntarily—those are the ones I was speaking about. The
-individual fates of the others are not known to me. If you ask me about
-individual persons, I will tell you regarding each one of these people,
-whether I know his fate or not.
-
-GEN. ALEXANDROV: The fate of these great men is universally known. You,
-one of the few outstanding statesmen in democratic Germany, co-operated
-with Hitler. Do you admit this?
-
-SCHACHT: No.
-
-GEN. ALEXANDROV: You testified—and I am obliged to refer once again to
-the same question—that the entry in the Goebbels diary of 21 November
-1932 was false. Once again I remind you of this entry which Goebbels
-wrote, and I quote:
-
- “In a conversation with Dr. Schacht I found that he fully
- reflects our viewpoint. He is one of the few who fully agrees
- with the Führer’s position.”
-
-Do you continue to say that this entry does not conform to reality?
-
-This is the question which I am asking you.
-
-SCHACHT: I have never claimed that this entry was false. I only claimed
-that Goebbels got this impression and he was in error about it.
-
-GEN. ALEXANDROV: But according to your statement this entry does not
-conform to reality, to your attitude toward Hitler’s regime. Is that the
-case or not?
-
-SCHACHT: In the general way in which Goebbels represents it there, it is
-wrong; it is not correct.
-
-GEN. ALEXANDROV: Why did you not lodge a protest? After all, Goebbels’
-diary, including this entry, was published.
-
-SCHACHT: If I would have protested against all the inaccuracies which
-were printed about me, I would never have come to my senses.
-
-GEN. ALEXANDROV: But do you not see, this is not exactly an ordinary
-excerpt from Goebbels’ diary—and he was rather an outstanding statesman
-in fascist Germany—for he describes your political views; and if you
-were not in agreement with him it would have been appropriate for you,
-in some way or other, to take a stand against it.
-
-SCHACHT: Permit me to say something to this. Either you ask me—at any
-rate I should not like to have here a two-sided argument if it is only
-one-sided. I say that the diary of Goebbels is an unusually common piece
-of writing.
-
-GEN. ALEXANDROV: The witness, Dr. Franz Reuter, your biographer and
-close friend, in his written affidavits of 6 February 1946, presented to
-the Tribunal by your counsel as Document Schacht-35, testified to the
-following: “Schacht joined Hitler in the early thirties and helped him
-to power...”
-
-Do you consider these affidavits of the witness Dr. Franz Reuter as
-untrue, or do you confirm them?
-
-SCHACHT: I consider them wrong.
-
-GEN. ALEXANDROV: How far did you personally participate to help bring
-Hitler to power? I continue this question: Under what circumstances and
-for what purpose did you, in February 1933, organize a meeting between
-Hitler and the industrialists? This subject has already been mentioned
-before.
-
-SCHACHT: I did not help Hitler to come to power in any way. All this has
-been discussed here at great length. In February 1933 Hitler had already
-been in power quite some time. As to finances and the industrial
-meetings of February 1933, that has profusely been gone into.
-
-GEN. ALEXANDROV: What particular role did you play in this conference?
-
-SCHACHT: This, too, has been discussed in detail. Please read about it
-in the record.
-
-GEN. ALEXANDROV: I have already familiarized myself with the reports but
-you have not explained events sufficiently clearly. In order to shed
-some more light on the question I shall refer to Defendant Funk’s
-testimony of 4 June 1945. This is Document Number 2828-PS. I quote
-Defendant Funk’s testimony:
-
- “I was at the meeting. Money was not demanded by Göring but by
- Schacht. Hitler left the room, then Schacht made a speech asking
- for money for the election. I was only there as an impartial
- observer, since I enjoyed a close friendship with the
- industrialists.”
-
-Does this testimony of the Defendant Funk represent the truth?
-
-SCHACHT: Herr Funk is in error. Document D-203 has been presented here
-to the Court by the Prosecution...
-
-GEN. ALEXANDROV: But...
-
-SCHACHT: Please do not interrupt me. The Prosecution has submitted this
-document, and this document shows that Göring directed the request for
-financial aid and not I.
-
-GEN. ALEXANDROV: In this connection Defendant Funk declared that this
-speech was made by you and not by Göring. I ask you now, which statement
-represents the truth?
-
-SCHACHT: I have just told you that Herr Funk is in error and that the
-evidence of the Prosecution is correct.
-
-GEN. ALEXANDROV: Then what part did you play in connection with this
-conference?
-
-SCHACHT: This, too, I have already stated in detail, I am...
-
-THE PRESIDENT: The Tribunal has already heard a long cross-examination
-and it does not desire to hear the same facts or matters gone over
-again. Will you tell the Tribunal whether you have any points which the
-Soviet Union are particularly interested in, which have not been dealt
-with in cross-examination?
-
-GEN. ALEXANDROV: Mr. President, in his statements the Defendant Schacht
-did not reply in sufficient detail, nor were his answers sufficiently
-clear. I am therefore obliged, in certain instances, to refer to these
-questions again. It is, in particular, not clear to us what part the
-Defendant Schacht played in this meeting of the industrialists. It
-appears to me that Defendant Schacht did not give a sufficiently clear
-or well-defined reply to the question which I had asked him. As for the
-other questions, they are few in number and I imagine that after the
-recess I can try and finish with them in about 30 or 40 minutes. All
-these questions are of interest to us since they enable us to determine
-the guilt of the Defendant Schacht.
-
-THE PRESIDENT: Very well. The Tribunal is not prepared to listen to
-questions which have already been put.
-
-GEN. ALEXANDROV: Perhaps now you will find it desirable to declare a
-recess, in order to continue the cross-examination after the recess.
-
-THE PRESIDENT: No, General Alexandrov, the cross-examination will
-continue up to the recess.
-
-GEN. ALEXANDROV: Do you admit that, while acting as President of the
-Reichsbank and as Minister of Economics and Plenipotentiary for War
-Economy, you played a decisive part in preparing the rearmament of
-Germany and consequently, in preparing for a war of aggression?
-
-SCHACHT: No, I categorically deny that.
-
-GEN. ALEXANDROV: You were Plenipotentiary for War Economy?
-
-SCHACHT: Well, we have spoken about that here ten times already.
-
-GEN. ALEXANDROV: I did not hear it from your own lips, not once.
-
-THE PRESIDENT: He has admitted throughout—and, of course, it is
-obvious—that he was Plenipotentiary for War Economy; but what you put
-to him was, whether he as Plenipotentiary for War Economy took part in
-rearmament for aggressive war, and he has said over and over again that
-that was not his object, that his object was to gain equality for
-Germany. He said so, and we have got to consider whether that is true.
-But that he said it is perfectly clear.
-
-GEN. ALEXANDROV: In my subsequent questions it will be quite clear why I
-touch precisely on this question.
-
-How long did you occupy the post of Plenipotentiary for War Economy?
-
-SCHACHT: I have just stated that I do not understand the question—for
-what duration? All this has certainly been stated here already.
-
-THE PRESIDENT: We have got the date when he became Plenipotentiary for
-War Economy and the date when he ceased to be.
-
-GEN. ALEXANDROV: I should like to remind you of the duties imposed on
-you as Plenipotentiary by the Reich Defense Act of 21 May 1935. I shall
-quote a brief excerpt from Section 2 of this law, entitled
-“Mobilization”:
-
- “Point 1: For the purpose of directing the entire war economy
- the Führer and Reich Chancellor will appoint a Plenipotentiary
- for War Economy.
-
- “Point 2: It will be the duty of the Plenipotentiary for War
- Economy to utilize all economic possibilities in the interest of
- the war and to safeguard the economic well-being of the German
- people.
-
- “Point 3: Subordinate to him will be: the Reich Minister of
- Economics, the Reich Minister for Food and Agriculture, the
- Reich Labor Minister, the Chief Reich Forester, and all other
- Reich officials directly subordinate to the Führer and Reich
- Chancellor.
-
- “Further, he shall be responsible for the financing of the war
- within the sphere of the Reich Finance Ministry and the
- Reichsbank.
-
- “Point 4: The Plenipotentiary for War Economy shall have the
- right to enact public laws within his official jurisdiction
- which may differ from existing laws.”
-
-You admit that this law gave you extraordinary powers in the sphere of
-war economy?
-
-SCHACHT: This document is before the Court and I assume that you have
-read it correctly.
-
-GEN. ALEXANDROV: I am not asking you whether I have read this document
-correctly; I am asking you whether you admit that by this law you were
-given extraordinary powers in the sphere of the war economy? Do you
-admit that?
-
-SCHACHT: I had exactly the full powers which are described in the law.
-
-GEN. ALEXANDROV: Do you admit that these were not ordinary powers, but
-quite extraordinary powers?
-
-SCHACHT: No, I will not admit this at all.
-
-GEN. ALEXANDROV: In other words, you considered that the Reich Defense
-Law of 21 May 1935 was just an ordinary law?
-
-SCHACHT: It was simply an ordinary law.
-
-GEN. ALEXANDROV: And you also considered the functions imposed on you by
-this law as Plenipotentiary for War Economy ordinary functions?
-
-SCHACHT: As very common regulations which are customary with every
-general staff.
-
-THE PRESIDENT: The Court will adjourn now.
-
- [_A recess was taken._]
-
-
-
-
- _Afternoon Session_
-
-THE PRESIDENT: Yes, General Alexandrov.
-
-GEN. ALEXANDROV: Mr. President, taking into consideration the Tribunal’s
-desire, as well as the fact that Mr. Jackson has already questioned
-Schacht in detail, and having read the minutes of this morning’s
-session, it has been possible for me to shorten considerably the number
-of questions in my examination. I have only two to put to Defendant
-Schacht.
-
-Defendant Schacht, on 21 May 1935 the Reich Government made a decision
-with regard to the Reich Defense Council. The decision was as follows,
-citing Point 1:
-
- “It is the will of the Führer and Reich Chancellor that the
- Plenipotentiary General for War Economy shall take over this
- responsible directorate (Leitung), and is, as with the Reich War
- Minister, holder of the executive power, independent and
- responsible for his own sphere of activity to the Führer and
- Reich Chancellor.”
-
-Do you admit that you carried through actively this decision of the
-Reich Government; and that you took an active part in Germany’s economic
-preparations for aggressive wars?
-
-SCHACHT: No, Mr. Prosecutor, I definitely do not admit that.
-
-GEN. ALEXANDROV: On the 4th of March 1935, in your speech at the Spring
-Fair in Leipzig, you said the following, citing Exhibit Number USA-627
-(Document Number EC-415):
-
- “My so-called foreign friends are doing neither me nor the cause
- a service, nor a service to themselves, when they try to bring
- me into conflict with the impossible, so they say, National
- Socialist economic theories, and present me, so to speak, as the
- guardian of economic reason. I can assure you that everything I
- say and do is with the full consent of the Führer, and I shall
- neither do nor say anything which he has not approved.
- Therefore, the guardian of economic reason is not I but the
- Führer.”
-
-Do you confirm this speech you made at the Spring Fair in Leipzig?
-
-SCHACHT: I admit it and would like to make a statement.
-
-I have said repeatedly, first, that my foreign friends, as far as I had
-foreign friends, did not do me a service when they said publicly that I
-was an adversary of Hitler, because that made my position extremely
-dangerous. Secondly, I said in that speech I would not do anything which
-would not be according to my conviction, and that Hitler did everything
-I suggested to him, that is, that it was his opinion also. If I had said
-anything to the contrary, that would have been expressed. I was in
-complete accord with him as long as his policies agreed with mine;
-afterwards I was not, and left.
-
-GEN. ALEXANDROV: I have no more questions, Your Honor.
-
-THE PRESIDENT: Do you wish to re-examine, Dr. Dix?
-
-DR. DIX: I will put only a few questions which arose from the
-cross-examination.
-
-During the cross-examination, the New Plan was again dealt with without
-Dr. Schacht’s having had an opportunity of explaining it and of stating
-what role, if any, that plan had in the economy of rearmament and who
-was the originator, the responsible originator of the New Plan.
-Therefore, may I put this question to Dr. Schacht now?
-
-SCHACHT: The New Plan was a logical consequence of the economic
-development which followed the Treaty of Versailles. I mention again
-only briefly that by the removal of German property abroad, the entire
-organization for German foreign trade was taken away and therefore great
-difficulties arose for German exports.
-
-Without those exports, however, payment of reparations, or such, was out
-of the question. Nevertheless, all the great powers, particularly those
-who were competing with Germany on the world market, resorted to raising
-their tariffs in order to exclude German merchandise from their markets
-or to make it more difficult for Germany to sell her goods, so that it
-became more and more of a problem to develop German exports.
-
-When Germany, in spite of this, tried by lower prices, at the cost of
-lower wages to maintain or to increase her export trade, the other
-powers resorted to other means to meet German competition. I recall the
-various devaluations of foreign currencies which were made, again
-impeding the competition of German products. When even that did not
-suffice, the system of quotas was invented; that is, the amount of
-German goods which were imported into a country could not go beyond a
-certain quota; that was prohibited. Such quotas for German imports were
-established by Holland, France, and other nations; so here also German
-export was made increasingly difficult.
-
-All these measures to hinder German export led to the situation that
-German nationals also could no longer pay even private debts abroad. As
-you have heard here, for many years I had warned against incurring these
-debts. I was not listened to. It will be of interest to you to state
-here briefly that Germany, against my advice, had within five years
-contracted as large a foreign debt as the United States had throughout
-the 40 years before the first World War.
-
-Germany was a highly-developed industrial nation and did not need
-foreign money, and the United States at that time was going in more for
-colonial development and could make good use of foreign capital.
-
-We now hit the bottom. When we were no longer able to pay our interest
-abroad, some countries resorted to the method of no longer paying German
-exporters the proceeds from the German exports, but confiscated these
-funds, and out of this paid themselves the interest on our debts abroad;
-that is, effecting a settlement, so to speak. That was the so-called
-“clearing system.” The private claims were confiscated in order to meet
-the demands of foreign creditors.
-
-To meet this development, I looked for a way out to continue German
-exports. I set out a very simple principle: “I will buy only from those
-who buy from me.” Therefore, I looked around for countries which were
-prepared to cover their needs in Germany, and I prepared to buy my
-merchandise there.
-
-That was the New Plan.
-
-THE PRESIDENT: I do not know what we have to do with this, Dr. Dix.
-
-DR. DIX: Well, to make a long story short, the New Plan had nothing to
-do with the intention to rearm, let alone with any aggressive
-intentions.
-
-SCHACHT: Absolutely nothing.
-
-DR. DIX: In this connection, can you give an estimate as to what
-percentage of German economic production was armament production?
-
-SCHACHT: That question has been put to me in previous interrogations and
-at that time I was not able to answer it, because I could not recall
-what amount Germany expended on her armament. Now, from the testimony of
-Field Marshal Keitel, we have heard here that armament expenditure
-during these years when the Reichsbank was still co-operating, 1934-35,
-1935-36, 1936-37 and so on, amounted respectively to 5,000 million
-Reichsmark, 7,000 million Reichsmark and 9,000 million Reichsmark; that
-is the estimate of experts. The production of the entire German economy
-during these years could be estimated approximately at 50-60,000 million
-Reichsmark. If I compare that with the armament expenditure, which has
-been stated here by a witness, then we find that armament expenditure
-amounted to about 10 to 15 percent of the entire German economy during
-the years when I had anything to do with it.
-
-DR. DIX: Then, in the course of the cross-examination, there came up the
-question of your willingness or unwillingness to give up the office of
-Plenipotentiary for War Economy, and in order to prove your statement
-that General Von Blomberg did not wish you to give up that office, you
-referred to a document which has been submitted by the Prosecution. I am
-referring to Document EC-244, and it is a letter from the Reichswehr
-Minister, Von Blomberg, to Hitler, of 22 February 1937. It has already
-been read, so there is no need to do so now. May I only point out that
-in the last paragraph Blomberg expressed the desire that the Führer
-would direct or get the Reichsbank president to remain in office, so
-that covers the statement made by Schacht. Furthermore, in the course of
-cross-examination by Mr. Justice Jackson, mention was made of your
-credibility concerning the statement on your colonial aspirations; and
-from the point of view of colonial policy without mastery of the
-sea—Germany had not the mastery of the sea—can Germany have any
-colonial problems? That was the question and answer; and in that
-connection I would like to ask you: Did Germany have colonies before
-1914?
-
-SCHACHT: Yes.
-
-DR. DIX: Before 1914, or let us say between 1884 and 1914, that is, the
-time when Germany had colonial possessions, did Germany have mastery of
-the sea, especially as compared with Great Britain?
-
-SCHACHT: No, in no way.
-
-DR. DIX: That covers it. Then there is another problem from the point of
-view of the credibility of your statements: Mention has been made of the
-ethical conflicts concerning your oath to Hitler, as head of the State,
-as you say, and the intentions which you have revealed to overthrow
-Hitler, even to kill him. Do you not know of many cases in history where
-persons holding high office in a state attempted to overthrow the head
-of the state to whom they had sworn allegiance?
-
-SCHACHT: I believe you find these examples in the history of all
-nations.
-
-THE PRESIDENT: Dr. Dix, we are not concerned with past history, are we?
-You do not think the question of whether there are historical instances
-is a legitimate question to put to this witness?
-
-DR. DIX: Then I will not pursue that point any further; it is
-argumentation and maybe I can use it later in my final pleadings.
-
-Now, returning to the question of colonies, is it not correct that,
-apart from your personal colonial aspirations, Germany, the Reich
-Government, had prepared officially for the acquisition of her colonies
-and later their administration; and was not there a colonial policy
-department until 1942 or 1943 or thereabouts?
-
-SCHACHT: Well, it is set out explicitly in the Party program that the
-colonial demands are part of the Party program. Of course, the Foreign
-Office also concerned itself with it and I believe also in the Party
-there was a colonial policy department.
-
-DR. DIX: Under Ritter Von Epp?
-
-SCHACHT: Yes, under Ritter Von Epp.
-
-DR. DIX: Then concerning the question of the mefo bills, I only want to
-summarize: Did you mean to imply that the mefo bills were to serve as a
-brake on rearmament, because the signature of the Reich to these bills,
-that is of the Reich Government, was binding for their repayment?
-
-SCHACHT: You see, I said very clearly that the limitation of the mefo
-bills to 5 years, and making them mature in 5 years, would automatically
-put a brake on armament.
-
-DR. DIX: Furthermore, Mr. Justice Jackson dealt with the point that the
-name of Schacht, when he retained office as Minister without Portfolio,
-had a propaganda value in favor of the Nazi regime abroad and therefore
-served the aggressive intentions and their execution. In this connection
-and in order to shorten the presentation of my documents, may I read
-from my document book, Exhibit 37(a), Document Schacht-37(a); that is,
-the English text is on Page 157 and the German on Page 149. On Page 5 of
-that long affidavit Huelse states:
-
- “The foreign press drew from the dismissal”—that is, the
- dismissal as Reichsbank President in 1939—“the correct
- conclusions and interpreted it as a warning signal. In this
- connection in repeated conversations, even at the end of 1938,
- and in agreement with Dr. Schacht, I spoke with representatives
- of foreign issuing banks, whom I had met at board meetings of
- the Bank for International Settlement, and I informed them that
- the resignation of Schacht and individual members of the
- Reichsbank Directorate meant that things in Germany were
- following a dangerous path.”
-
-Furthermore, the Prosecutor for the Soviet Union has accused Dr.
-Schacht, because in the biography of Reuter it is stated expressly that
-Schacht assisted the regime during the stage of the struggle for power.
-At any rate, that is the substance. That is correct as a quotation from
-Reuter’s book, but there is something else. I believe we still have to
-submit Exhibit 35 (Document Schacht-35), Page 133 of the English text
-and 125 of the German, and there we find on the second page of that long
-affidavit the following sentences, which limit the authenticity of that
-biography and prove it to be a biased piece of writing. Reuter says in
-this affidavit, and I quote:
-
- “I had a biography of Dr. Schacht published twice, first at the
- end of 1933 by the Publishing House R. Kittler in Berlin, and at
- the end of 1936 by the German Publishing Institute in Stuttgart.
- Besides its being a factual presentation of his life and his
- work, it also served the purpose of shielding him from his
- attackers. Therefore the principles of purely objective
- historical research are not applicable to this publication,
- because defensive views required by the situation at the time
- has to be taken into consideration.”
-
-This must be known and read before one can estimate the evidential value
-of that biography.
-
-And that concludes my questions.
-
-THE PRESIDENT: The defendant can then retire.
-
-DR. DIX: I now call the witness Vocke with Your Lordship’s permission.
-
-[_The witness Vocke took the stand._]
-
-THE PRESIDENT: Will you state your full name?
-
-WILHELM VOCKE (Witness): Wilhelm Vocke.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The witness repeated the oath in German._]
-
-THE PRESIDENT: You may sit down.
-
-DR. DIX: Herr Vocke, you were a member of the Directorate of the
-Reichsbank. When did you enter the Reichsbank Directorate, and when did
-you resign from it?
-
-VOCKE: Reich President Ebert appointed me a member of the Reichsbank
-Directorate in 1919, and Hitler dismissed me from office on 1 February
-1939. Therefore, I was for about 20 years a member of the Reichsbank
-Directorate, and for 10 of these years I was under Schacht.
-
-DR. DIX: Excuse me, but I must ask you, were you a member of the Party?
-
-VOCKE: No.
-
-DR. DIX: Were you a member of the SA?
-
-VOCKE: No.
-
-DR. DIX: Were you a member of the SS?
-
-VOCKE: No.
-
-DR. DIX: Were you a sponsoring member of the SA or SS?
-
-VOCKE: No.
-
-DR. DIX: You had no connection with the Party?
-
-VOCKE: No.
-
-DR. DIX: When did you meet Schacht?
-
-VOCKE: In 1915. I merely made his acquaintance then, but it was not
-until he became Reichsbank Kommissar and Reichsbank President, that I
-came to know him better.
-
-DR. DIX: I come now to the period of the first Reichsbank presidency of
-Schacht, that is, the year 1923. At that time what was the attitude of
-the Reichsbank Directorate to the candidature of Schacht as Reichsbank
-President?
-
-VOCKE: A disapproving attitude.
-
-DR. DIX: And for what reason?
-
-VOCKE: We wanted Helferich as candidate for the presidency of the
-Reichsbank, because Helferich, in close co-operation with the
-Reichsbank, had created the Rentenmark and stabilization of currency.
-
-But as reason for our disapproval of Schacht, we mentioned an incident
-contained in Schacht’s dossier which referred to his activity under Herr
-Von Jung in 1915. According to this, Schacht, who had come from the
-Dresdner Bank, had rendered assistance to the Dresdner Bank which Von
-Jung did not consider quite correct, and that was the reason for
-Schacht’s dismissal at that time.
-
-The Reich Government, however, did not heed the criticism which we made
-against Schacht, and as Minister Severing told me recently, he followed
-the proverb, “It is not the worst fruit which is eaten by worms,” and
-Schacht was appointed President.
-
-DR. DIX: So that Schacht came to you as President, and he must have
-known that the Directorate did not want him, or at any rate wanted
-somebody else. Therefore, I assume the question is in order as to what
-the relations were among that group, that is, the Reichsbank Directorate
-and the new President.
-
-VOCKE: Schacht took up his office in January 1924. He called us all to a
-meeting in which he spoke very frankly about the situation, and this was
-the substance of what he said: Well, you disapproved of me for President
-because I stole silver spoons; but now I am your President, and I hope
-that we will work together, and we will get to see eye to eye—that was
-the expression used by Schacht—however, if one or another of you feels
-that he cannot work with me, well, then he will have to take the
-consequences, and I will gladly assist him to find another position.
-
-Our relations with Schacht soon became good and we worked together
-successfully. It was very good to work with Schacht. We quickly
-recognized that he was an unrivalled expert in his and our branch, and
-also in other respects his conduct was beyond reproach. He was clean in
-his dealings and there was no nepotism. Neither did he bring with him
-any men whom he wanted to push. Also he was a man who at all times
-tolerated controversy and differing opinions—he even welcomed them. He
-had no use for colleagues who were “yes men.”
-
-THE PRESIDENT: There is neither any charge nor any issue about this.
-
-DR. DIX: That is quite correct, Your Lordship, but I thought it would be
-helpful to touch upon these things. But we are now at the end, and will
-come to the Reichsbank presidency from 1933 on.
-
-[_Turning to the witness._] After his short period of retirement Schacht
-again became President of the Reichsbank in 1933. Did you have any
-conversations with him about his relations to Hitler and to the Party?
-
-VOCKE: Yes.
-
-DR. DIX: Would you like to describe to the Tribunal the kind of
-statements Schacht made to you?
-
-VOCKE: First, I would like to mention two conversations which I remember
-almost word for word. During the period when Schacht was not in office,
-that is about three years, I hardly ever saw him, maybe three or four
-times at occasions at the Wilhelmstift. He never visited me, nor did I
-visit him, except once, when Schacht came into the bank—maybe he had
-some business there—and visited me in my office. We at once...
-
-DR. DIX: When was that?
-
-VOCKE: That must have been in 1932, a comparatively short time before
-the seizure of power. We immediately began to speak about political
-questions, about Hitler and Schacht’s relations to Hitler. I used that
-opportunity to warn Schacht seriously against Hitler and the Nazis.
-Schacht said to me: “Herr Vocke, one must give this man or these people
-a chance. If they do no good, they will disappear. They will be cleared
-out in the same way as their predecessors.”
-
-I told Schacht: “Yes, but it may be that the harm done to the German
-people in the meantime will be so great that it can never be repaired.”
-
-Schacht did not take that very seriously, and with some light remark,
-such as: You are an old pessimist, or something like that, he left.
-
-The second conversation about which I want to report took place shortly
-after Schacht’s re-entry into the bank. It was probably in March 1933,
-or the beginning of April. Schacht at that time showed a kind of
-ostentatious enthusiasm, and I talked to him about his relation to the
-Party. I assumed that Schacht was a member of the Party. I told him that
-I had no intention of becoming a member of the Party, and Schacht said
-to me: “You do not have to. You are not supposed to. What do you think?
-I would not even dream of becoming a member of the Party. Can you
-imagine me bending under the Party yoke, accepting the Party discipline?
-And then, think of it, when I speak to Hitler I should click my heels
-and say, ‘Mein Führer,’ or when I write to him address him as ‘Mein
-Führer.’ That is quite out of the question for me. I am and remain a
-free man.”
-
-That conversation took place and those words were spoken by Schacht at a
-time when he was at the apex of a rapprochement with Hitler, and many a
-time I have thought about it, whether it was true, and remained true,
-that Schacht was a free man.
-
-As things turned out, after a few years Schacht was forced to realize to
-his sorrow that he had lost a great deal of his freedom, that he could
-not change the course of the armaments financing scheme, upon which he
-had embarked, when he wished to do so; that it had become a chain in the
-hands of Hitler and that it would take years of filing and tugging for
-it to break.
-
-But, in spite of that, his words were true inasmuch as they reflected
-the inner attitude of Schacht towards Hitler. Schacht never was a blind
-follower. It was incompatible with his character, to sign himself away
-to somebody, to sell himself and follow with blind devotion.
-
-If one should seek to characterize Schacht’s attitude to Hitler thus: My
-Führer, you command, I follow; and if the Führer ordered him to prepare
-an armament program: I will finance an armament program, and it is for
-the Führer to decide to what use it shall be put, whether for war or
-peace—that would be incompatible with Schacht’s attitude and character.
-He was not a man who thought along subaltern lines or who would throw
-away his liberty; in that Schacht differed fundamentally from a great
-many men in leading political and military positions in Germany.
-
-Schacht’s attitude, as I came to know it from his character and from his
-statements, could be explained somewhat as follows: Schacht admired this
-man’s tremendous dynamic force directed towards national aims, and he
-took account of this man, hoping to use him as a tool for his own plans,
-for Schacht’s plans towards a peaceful political and economic
-reconstruction and strengthening of Germany. That is what Schacht
-thought and believed, and I take that from many statements made by
-Schacht...
-
-DR. DIX: That, I think, answers the question fully. Now the Prosecution
-accuses Schacht and alleges that Hitler picked out Schacht to finance
-armament for an aggressive war. You, Herr Vocke, were a member of the
-Reichsbank Directorate and you worked with him during all those years.
-Therefore, I ask you to tell the Tribunal whether anything transpired in
-the course of conversations, or whether you noticed anything about
-Schacht’s activities and work which would justify such a reproach.
-
-VOCKE: No. Schacht often expressed the view that only a peaceful
-development could restore Germany and not once did I hear him say
-anything which might suggest that he knew anything about the warlike
-intentions of Hitler. I have searched my memory and I recall three or
-four incidents which answer that question quite clearly. I should like
-to mention them in this connection.
-
-The first was the 420 million gold mark credit which was repaid in 1933.
-Luther, when the Reichsbank cover disintegrated in the crisis...
-
-DR. DIX: May I interrupt for the information of the Tribunal: Luther was
-Schacht’s predecessor.
-
-VOCKE: ...in 1931 when the cover for the issue of notes had to be cut
-down, Luther in his despair sent me to England in order to acquire a
-large credit in gold from the Bank of England which would restore
-confidence in the Reichsbank. Governor Norman was quite prepared to help
-me, but he said that it would be necessary for that purpose to approach
-also the Federal Reserve Bank of New York, the Bank of France, and the
-International Bank in Basel. That was done and the credit amounted to
-420 million gold marks, but the inclusion of the Bank of France created
-political difficulties which delayed the credit for about 10 or 12 days.
-
-When I returned to Berlin I was shocked to hear that the greater part of
-the credit had already been used up. The gold was torn from our hands,
-and I told Luther: The credit has lost its usefulness and we must repay
-it immediately. Our honor is our last asset. The banks which have helped
-us shall not lose a single pfennig.
-
-Luther did not have sufficient understanding for that, and he said in so
-many words: What one has, one holds. We do not know for what purpose we
-may still have urgent need of the gold. And so the credit was extended
-and dragged out over years.
-
-When Schacht came to the bank in 1933, I told myself that Schacht would
-understand me, and he did understand me immediately. He agreed with me
-and repaid that credit without hesitation. It never entered his head for
-what other purpose one might use that enormous sum of gold, and I say
-here that if Schacht had known of any plans for a war, he would have
-been a fool to pay back 420 million gold marks.
-
-As to the second incident, I cannot give the exact date, but I believe
-it was in 1936. The Reichsbank received a letter from the Army Command
-or the General Staff marked “Top Secret,” with the request to remove the
-gold reserves of the Reichsbank, the securities and bank note reserves
-from the frontier regions of Germany to a zone in the interior. The
-reasons given were the following: In the event of a threat to attack
-Germany on two fronts, the Army Command had decided to evacuate the
-frontier areas and to confine itself to a central zone which could be
-defended under all circumstances. I still remember from the map which
-was attached to the letter that the line of defense in the East...
-
-THE PRESIDENT: It seems to the Tribunal that this is very remote from
-any question we have to decide.
-
-DR. DIX: Your Lordship, that map which the witness wants to describe
-shows clearly and beyond doubt that the attitude of the German High
-Command in 1936 was a defensive attitude and one which accepted the
-greatest strategic disadvantages, and this was communicated to the
-Reichsbank under the presidency of Schacht. We can see from that
-communication that nobody at that time even thought of aggressive
-intentions of the Army Command.
-
-THE PRESIDENT: At what time?
-
-DR. DIX: 1936, I understood him to say that. Perhaps it is better that
-he should give you the date.
-
-VOCKE: I cannot say exactly what the date was, but it must have been
-about 1936, in my estimation.
-
-DR. DIX: I believe that it is rather relevant. May the witness continue?
-
-THE PRESIDENT: Yes.
-
-VOCKE: The line of defense in the East went from Hof straight up to
-Stettin; I cannot remember so well where the western line was drawn, but
-Baden and the Rhineland were outside of it.
-
-The Reichsbank was shocked to hear that and about the threat of a
-two-front attack on Germany and the tremendous sacrifice of German
-territory. It was also shocked at the idea that the Reichsbank, in the
-event of an occupation of these regions by the enemy, would have to
-leave these occupied territories without any financial support.
-Therefore we refused the last-mentioned request, but, as far as the gold
-was concerned, we placed it in Berlin, Munich, Nuremberg, and so on.
-
-We could no longer have any doubt, however, after this top secret
-document, about the defensive character of our armaments and
-preparations.
-
-I come to a third incident. That was in 1937. At that time, when the
-economy was already racing ahead and more and more money was being put
-up, Schacht asked for the support of the German professors of economy
-and called them together to persuade them to work along his lines, that
-is, to try to check this trend. At that meeting one of those present
-asked Schacht the question: “What will happen if war breaks out?”
-Schacht got up and said: “Gentlemen, then we are lost. Then everything
-is over with us. I ask you to drop this subject. We cannot worry about
-it now.”
-
-Now I come to the fourth incident, which also leaves no doubt about
-Schacht’s attitude or the completeness of his information. That was a
-conversation immediately after the outbreak of the war. In the first few
-days Schacht, Huelse, Dreyse, Schniewind and I met for a confidential
-talk. The first thing Schacht said was: “Gentlemen, this is a fraud such
-as the world has never seen. The Poles have never received the German
-offer. The newspapers are lying in order to lull the German people to
-sleep. The Poles have been attacked. Henderson did not even receive the
-offer, but only a short excerpt from the note was given to him verbally.
-If at any time at the outbreak of a war, the question of guilt was
-clear, then it is so in this case. That is a crime the like of which
-cannot be imagined.”
-
-Then Schacht continued: “What madness to start a war with a military
-power like Poland, which is led by the best French general staff
-officers. Our armament is no good. It has been made by quacks. The money
-has been wasted without point or plan.”
-
-To the retort: “But we have an air force which can make itself felt,”
-Schacht said: “The air force does not decide the outcome of a war, the
-ground forces do. We have no heavy guns, no tanks; in three weeks the
-German armies in Poland will break down, and then think of the coalition
-which still faces us.”
-
-Those were Schacht’s words and they made a deep impression on me; for me
-they are a definite and clear answer to the question which Dr. Dix put
-to me.
-
-DR. DIX: Now, in the course of those years from 1933 to 1939 did Schacht
-ever speak to you about alleged or surmised war plans of Hitler?
-
-VOCKE: No, never.
-
-DR. DIX: What was Schacht’s basic attitude to the idea of a war; did he
-ever mention that to you?
-
-VOCKE: Yes, of course, fairly often. Schacht always emphasized that war
-destroys and ruins both the victor and the vanquished, and, in his and
-our field, he pointed to the example of the victorious powers whose
-economy and currency had been devaluated and partly even crippled.
-England had to devaluate her currency; in France there was a complete
-breakdown of the financial system, not to speak of other powers such as
-Belgium, Poland, Romania, and Czechoslovakia.
-
-DR. DIX: Schacht made these statements?
-
-VOCKE: Yes, he did, and quite frequently. Schacht went into detail and
-was very definite about the situation in neutral countries. Schacht said
-again and again: There will be conflicts and war again, but for Germany
-there is only one policy, absolute neutrality. And he quoted the
-examples of Switzerland, Sweden, and so on, who by their neutral
-attitude had grown rich and more powerful and become creditor nations.
-Schacht again and again emphasized that very strongly.
-
-DR. DIX: In that connection you will understand my question. How can you
-explain then, or rather, how did Schacht explain to you the fact that he
-was financing armament at all?
-
-VOCKE: Schacht believed at that time that a certain quantity of
-armaments, such as every country in the world possessed, was also
-necessary for Germany for political...
-
-DR. DIX: May I interrupt you. I want you to state only the things which
-Schacht told you; not your opinions about what Schacht may have thought,
-but only what Schacht actually said to you.
-
-VOCKE: Yes. Schacht said a foreign policy without armament was
-impossible in the long run. Schacht also said that neutrality, which he
-demanded for Germany in case of conflict between the big powers, must be
-an armed neutrality. Schacht considered armaments necessary, because
-otherwise Germany would always be defenseless in the midst of armed
-nations. He was not thinking of definite attack from any side, but he
-said that in every country there was a militarist party which might come
-to power today or tomorrow, and a completely helpless Germany,
-surrounded by other nations, was unthinkable. It was even a danger to
-peace because it was an incentive to attack her one day. Finally,
-however, and principally Schacht saw in armaments the only means of
-revitalizing and starting up German economy as a whole. Barracks would
-have to be built; the building industry, which is the backbone of
-economy, must be revitalized. Only in that way, he hoped, could
-unemployment be tackled.
-
-DR. DIX: Now, events led to the militarization of the Rhineland, the
-reintroduction of compulsory military service. Did you have
-conversations with Schacht in which he said that if this policy of
-Hitler was pursued it might lead to a war, at least to an armed
-intervention by other nations which did not approve of such policies?
-Were there any such conversations between you and Schacht?
-
-VOCKE: Not in the sense of your question. Schacht did speak to me about
-the incidents when the Rhineland was reoccupied, that is to say, he
-explained to me how at that time Hitler, as soon as France adopted a
-somewhat menacing attitude, was resolved to withdraw his occupation
-forces—Hitler had climbed down—and how he was only prevented in this
-by Herr Von Neurath, who said to him: “I was against that step, but now
-that you have done it, it will have to stand.” What Schacht told me at
-that time about Hitler’s attitude was that Hitler would do anything
-rather than have a war. Schacht also felt this, as he told me, when he
-mentioned the friendship with Poland, the renunciation of his claim to
-Alsace-Lorraine, and, in particular, Hitler’s policy during the first
-years, all of which was a peaceful policy. Only later did he begin to
-have misgivings as regards foreign policy.
-
-DR. DIX: What were Schacht’s principles and ideas in foreign policy and
-how did these line up with his attitude to Hitler’s foreign policy?
-
-VOCKE: He definitely disapproved, especially, of course, since
-Ribbentrop had gained influence in foreign politics; Schacht saw in him
-the most incapable and irresponsible of Hitler’s advisers. But already
-before that there were serious differences of opinion between Schacht
-and Hitler on foreign policy.
-
-For instance, as regards Russia: Already from 1928-29 onwards Schacht
-had built up a large trade with Russia by long term credits which helped
-the economy of both countries. He has often been attacked on account of
-that, but he said: “I know what I am doing. I also know that the
-Russians will pay punctually and without bargaining. They have always
-done it.” Schacht was very angry and unhappy when Hitler’s tirades of
-abuse spoiled the relations with Russia and brought this extensive trade
-to an end.
-
-Also, with regard to China, Schacht was convinced of the importance of
-trade with China and was just about to develop it on a large scale, when
-Hitler, by showing preference to Japan and recalling the German advisers
-to Chiang Kai-Shek, again destroyed all Schacht’s plans. Schacht saw
-that this was a fatal mistake and said that Japan would never be able
-nor willing to compensate us for the loss of trade with China.
-
-Also Schacht always advocated close co-operation with the United States,
-with England, and with France. Schacht admired Roosevelt and was proud
-of the fact that Roosevelt, through the diplomat Cockerill, kept in
-constant touch with him. Schacht was convinced of the necessity of
-remaining on the best terms with England and France and for that very
-reason he disapproved of Ribbentrop being sent to London and actively
-opposed this plan.
-
-Schacht was against Hitler’s policy towards Italy. He knew that
-Mussolini did not want to have anything to do with us, and he considered
-him the most unreliable and the weakest partner.
-
-With regard to Austria, I know only that Schacht thought highly of
-Dollfuss and was horrified and shocked when he heard of his murder. Also
-after the occupation of Austria, he disapproved of much that happened
-there.
-
-May I, in this connection, say a word about Schacht’s colonial policy,
-which was a sort of hobby of Schacht’s, and about which he once gave a
-lecture? I can best illustrate Schacht’s views by telling you about the
-orders which he gave me. Schacht’s idea was to make an arrangement with
-England, France, _et cetera_, whereby these powers should purchase part
-of the Portuguese colony of Angola and transfer it to Germany, who would
-not exercise any sovereign rights, but would exploit it economically;
-and he had experts’ opinions...
-
-THE PRESIDENT: Dr. Dix, the Tribunal thinks that this is being given in
-far too great length.
-
-DR. DIX: Well, we can leave out the individual examples. The late Field
-Marshal Von Blomberg made a statement to the effect that the Reichsbank
-received every year from the Reichswehr Ministry a written communication
-about the state of the armaments. Do you, who were a member of the
-Directorate, know anything about this communication?
-
-VOCKE: No, I have never heard anything about it.
-
-DR. DIX: From the whole of your experience in the Reichsbank and your
-experience with Schacht’s attitude to his colleagues, do you consider it
-possible that Schacht personally received that information, but did not
-pass it on to any of his colleagues in the Reichsbank Directorate?
-
-VOCKE: It may be, but I consider it highly improbable.
-
-DR. DIX: Now, when did Schacht start to try to stop the financing of
-armaments and thereby check rearmament; and, if he did try, and if you
-can affirm it, what were his reasons?
-
-VOCKE: Schacht made the first attempts to limit armaments, I believe,
-about 1936, when economy was running at top speed and further armament
-seemed an endless spiral. The Reichsbank was blocked and, I believe, in
-1936, Schacht himself started making serious attempts to put an end to
-armaments.
-
-DR. DIX: And do you know from your own experience what these attempts
-were?
-
-VOCKE: These attempts continued throughout the following years: First,
-Schacht tried to influence Hitler and that proved to be in vain. His
-influence decreased as soon as he made any such attempt. He tried to
-find allies in the civic ministries, and also among the generals. He
-also tried to win over Göring, and he thought he had won him over, but
-it did not work. Schacht then put up a fight and at last he succeeded in
-stopping the Reichsbank credits for armaments. That was achieved at the
-beginning of March 1938. But that did not mean that he discontinued his
-efforts to stop rearmament itself, and he continued to use every means,
-even sabotage.
-
-In 1938 he issued a loan at a time when he knew that the previous loan
-had not yet been absorbed—when the banks were still full of it; and he
-made the amount of the new loan so big that it was doomed to failure. We
-waited eagerly to see whether our calculations were correct. We were
-happy when the failure became obvious and Schacht informed Hitler.
-
-Another way in which he tried to sabotage armaments was when the
-industries which applied for loans to expand their factories were
-prohibited from doing so by Schacht, and thus were prevented from
-expanding. The termination of the Reichsbank credit did not only mean
-that the Reichsbank could no longer finance armaments, but it dealt a
-serious blow to armament itself. This was shown in 1938, when financing
-became extremely difficult in all fields and, upon Schacht’s
-resignation, immediately reverted to the direct credits of the issuing
-bank, which was the only means of maintaining elastic credit, perpetual
-credit, so to speak, which Hitler needed and could never have received
-from Schacht.
-
-I know that from my personal recollection, because I protested against
-that law which was put to me and which Hitler issued after Schacht’s
-dismissal. I said to the Vice President: I am not going to have anything
-to do with it.
-
-Thereupon, I was immediately dismissed ten days after the dismissal of
-Schacht.
-
-DR. DIX: Well, Herr Vocke, for an outsider the motive for stopping the
-financing of armaments might have been purely economic. Have you any
-grounds, have you any experience which shows that Schacht was now also
-afraid of war, and wanted to prevent a war by this stoppage of credit?
-
-VOCKE: Yes. At any rate, in 1938 the feeling that this tremendous
-armaments program which had no limits would lead to war became stronger
-and stronger, especially after the Munich Agreement. In the meantime
-Schacht had realized, and I think the Fritsch affair had made it very
-clear to him, that Hitler was the enemy, and that there was only one
-thing to do; that was to fight against Hitler’s armament program and
-warmongering by every possible means. These means, of course, were only
-financial, such as the sabotage, _et cetera_, as I have already
-described. The final resort was the memorandum by which Schacht forced
-his resignation.
-
-DR. DIX: We will speak later about that. May I ask you another question?
-The Tribunal knows about the method of financing this credit, namely, by
-mefo bills, so you need not say anything about that. What I want to ask
-you is now, in your opinion as a lawyer, could the financing of
-armaments by these mefo bills be reconciled with banking law?
-
-VOCKE: The mefo bills and the construction of that transaction had, of
-course, been legally examined beforehand; and the point of their
-legality had been raised with us, and the question as to whether these
-bills could be brought under banking law had been answered in the
-affirmative. The more serious question, however, was whether these bills
-fulfilled the normal requirements which an issuing bank should demand of
-its reserves. To that question, of course, the answer is definitely
-“no.”
-
-If one asks, why did not the bank buy good commercial bills instead of
-mefo bills, the answer is that at that time there had been no good
-commercial bills on the market for years—that is, since the collapse
-due to the economic crisis. Already under Brüning schemes for assisting
-and restoring economy and credit had been drawn up, all of which
-followed similar lines, that is, they were sanctioned according to their
-nature as normal credits along the lines of a semipublic loan; for the
-Bank was faced with the alternative of standing by helplessly and seeing
-what would happen to the economy or of helping the Government as best it
-could to restore and support the economy. All issuing banks in other
-countries were faced with the same alternative and reacted in the same
-manner. Thus the armaments bills, which, economically speaking, were
-nothing more than the former unemployment bills, had to serve the same
-purpose. From the point of view of currency policy the Reichsbank’s
-reserves of old bills, which had been frozen by the depression, were
-again made good.
-
-All the regulations under banking law, the traditional regulations
-concerning banking and bills policy, had only one aim, namely, to avoid
-losses.
-
-DR. DIX: I believe, Herr Vocke, it will be sufficient for the Tribunal
-if you could confirm that in the end the legal experts of the Reichsbank
-pronounced the mefo bills to be legal. The reasons for this, if Your
-Lordship agrees, we can omit.
-
-Now we come to the memorandum which you have already mentioned. I want
-you to describe to the Tribunal the reasons which caused the Reichsbank
-Directorate, with Schacht at the head, to submit that memorandum to
-Hitler, and what the tactical purposes were which the Directorate, and
-therefore Schacht, hoped to achieve by that memorandum.
-
-VOCKE: If we had been able to speak frankly, of course, we would have
-said: You must stop armaments. But the Reichsbank itself could not do
-this. Instead, we had to limit ourselves to the question of our
-responsibility for the currency. Therefore, the Reichsbank memorandum
-dealt with the question of currency. It said: If the financing of
-armaments is continued, German currency will be ruined and there will be
-inflation in Germany.
-
-The memorandum also spoke of limitless credits, of unrestrained
-expansion of credits, and unrestrained expenditure. By expenditure we
-meant armaments. That was quite clear.
-
-THE PRESIDENT: We have all seen the memorandum, have we not?
-
-DR. DIX: He is not speaking about the contents of the memorandum, but of
-the reasons, the tactical reasons.
-
-[_Turning to the witness._] You understand, Herr Vocke, the Tribunal
-knows the text of the memorandum, so please confine yourself to what I
-have asked you.
-
-VOCKE: The memorandum had to deal with the question of currency, but at
-the same time, we made quite clear what we wanted: Limitation of foreign
-policy. That shows clearly what we wanted: Limitation of expenditure,
-limitation of foreign policy, of foreign policy aims. We pointed out
-that expenditure had reached a point beyond which we could not go, and
-that a stop must be put to it. In other words, the expenditure policy,
-that is the armaments program must be checked.
-
-DR. DIX: Now tell us, did you anticipate the effect that that memorandum
-would have on Hitler? What did you expect, tactically?
-
-VOCKE: Either the memorandum would result in a halt of this intolerable
-expenditure which had brought us to ruin—for at the end of 1938 there
-was no more money available, instead there was a cash deficit of nearly
-1,000 million. That had to be faced, and the Minister of Finance was on
-our side. If this was not recognized, then the smash would come and we
-would have to be released. There was no other alternative. We took the
-unusual step of getting the whole Directorate to sign this document.
-
-DR. DIX: That, in my experience, is quite unusual, because generally an
-official document of the Reichsbank is signed by the President or his
-deputy, is it not?
-
-VOCKE: That is true. We wanted to stress that the entire Directorate
-unanimously approved this important document which was to put an end to
-armaments.
-
-DR. DIX: That, Witness, is clear. Have you any reason for believing that
-Hitler recognized that fact?
-
-VOCKE: Yes, Hitler said something to the effect that that would be
-“mutiny.” I think that is the word they use in the Army. I have never
-been a soldier, but I think that when a complaint is signed by several
-soldiers, it is looked upon as mutiny. Hitler had the same ideas.
-
-DR. DIX: Yes, something like that does exist. But you were not present
-there. Who told you about that expression “mutiny”?
-
-VOCKE: I cannot remember that any more. I believe it was Herr Berger of
-the Finance Ministry. But I cannot say exactly.
-
-DR. DIX: So there was talk about this expression in ministerial circles?
-
-VOCKE: Yes.
-
-DR. DIX: Now, that memorandum also contained a compliment to Hitler, a
-reference to his success in foreign policy.
-
-VOCKE: Yes, Schacht had adopted the habit of using flattery in his
-dealings with Hitler. The greater an opponent of the Hitler regime
-Schacht became, the more he made use of this flattery. Therefore, in
-that memorandum, at any rate at the beginning where he spoke of Hitler’s
-successes, he also used those tactics.
-
-DR. DIX: And what was the consequence of that memorandum? Please tell us
-briefly.
-
-VOCKE: The result was that first Schacht was dismissed, then Kreide and
-Huelse, then I, Erhard, and Lessing. The result, however, was that they
-knew abroad what things had come to in Germany. My colleague Huelse had
-made unequivocal statements in Basel, and said that if we should be
-dismissed, then our friends would know to what pass things had come.
-
-DR. DIX: Did Herr Huelse tell you that?
-
-VOCKE: Yes, Huelse told me that.
-
-DR. DIX: Your Lordship, shall we make a short pause here? I have not
-much more, but I still have the documentary evidence.
-
-THE PRESIDENT: How much longer do you think you will take before you
-finish?
-
-DR. DIX: It is very short and then the documentary evidence is also very
-short. Shall I continue?
-
-THE PRESIDENT: The Tribunal will adjourn.
-
- [_A recess was taken._]
-
-DR. DIX: Now, Witness, you have described to the Tribunal how that
-dismissal of Schacht and yourself came about. Why did Schacht not take
-that step before? Did he talk to you about it?
-
-VOCKE: No. Throughout the years 1936 and 1937 we could not make up our
-minds. At first there was still hope that Hitler would steer a
-reasonable course as a statesman. Finally, in 1938, we reached a crisis,
-particularly in connection with the Munich Agreement and then after the
-Munich Agreement. Then, indeed, there was real anxiety that things would
-lead to war, and we then saw that we had to force the decision.
-
-However, one has to consider the following: As a bank we could not bring
-up political or military arguments or demands which were not within our
-competence. The danger of inflation, which we had stressed in that
-memorandum, did not show until 1938, when the note circulation during
-the last ten months had increased enormously—more than throughout the
-five preceding years.
-
-DR. DIX: So that it was not until that year that, let us say, a pretext,
-a means, was found to take that leap?
-
-VOCKE: Yes.
-
-DR. DIX: Now I will end with a general question. The high intelligence
-of Dr. Schacht is not disputed—that he was disappointed in Hitler and
-deceived by him, he says himself. You yourself, with your knowledge of
-Schacht’s personality must probably have had your own ideas as to how
-this mistake on the part of Schacht could be explained, how he could
-have been so deceived. Therefore, if the Tribunal permits, I should be
-grateful if you could give us your personal impressions about it, but...
-
-MR. JUSTICE JACKSON: Your Honor, may I make an objection? I do not
-understand how the operations of Dr. Schacht’s mind can be explained by
-someone else. I have had no objection to any facts which this witness
-has known. We have even let him detail here at great length private
-conversations. However, speculation on Schacht’s mental operations, it
-seems to me, is beyond the pale of probative evidence.
-
-THE PRESIDENT: Dr. Dix, as I think I have said before, you cannot give
-by one witness the thoughts of another man; you can only give his acts
-and his statements.
-
-DR. DIX: Yes, Your Lordship. When I put the question, I said “if the
-Tribunal permits.” I, too, was aware of the question of admissibility...
-
-THE PRESIDENT: You have the answer now: The Tribunal does not allow it.
-
-DR. DIX: Then we will leave that question. May I ask Your Lordship this?
-Of course, I can still put questions about the treatment of the Jews by
-Schacht. I personally think that this chapter has been dealt with so
-exhaustively that it is not necessary for this witness to give us more
-examples of the attitude of Schacht. I would only ask to be permitted to
-put the same question concerning the Freemasons, because nothing has
-been stated about that.
-
-[_Turning to the witness._] Do you know anything about the treatment of
-Freemasons or the attitude of Schacht to Freemasons?
-
-VOCKE: Yes. The Party demanded that the Freemasons should be eliminated
-from the Civil Service. Schacht said: “I refuse to let anybody tell me
-what to do. Everybody knows that I myself am a Freemason; how can I take
-action against officials simply because they belong to the Order of
-Freemasons?” And as long as Schacht was in office he kept Freemasons in
-office and promoted them.
-
-DR. DIX: Now, one last question. Do you know whether Schacht ever
-received any gifts or had any economic advantages during Hitler’s time
-beyond his regular income as an official?
-
-VOCKE: No; that was quite out of the question for Schacht. Besides, he
-was never offered gifts. In all his dealings, as far as money was
-concerned, he was absolutely clean and incorruptible. I can give
-examples. For instance, when he left in 1930 he reduced his pension to
-less than half the pension of the vice president or of any board member.
-He said: “These people have devoted their whole life to the bank,
-whereas I have given only a few years incidental service.” I could give
-more examples of Schacht’s absolute correctness in that respect.
-
-DR. DIX: I believe, if the Tribunal does not wish so, it will not be
-necessary to give further examples. That brings me to the end of my
-interrogation of this witness.
-
-THE PRESIDENT: Does any other counsel for the defense wish to ask any
-questions?
-
-DR. GUSTAV STEINBAUER (Counsel for Defendant Seyss-Inquart): Witness, do
-you remember the financial-political measures on the occasion of the
-annexation of Austria in March 1938; that is to say, in general terms?
-
-At that time two laws were issued, both of 17 March 1938, one concerning
-the conversion of schillings into marks, and the other for the taking
-over of the Austrian National Bank by the Reichsbank.
-
-Dr. Schacht, as a witness, stated yesterday that on 11 March he was
-asked what exchange rate he would consider correct in the event of an
-entry into Austria, and he answered that question by saying that
-according to the latest market rate two schillings for one Reichsmark
-would be correct.
-
-After the Anschluss, my client, Dr. Seyss-Inquart, objected to the
-under-valuation of the schilling, and he succeeded in getting the
-schilling converted at 1.50 to the Reichsmark. Is that correct?
-
-VOCKE: Before the entry into Austria I had not heard of any ratio being
-fixed by the Reichsbank Directorate. They were entrusted with that
-question only after the entry into Austria, and as experts and bankers
-they proposed a ratio which was in accordance with the conditions; and
-only a slight modification was made for the exchange. It was for the
-Government to make concessions, if it wanted to win over the Austrian
-population or make it favorably inclined.
-
-DR. STEINBAUER: The second law deals with the Austrian National Bank.
-The witness Dr. Schacht has said today that the Austrian National Bank
-was not liquidated, but—as he expressed himself—amalgamated. I have
-looked up that law and it states expressly in Paragraph 2 that the
-Austrian National Bank was to be liquidated. That is Document Number
-2313-PS. Now I ask you, Witness, do you know anything about it? Was the
-Austrian National Bank left in function as an issuing bank, or was it
-liquidated?
-
-VOCKE: The right to issue notes in Austria, of course, went to the
-Reichsbank, which, as far as I know, took over the Austrian National
-Bank in Vienna and carried it on. I do not remember any details. My
-colleague Kesnick took care of that.
-
-DR. STEINBAUER: But maybe you will remember if I quote from the official
-reports of the Austrian National Bank that the gold reserve of the
-Austrian National Bank in March 1933 amounted to 243 million schillings
-in gold and the foreign currency reserve to 174 million schillings,
-which means that roughly over 400 million schillings in gold were taken
-over by the Reichsbank from the Austrian National Bank.
-
-VOCKE: I do not recall these facts any more; but if it was done, it was
-done by law, by the Government.
-
-DR. STEINBAUER: Yes. I have that law of 17 March. I just wanted to
-correct a mistake which Herr Schacht must have made today
-unintentionally. The law he himself signed says “shall be liquidated.” I
-have no other questions.
-
-DR. LATERNSER: Witness, you said earlier that the fundamental difference
-between Dr. Schacht and the high military leaders was that he remained a
-free man in his attitude to the regime. I want to ask you now, since
-that statement seems to imply an opinion of the high military leaders:
-Which of the high military leaders do you know personally?
-
-VOCKE: Not a single one.
-
-DR. LATERNSER: Then would you maintain that opinion?
-
-VOCKE: In our circle of the Reichsbank Herr Keitel and other gentlemen
-were considered too servile and too acquiescent toward Hitler.
-
-DR. LATERNSER: But since you had no personal acquaintance with these
-people do you think that you can express a somewhat critical opinion on
-them, as you have done?
-
-VOCKE: Yes, I think so.
-
-DR. LATERNSER: I have no further questions.
-
-THE PRESIDENT: Do any of the other counsel wish to cross-examine?
-
-MR. JUSTICE JACKSON: Witness, when you met Dr. Schacht first, as I
-understood it, it was on the occasion of an official visit which you
-paid to Von Lumm in Brussels?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: During the first years of the first World War?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: Schacht then held some position on Von Lumm’s
-staff?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: What was his position, Schacht’s?
-
-VOCKE: I cannot say that. He was just one of the staff. How I came to
-meet him was that on one occasion when I was sent to Brussels to discuss
-something with Von Lumm, the latter took the opportunity to introduce
-his collaborators and among them was Schacht. We were merely introduced.
-
-MR. JUSTICE JACKSON: And what was Von Lumm’s position? What was he doing
-in Brussels?
-
-VOCKE: He was Commissioner for Banking with the General Command.
-
-MR. JUSTICE JACKSON: General Command of the German Army?
-
-VOCKE: Commissioner for the Banks with the Occupation Army.
-
-MR. JUSTICE JACKSON: Named by Germany.
-
-VOCKE: Without doubt.
-
-MR. JUSTICE JACKSON: Well, he was a German, not a Belgian?
-
-VOCKE: Yes, he was a German.
-
-MR. JUSTICE JACKSON: Now, some time after that Schacht was dismissed by
-Von Lumm, was he not?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: And you had a discussion with Von Lumm about that
-and also you had one with Schacht about it, did you not? Tell me whether
-you had the visit...
-
-VOCKE: I read the official reports in Berlin about the dismissal of
-Schacht. I was working in the Reich Office of the Interior. I only spoke
-about these things with Schacht when he became Reichsbank President and
-he spoke to me about it one day.
-
-MR. JUSTICE JACKSON: Now, before Schacht went on the staff of Von Lumm,
-he was director of the Dresdner Bank.
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: And the dismissal was because Schacht had delivered
-to that bank a considerable amount of Belgian francs.
-
-VOCKE: Yes. I do not know how large that amount was.
-
-MR. JUSTICE JACKSON: But it was considerable.
-
-VOCKE: Maybe.
-
-MR. JUSTICE JACKSON: And that, Von Lumm thought, gave to the Dresdner
-Bank an advantage which was incompatible with Schacht’s duties as a
-public official?
-
-VOCKE: That, at any rate, was Von Lumm’s view. He took a very serious
-view, which Schacht, not being a civil servant, could not quite
-appreciate.
-
-MR. JUSTICE JACKSON: And Von Lumm called a meeting and reproached
-Schacht?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: Schacht then gave an answer to Von Lumm which Von
-Lumm considered was not sincere, but was merely a lie?
-
-VOCKE: Yes. That was Von Lumm’s point of view.
-
-MR. JUSTICE JACKSON: Now, that is what Von Lumm told you about?
-
-VOCKE: That was in the written report which I have read.
-
-MR. JUSTICE JACKSON: Now, when you came to talk to Schacht about it and
-about his answer to Von Lumm, Schacht told you that it was perhaps not
-quite an open answer, but not a lie?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: However, having heard both sides of it, you along
-with all of the other directors of the Reichsbank were opposed to
-Schacht’s appointment as President, as you have testified.
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: And you took the view, along with all the other
-directors, that the behavior of Dr. Schacht in the Belgian bank affair
-was not quite fair and not quite correct?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: Now, when Dr. Schacht came back to the Reichsbank
-under the Nazi regime, as I understand it, there was a good deal of
-resentment and reserve against him on the part of the Reichsbank
-Directorate, because he “in our eyes then was a Nazi. He was in close
-touch with Hitler and kept some things secret from us, his colleagues.”
-That is correct, is it not?
-
-VOCKE: I could not say that. It is true there was a feeling against
-Schacht. As I explained before, because we had assumed, and I had
-assumed—though we were wrong about it—that he was a Nazi. It is
-possible that Schacht did keep things secret from us, but at any rate I
-do not know whether he did, or what those things were.
-
-MR. JUSTICE JACKSON: Now, did you not say in a statement that he was in
-close touch with Hitler and kept some things secret from “us, his
-colleagues”?
-
-VOCKE: I do not know whether he kept things secret from us. It is
-possible, but I could not prove it.
-
-MR. JUSTICE JACKSON: Is it not true that years later, when already some
-fatal moments were reached in the currency system, circulation, price
-and wages system, “rumors came to our ears through semiofficial channels
-that Dr. Schacht had given Hitler the promise to finance armaments”? Did
-you not say that?
-
-VOCKE: That Schacht had given the promise to Hitler? Well, in certain
-circles there were rumors of that nature. Whether it is true I could not
-say.
-
-MR. JUSTICE JACKSON: Now, you felt after the Munich Agreement and after
-Hitler’s speech at Saarbrücken that that destroyed all hopes of peace,
-did you not?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: And from that date, together with Pilseck, you did
-all in your power to persuade Schacht that a decision had to be forced?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: Dr. Schacht agreed with you, but hesitated to take
-the decisive step?
-
-VOCKE: Yes. He said—Schacht was not against it in principle, but he
-wanted to decide himself when our memorandum should be submitted, and as
-this memorandum was to be signed by all of us, and each one of us wanted
-to make corrections, the handing in of this memorandum was delayed from
-October until 7 January.
-
-MR. JUSTICE JACKSON: The agreement was prepared by you and Pilseck?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: And you approached Dr. Schacht again and again on
-it?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: And he kept the draft all this time and told you
-that he was in doubt about the best moment to bring it before Hitler?
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: And it was not until Hitler refused to see him at
-Berchtesgaden that he finally sent him the memorandum?
-
-VOCKE: That I do not know. I have heard here for the first time that
-Hitler refused to receive Schacht at Berchtesgaden. It may be. I only
-heard that Schacht was at Berchtesgaden, and after his return, according
-to my recollection, he talked about his meeting with Hitler and that now
-the moment had come to send him the memorandum.
-
-MR. JUSTICE JACKSON: Well, your memorandum is the only source of my
-information, and according to my translation it says: “Finally, in
-December 1938, he resolved to sign it after a last attempt to speak with
-Hitler in Berchtesgaden.”
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: At that time, there was something of a financial
-crisis.
-
-VOCKE: Yes.
-
-MR. JUSTICE JACKSON: Considerable difficulty, inflation was just around
-the corner, as you might say.
-
-VOCKE: The Government was confronted with the 3,000 million mefo bills
-which were about to fall due and which had to be covered, and the
-Minister of Finance had a cash deficit of 1,000 million. The Minister of
-Finance came to see us and asked us to tide it over, because otherwise
-he could not pay the salaries on 1 January. We refused. We did not give
-him a single pfennig. We told him that the best thing that could happen
-would be that bankruptcy should become manifest in order to show how
-impossible it was to continue this system and this policy. He then
-received money from private banks.
-
-MR. JUSTICE JACKSON: And you and Huelse, particularly Huelse, had long
-warned against this course of the Reichsbank, is that not true?
-
-VOCKE: No, that is not true.
-
-MR. JUSTICE JACKSON: Had not you and Huelse, long before this, warned
-that this mefo business would end up in trouble?
-
-VOCKE: Of course, the Reichsbank had for years fought against the mefo
-bills, which were to mature in March 1938, and from then on the
-Reichsbank did not give any more armament credits.
-
-MR. JUSTICE JACKSON: Now, after his dismissal from the Reichsbank, you
-very frequently discussed matters with Schacht and you found that he had
-turned very bitter against the Government. Is that not true?
-
-VOCKE: I did not have frequent meetings with Schacht. We met every few
-months in the beginning and then, when Schacht went to Guehlen, our
-meetings stopped; I saw him there only once or twice. But it was not
-only after his dismissal that Schacht became a bitter enemy of Hitler,
-but he had been that during the whole of 1938.
-
-MR. JUSTICE JACKSON: And you said, “I think in his heart he hoped he
-would be called after Hitler’s defeat to help build a new and better
-order of things in Germany”?
-
-VOCKE: Certainly. Schacht spoke to me in Guehlen about the men who would
-have to come after Hitler had been finally overthrown, and in
-conversation we mentioned the ministers who then could save Germany from
-despair, and Schacht was certain that he also would be called in to
-assist.
-
-MR. JUSTICE JACKSON: No further questions, Your Honor.
-
-THE PRESIDENT: Do any of the other Prosecution Counsel want to
-cross-examine?
-
-DR. DIX: Herr Vocke, in reply to the questions of Mr. Justice Jackson,
-you have explained the attitude and the statement of Herr Von Lumm about
-the incident in Brussels. You also told the Tribunal about the statement
-by Minister Severing, which he made about that incident not so long ago.
-
-VOCKE: Yes.
-
-DR. DIX: Did you not also speak to the President of the Supreme Court of
-the Reich, Simons, who was at that time in the Foreign Office and knew
-the case very well? Did you not speak to him about that case?
-
-VOCKE: Yes, I spoke to him and Ministerial Director Lewald. At that time
-I was a young assistant judge.
-
-DR. DIX: You will have to tell the Tribunal who Lewald was.
-
-VOCKE: It is correct that I spoke to Simons, who later became President
-of the Supreme Court of the Reich, and to His Excellency Lewald, who
-later became Undersecretary of State in the Reich Office of the
-Interior, about these matters which came officially to my knowledge in
-my capacity as expert in the Reich Office of the Interior.
-
-Both gentlemen smiled at the self-important attitude of Von Lumm who
-made mountains out of mole hills, and also at the misfortune of Herr
-Schacht. They smiled benevolently and saw the whole thing as a
-tremendous exaggeration.
-
-DR. DIX: Thank you, that is enough. I have no further questions.
-
-However, if the Tribunal will permit me, I should like to point out that
-Schacht mentioned here that on 2 January 1939 he spoke at great length
-to Hitler, in Berchtesgaden. I do not know whether I am confusing that
-with a statement made by a witness or with a statement made by him. I
-just wanted to point it out. If he were still sitting here as a witness,
-he could tell us about it.
-
-Your Lordship, I bring that up because it was stated by Mr. Justice
-Jackson that Hitler did not receive Schacht in Berchtesgaden and that
-that was the cause of Schacht’s decision to forward that memorandum. I
-only mention, as this witness here cannot know it, that Schacht did
-speak to Hitler. If he did not say so this morning or yesterday, he will
-say it at any time.
-
-I cannot remember now. Sometimes one confuses private information with
-what one has heard in the courtroom.
-
-THE PRESIDENT: Put the microphone where the Defendant Schacht can speak
-from there and ask him the question.
-
-[_The microphone was placed before the defendant._]
-
-DR. DIX: Dr. Schacht, you have witnessed the cross-examination. Would
-you like to tell the Tribunal what happened?
-
-SCHACHT: When I spoke here I said that I had a long conversation on 2
-January 1939 with Hitler at Berchtesgaden on the Obersalzberg, and that
-after that conversation, in which the suggestion was put to me to create
-an inflation, I considered that the time had come to take that step
-which the Reichsbank afterwards took, to dissociate itself from Hitler
-and his methods.
-
-[_The microphone was returned to the witness._]
-
-THE PRESIDENT: There is one question I want to ask you, Witness. Did the
-Defendant Schacht ever tell you that he had been appointed
-Plenipotentiary General for War Economy?
-
-VOCKE: Yes.
-
-THE PRESIDENT: When?
-
-VOCKE: Well, I believe he was appointed to that office in 1935. I
-believe that is the date. I could not say for certain.
-
-THE PRESIDENT: I did not ask you when he was appointed. I asked you when
-he told you.
-
-VOCKE: I cannot recall that because we had nothing to do with these
-things. I only know that either in 1935 or 1936—I believe it was
-1935—he received such an appointment.
-
-THE PRESIDENT: Yes. The question I asked you was: Did the Defendant
-Schacht ever tell you that he had been appointed?
-
-VOCKE: Yes.
-
-THE PRESIDENT: When did he tell you?
-
-VOCKE: I think in 1935.
-
-THE PRESIDENT: The witness can retire.
-
-DR. DIX: May I put one last question to this witness?
-
-Witness, did you have any idea of the importance of that office?
-
-VOCKE: No. I never heard that Schacht had done anything in that function
-except that he had special letter headings for this. His activity in the
-Reichsbank continued in the same way as previously, without his
-selecting a staff for that office, and without—at least as far as my
-knowledge goes—his using the premises and facilities of the Reichsbank
-for this new office.
-
-DR. DIX: Have you any knowledge as to whether he had a separate office
-or a separate staff for carrying on his activity as Plenipotentiary?
-
-VOCKE: You mean commissioner general for armaments?
-
-DR. DIX: Plenipotentiary for War Economy.
-
-VOCKE: No, he had no separate office, and as I have said before, as far
-as I know he never had a staff.
-
-THE PRESIDENT: The witness can retire.
-
-[_The witness left the stand._]
-
-DR. DIX: May I begin with my documents? I can make the presentation of
-documents very brief and I am sure that I will conclude it before the
-end of the session, because I had an opportunity to submit a large
-portion of my documents during the interrogation of witnesses. May I
-make the general request that judicial notice be taken of everything I
-have not read and everything I do not propose to read. In this
-connection, I should like to point out that the entire contents of my
-document book have, with one exception, either been submitted or will be
-submitted now as exhibits. The exception, the document which has not
-been submitted, is Exhibit Number 32. That is the frequently mentioned
-article of the _Basler Nachrichten_ of 14 January 1946, which, for the
-reasons mentioned yesterday, has not been and will not be submitted by
-me.
-
-I come now to Volume I of my document book, to the exhibits which have
-not yet been submitted; that is, first Exhibit Number 5 (Document
-Schacht-5) Adolf Hitler’s Reichstag speech of 23 May 1933. That exhibit
-was read by Schacht in the course of his interrogation and is now being
-submitted.
-
-I further submit Exhibit Number 23 (Document Schacht-23), the letter
-from Schacht to Hermann Göring, of 3 November 1942. Although that letter
-has been submitted by the Prosecution, we submit it again, and for the
-following reasons: In the copy which was submitted by the Prosecution,
-the date and the year were left out and, of course, as it has been
-translated literally, also in our copy. However, a confirmatory note by
-Professor Kraus based on the testimony given by Schacht has enabled us
-to make a note on it to the effect that it must be the letter of 3
-November 1942, because it was that letter which caused the dismissal in
-January 1943. It is only submitted in order to make it easier for the
-Tribunal to ascertain the date. That was Exhibit Number 23.
-
-Then I wish to submit Exhibit Number 27 (Document Schacht-27). I am not
-going to read it; I only ask that judicial notice be taken of it. That
-is the address given by Dr. Schacht at the celebration meeting of the
-Reich Economic Chamber in January 1937.
-
-Then I submit Exhibit Number 29 (Document Schacht-29), excerpts from the
-book by Gisevius, which we want to put into evidence, and I ask you to
-take judicial notice. I will not read anything.
-
-Exhibit Number 33 (Document Number Schacht-33) in my document book is a
-letter from a certain Morton, a former citizen of Frankfurt-on-Main, who
-emigrated to England, a man who was highly respected in Frankfurt. The
-letter is directed to the Treasury Solicitor in England and we have
-received it here from the Prosecution. I also ask that judicial notice
-be taken of its contents and want to read only one sentence on the last
-page. I quote:
-
- “I last heard from Schacht indirectly. Lord Norman who was then
- Mr. Montague Norman, Governor of the Bank of England, told me
- confidentially in 1939 shortly before the outbreak of the war,
- that he had just come back from Basel where he had seen Schacht
- who sent me his greetings. Lord Norman also told me that
- Schacht, who had returned to Germany from Basel, was in great
- personal danger as he was very much in disgrace with the Nazis.”
-
-That concludes Volume I of my document book and I pass on to Volume II,
-which begins with the affidavits. I must go through the individual
-affidavits, but I shall not read any.
-
-The first is Exhibit Number 34 (Document Schacht-34), which has
-frequently been quoted, the affidavit of the banker and Swedish Consul
-General, Dr. Otto Schniewind, who is at present in Munich. It is a very
-instructive and very exhaustive affidavit and in order to save
-time—there are 18 pages which would take up a lot of time—I will
-confine myself to what I have read from this affidavit; I ask the
-Tribunal to take judicial notice of the remainder. It has already been
-submitted.
-
-However, I still have to submit Exhibit Number 35 (Document Schacht-35),
-which has not yet been submitted. I beg your pardon, but it has been
-submitted before. It is the affidavit of Dr. Franz Reuter. I submitted
-it when I spoke here about the biased nature of this biography. I ask
-you to take judicial notice of the rest of this affidavit.
-
-The next Exhibit Number 36 (Document Schacht-36) is an affidavit by
-Oberregierungsrat Dr. Von Scherpenberg, formerly Embassy Counsellor at
-the Embassy in London, afterwards departmental chief at the Foreign
-Office and now at the Ministry of Justice in Munich, the son-in-law of
-Dr. Schacht. I have read a passage and I ask that judicial notice be
-taken of the unread portion.
-
-The next is Exhibit Number-37(a) (Document Schacht-37(a)). It has been
-submitted. Here also a passage on Page 154 of the German text has been
-read, about the warning signal given abroad when Schacht resigned as
-Reichsbank President. I ask that judicial notice be taken of the
-remainder.
-
-The next affidavit is by the same gentleman, who was also a colleague of
-Dr. Schacht in the Reichsbank Directorate at the same time as the
-witness Vocke, whom we have just heard. I submit it. There is no need to
-read anything. I only ask you to take judicial notice of its contents.
-
-The next affidavit, Exhibit Number-37(c) (Document Schacht-37(c)) is by
-the same gentleman and has already been submitted. I ask you to take
-judicial notice of its contents. There is no need to read anything.
-
-The next is Exhibit Number 38 (Document Schacht-38), an affidavit by
-General Thomas. It has not been submitted yet, and I submit it now and
-ask to be permitted to read one passage, beginning on the first page;
-that is Page 172 of the English text and Page 164 of the German text:
-
- “Question: Schacht claims to have influenced Blomberg to delay
- rearmament. Can you give any information on this matter? When
- was it?
-
- “Answer: I was Chief of the Army Economic Staff, that is the
- Army Economic and Armament Office at the High Command of the
- Wehrmacht (OKW) from 1934 to the time of my dismissal in January
- 1943. In this capacity I had connection with the Reich Minister
- of Economics and Reich Bank President Hjalmar Schacht. Up till
- 1936 Schacht undoubtedly promoted rearmament by making available
- the necessary means. From 1936 on he used every opportunity to
- influence Blomberg to reduce the tempo and extent of rearmament.
- His reasons were as follows:
-
- “1. Risk to the currency.
-
- “2. Insufficient production of consumer goods.
-
- “3. The danger to the foreign policy, which Schacht saw in
- excessive armament of Germany.
-
- “Concerning the last point he frequently spoke to Blomberg and
- me and said that on no account must rearmament be allowed to
- lead to a new war. These were also the reasons which led him to
- hold out to Blomberg in 1936 and again in 1937 the threat that
- he would resign. On both of these occasions I was delegated by
- Blomberg to dissuade Schacht from carrying out his threat to
- resign. I was present during the conference between Blomberg and
- Schacht in 1937.”
-
-I ask you to take judicial notice of the remainder of that affidavit by
-General Thomas.
-
-The next Exhibit is Number 39 (Document Schacht-39); parts of it have
-been read, that is to say, the part Schacht played in the incident of
-the 20th of July together with General Lindemann; it is the affidavit by
-Colonel Gronau. I ask the Tribunal to take judicial notice of the
-remainder.
-
-The same applies to the next Exhibit Number 40 (Document Schacht-40).
-That is a sworn statement, also by a colleague of Schacht in the
-Ministry of Economics, Kammerdirektor Asmus, now in retirement. I have
-also read parts of this already, namely, the passages concerning the
-happenings at the time of the dismissal as Minister of Economics; and I
-ask you to take judicial notice of the remainder.
-
-Then we come to Exhibit Number 41 (Document Schacht-41), which is the
-affidavit by State Secretary Carl Christian Schmid, also in retirement.
-I have not yet read anything and I ask to be permitted to read two
-passages.
-
-The first one is on Page 182 of the German text; Page 190 of the English
-text:
-
- “When the Brüning Cabinet, which had been arranged by General
- Von Schleicher...”—That is not legible. I think that should be
- different, but it is not legible.—“When that was torpedoed by
- Schleicher himself, Schacht considered the early appointment of
- Hitler as head of the Government to be unavoidable. He pointed
- out that the great mass of the German people said ‘Yes’ to
- National Socialism, and that the Left as well as the Center had
- come to a state of complete passive resignation. The short life
- of the transition cabinets of Papen and Schleicher was clear to
- him from the very beginning.
-
- “Schacht decisively advocated the co-operation in National
- Socialism of men experienced in their respective fields, without
- acceptance of its program as a whole, which he always referred
- to ironically, later frequently calling it ‘a really bestial
- ideology’ in conversation with me; but he held that the
- influencing of developments from important inner power positions
- was an absolute patriotic duty, and he strongly condemned
- emigration and the resort to easy armchair criticism.”
-
-And then on Page 184 of the German text, 192 of the English text, two
-very short passages:
-
- “I recall numerous talks with Dr. Schacht in which he stated
- that war was an economic impossibility and simply a crazy idea,
- as, for instance, when he was in Mülheim at the house of Dr.
- Fritz Thyssen, who was closely associated with Göring and Hitler
- before 1933 but was in strong opposition from 1934 on and also
- opposed any idea of war as madness.”
-
-And, then, further down on the same page, only one sentence:
-
- “When Schacht spoke to me he used to refer ironically to the
- Himmler-Rosenberg Lebensraum plans against Russia as an example
- of the mad presumption of extremist Party circles. Schacht’s
- special fad was an understanding with England,”
-
-and so on; and I ask you to take judicial notice of the remainder of the
-document.
-
-The same applies to the whole of Exhibit Number 42 (Document
-Schacht-42), an affidavit by the director of the Upper Silesian Coke
-Works, Berckemeyer.
-
-I come now to Exhibit Number 43 (Document Schacht-43). That has already
-been submitted and read in part. It is the correspondence between the
-publisher of Ambassador Dodd’s Diary and Sir Nevile Henderson. I ask you
-to take judicial notice of the part not yet read, and whatever comes
-after Exhibit 43 has been submitted. I ask you to take judicial notice
-of its contents, and I forego the reading of it.
-
-That brings me to the end of my presentation in the case of Schacht.
-
-THE PRESIDENT: Now the Tribunal will continue the case against the
-Defendant Funk.
-
-DR. FRITZ SAUTER (Counsel for Defendant Funk): Mr. President, with your
-permission I call first the Defendant Dr. Funk himself to the witness
-box.
-
-[_The Defendant Funk took the stand._]
-
-THE PRESIDENT: Will you state your full name, please?
-
-WALTER FUNK (Defendant): Walter Emanuel Funk.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The defendant repeated the oath in German._]
-
-THE PRESIDENT: You may sit down.
-
-DR. SAUTER: Mr. President, may I begin with one observation: The
-Defendant Funk has been a sick man for many years now, and before he
-came into the prison he had been in hospital for some time. He was
-supposed to undergo an operation, which, however, due to conditions at
-the time, could not be carried out. He still is under medical treatment.
-In consideration of that fact, and because the defendant is extremely
-anxious to conclude his own interrogation as soon as possible, I shall
-put only those questions to the defendant which are absolutely necessary
-to give you a clear picture about his person and his activities.
-
-[_Turning to the defendant._] Witness, when were you born?
-
-FUNK: On 18 August 1890.
-
-DR. SAUTER: So you are now 56?
-
-FUNK: Yes.
-
-DR. SAUTER: First, I want to put to you the most important particulars
-of your life, and to simplify matters you may answer only with “yes” or
-“no.”
-
-You are 56 years old. You were born in East Prussia?
-
-FUNK: Yes.
-
-DR. SAUTER: You come from a merchant’s family in Königsberg?
-
-FUNK: Yes.
-
-DR. SAUTER: Then you studied in Berlin at the university, law and
-political science, literature and music. You also come from a family
-which has produced a number of artists.
-
-FUNK; Yes.
-
-DR. SAUTER: During the World War you were first in the Infantry, and in
-1916, because of a bladder ailment, you became unfit for service?
-
-FUNK: Yes.
-
-DR. SAUTER: Then you became an editor with several large newspapers, and
-you told me that for a long time you could not make up your mind whether
-to become a musician or a journalist. Then you decided for the latter,
-and in 1922, I believe, you became editor in chief of the _Berliner
-Börsenzeitung_. Is all that correct?
-
-FUNK: Yes.
-
-DR. SAUTER: Now perhaps you will tell us what were the political
-tendencies of that paper on which you worked for about ten years as
-editor in chief?
-
-FUNK: The tendency of the paper was somewhere between the Center and the
-Right. The newspaper was not tied to any party. It was owned by an old
-Berlin family of publishers.
-
-DR. SAUTER: What was the attitude of that paper to the Jewish question
-before you took on the editorship and during the time when you were
-editor in chief?
-
-FUNK: Absolutely neutral. It did not deal in any way with the Jewish
-question.
-
-DR. SAUTER: From an affidavit by Dr. Schacht, I have seen that at that
-time—that is to say, during the twenties—you moved in circles which
-were also frequented by Jews, and where economic and political matters,
-such as gold currency, _et cetera_, were often discussed. Is that
-correct?
-
-FUNK: I do not know anything about that.
-
-DR. SAUTER: Dr. Schacht has asserted that in an affidavit of 7 July 1945
-(Document Number 3936-PS).
-
-FUNK: I had a lot to do with Jews. That was in the nature of my
-profession. Every day at the stock exchange I was together with 4,000
-Jews.
-
-DR. SAUTER: Then in 1931 you resigned your post as editor in chief?
-
-FUNK: Yes.
-
-DR. SAUTER: What were the reasons for that?
-
-FUNK: I was convinced that the National Socialist Party would come to
-power in the Government, and I felt called upon to make my own political
-and economic opinions heard in the Party.
-
-DR. SAUTER: Would you like to explain a little more in detail what kind
-of opinions you had, Dr. Funk, especially concerning the clashes between
-parties, between classes at that time?
-
-FUNK: The German nation at that time was in sore distress, spiritually
-as well as materially. The people were torn by Party and class struggle.
-The Government, or rather the governments, had no authority. The
-parliamentary system was played out, and I myself, for 10 or 12 years
-before that, had protested and fought publicly against the burden of the
-Versailles reparations, because I was convinced that those reparations
-were the chief cause of the economic bankruptcy of Germany. I, myself,
-have fought all my life for private enterprise, because I was convinced
-that the idea of private enterprise is indissolubly bound up with the
-idea of the efficiency and worth of individual human beings. I have
-fought for the free initiative of the entrepreneur, free competition,
-and, at that time in particular, for putting an end to the mad class
-struggle, and for the establishment of a social community on the basis
-of the industrial community.
-
-All those were ideas to which I found a ready response in my
-conversations, particularly, with Gregor Strasser.
-
-DR. SAUTER: Who was Gregor Strasser, would you tell the Tribunal
-briefly?
-
-FUNK: Gregor Strasser at that time was leader of the Reich Organization
-Office of the National Socialist Party and was generally considered to
-be the second man after Adolf Hitler. I have...
-
-THE PRESIDENT: This is the time to break off.
-
- [_The Tribunal adjourned until 4 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-FIRST DAY
- Saturday, 4 May 1946
-
-
- _Morning Session_
-
-[_The defendant resumed the stand._]
-
-DR. SAUTER: Mr. President, may I continue the examination of the
-Defendant Funk?
-
-Dr. Funk, yesterday you gave us a brief account of your life, told us
-that you are 56 years of age, that you have been married for 25 years,
-that you were editor of the _Berliner Börsenzeitung_ for 10 years; and
-in conclusion you told us yesterday what your convictions were regarding
-the future development of Germany.
-
-Perhaps you can again tell us something of your viewpoint, since you
-were interrupted by the recess yesterday and since your health was in
-such a poor state yesterday evening that you could scarcely remember
-what you had told the Court. Well, what were your views on Germany’s
-economic prospects at the time when you entered the Party? Perhaps you
-can go over it briefly again.
-
-FUNK: At that time Germany was in the midst of a very difficult economic
-crisis. This crisis was caused chiefly by the reparations, the way in
-which these reparations had to be paid, and by the inability of the
-governments then in office to master the economic problems. The most
-disastrous feature of the reparations policy was that German mark
-credits in immense sums were transferred to foreign countries without
-receiving any equivalent in return. As a result there was a tremendous
-surplus and over-pressure of Reichsmark abroad. It led to inflation in
-Germany and the countries with stable currencies bought Germany out.
-German industry incurred heavy debts and consequently came temporarily
-under foreign control; German agriculture became indebted. The middle
-classes, who were the chief representatives of German culture, were
-impoverished. Every third German family was unemployed, and the
-Government itself had neither the power nor the courage to master these
-economic problems. And these problems could not be solved by means of
-economic measures alone. The first essential was the presence of a
-government possessing full authority and responsibility; and then the
-development of a unified political will among the people.
-
-The National Socialists at that time captured 40 percent of the seats in
-the Reichstag; the people streamed to this Party in ever-increasing
-millions, especially the young people who were animated by idealism. The
-fascinating personality of the Führer acted as a giant magnet. The
-economic program of the Party itself was vague; and in my opinion it was
-drawn up mainly with an eye for propaganda purposes. There were lively
-arguments about it in Party circles with which I came in contact in
-1931.
-
-At that time, therefore, I decided to give up my position as editor of a
-paper with a large circulation among the middle classes and to start on
-my own by editing an economic and political news service which went to
-the most diverse sections of economy, to leading Party circles as well
-as to economically interested parties siding with the German National
-Party, the People’s Party, and even the Democrats.
-
-DR. SAUTER: Dr. Funk, you said before, approximately, that according to
-the opinion you expressed in 1931, only a government with full authority
-and full responsibility, that is, only a strong state and a unified
-political will, could lead Germany out of the crisis of that time, which
-was, of course, merely a part of the world crisis. Did you at that time
-ever reflect as to whether the Leadership Principle which was later
-developed to an increasing extent—whether this Leadership Principle
-could be made to harmonize with your ideas of economic policy? Or,
-putting it negatively, did you at that time anticipate great wrongs as a
-result of this Leadership Principle?
-
-What can you say on this point?
-
-FUNK: As to a principle of government, well, that is, a Leadership
-Principle, one can never say _a priori_ whether it is good or bad. It
-depends on existing circumstances and, above all, on those who do the
-governing. The democratic-parliamentary principle had not been
-successful in Germany. Germany had no parliamentary and democratic
-tradition, such as other countries had. Conditions, finally, were such
-that when the government made decisions, the few votes of the economic
-party were decisive; and these were mostly bought. Therefore, another
-principle had to be made the dominant one; and in an authoritarian
-government, if those who bear the authority and the responsibility are
-good, then the government also is good. The Leadership Principle meant,
-in my opinion, that the best men and the best man should rule and that
-authority would then be exercised from above downwards and
-responsibility from below upwards. And in conversations with Hitler and
-other leading personalities of the Party in 1931 and, as I said, from
-the faith and enthusiasm which the German people brought to this
-political movement, I formed the opinion that this Party would have to
-come into power and that through it alone salvation could come. I,
-myself, wanted to put my own economic ideas into practice in this Party.
-
-DR. SAUTER: Dr. Funk, you have just been speaking of the personality of
-Hitler. Through whom did you meet Hitler?—that is, who were persons in
-the Party by whom you were first won over to the Party?
-
-FUNK: Chiefly, Gregor Strasser, as I said yesterday, who arranged my
-first meeting with Hitler. Not until much later, in Berlin, did I meet
-Hermann Göring. Apart from them I had very few acquaintances in the
-Party at that time and played no role in it myself.
-
-DR. SAUTER: When you met Hitler what impression did he make on you at
-that time? I should like to say beforehand, you were at that time—1931,
-I think—a mature man of over forty. What impression did you have at
-that time of Hitler’s personality and aims, _et cetera_?
-
-FUNK: My first conversation with Adolf Hitler was very reserved. That
-was not surprising as I came from a world which was entirely strange to
-him. I immediately received the impression of an exceptional
-personality. He grasped all problems with lightning speed and knew how
-to present them very impressively, with great fluency and highly
-expressive gestures. He had the habit of then becoming absorbed in the
-problems, in long monologues, so to speak, in this way lifting the
-problems to a higher sphere. At that time I explained to him my economic
-ideas and told him especially that I upheld the idea of private
-property, which for me was the fundamental tenet of my economic policy
-and which was inseparable from the concept of the varying potentialities
-of human beings. He, himself, heartily concurred with me and said that
-his theory of economics was also based on selectivity, that is, the
-principle of individual productivity and the creative personality; and
-he was very glad that I wanted to work on those lines in the Party and
-to arrange contacts and support for him in the economic field—which I
-actually did. In the meantime, however, my relations with the Führer
-became no closer then, because he said to me himself, “I cannot, at
-present, commit myself to an economic policy; and the views expressed by
-my economic theorists, such as Herr Gottfried Feder, are not necessarily
-my own.”
-
-The economic policy section which existed at that time was directed by a
-Dr. Wagner.
-
-DR. SAUTER: The economic policy section of what? Of the Reich Party
-Directorate?
-
-FUNK: The economic policy section of the Reich Party Directorate was
-directed by a certain Dr. Wagner. I was not invited to political talks.
-A close connection with the Führer—or a closer connection with the
-Führer—I really had only in the year 1933 and the first half of 1934,
-when, as press chief of the Reich Government, I reported to him
-regularly. At that time it once even happened that he suddenly
-interrupted the press conference, went into the music room with me, and
-made me play the piano for him.
-
-Then our relations became a little cooler again, and when I became
-Minister of Economics the Führer kept me more and more at a
-distance—whether he had special reasons for this, as Lammers testified
-here, I do not know. During my office as Minister, I was called in by
-the Führer for consultations perhaps four times—five at the most. But
-he really did not need me because his economic directives were given to
-the Reich Marshal, the responsible head of economic affairs, and later,
-from 1942 on, to Speer, since armament dominated the entire economy;
-and, as I said, I had close connections with him only in 1933 and in the
-first half of 1934 until the death of Reich President Von Hindenburg.
-
-DR. SAUTER: Dr. Funk, you have got a long way ahead. We would like to
-return now to 1931 or 1932, to the time when you entered the Party. When
-was that?
-
-FUNK: In the summer of 1931.
-
-DR. SAUTER: The summer of 1931. You have already told the Court that you
-did not object to the Leadership Principle for the reasons you have
-stated.
-
-FUNK: No, on the contrary, the Leadership Principle was absolutely
-necessary.
-
-DR. SAUTER: On the contrary, you considered the Leadership Principle
-necessary for the period of emergency that then obtained. Now, I would
-be interested in knowing: There were other points of view, of course,
-also represented in the Party program which worked out unfavorably later
-on and have, in the course of this Trial, been used extensively against
-the defendants. I point out one example, for instance, the slogan of
-“Lebensraum”; you have heard it again and again during this Trial. The
-Defendant Dr. Schacht dealt with this problem also. Perhaps you can give
-us briefly your own position on this problem and on this question?
-
-FUNK: The problem of living (Lebensproblem) is no slogan; and the
-problem of living was really a problem for the German people at that
-time. By “Lebensproblem”...
-
-DR. SAUTER: You mean “Lebensraum”?
-
-FUNK: ...or “Lebensraum”—I did not mean the conquest of foreign
-countries at that time; the thought of war was just as strange to me as
-it was probably to most other Germans. By “Lebensraum” I meant the
-opening up of the world for the vital interests of Germany, that is, the
-participation of the German people in the profitable utilization of the
-world’s goods of which there was a superabundance.
-
-Whether that was to be done by colonies, or concessions, or
-international trade agreements, I did not trouble to find out at that
-time.
-
-The expansion of Germany in the world economy before the first World War
-was the decisive factor which determined me to become an economic
-journalist. The participation of Germany in the Rumanian petroleum
-industry, the concession of the Bagdad Railway, the growing German
-influence in South America, in China, generally in the Far East—all
-this inspired me very much. At that time already I became acquainted
-with such men as Franz Günther of the Discount Bank, Arthur Von Gwinner
-of the Deutsche Bank, Karl Helferich, the big Hamburg importer,
-Witthöft, and many other German economic pioneers, and started on my
-profession with all the enthusiasm of the young journalist.
-
-“Lebensraum” was thus for me at that time the fulfilling of these
-economic claims, that is, Germany’s participation in the world’s goods
-and the abolition of the restraints which hemmed us in on all sides. It
-was sheer nonsense that Germany on her part should have to pay
-reparations and debts while the creditor nations on their part refused
-to accept payment in the only form possible, that is, payment in goods
-and products.
-
-That period marked the beginning of a great wave of protective tariffs
-in the world. I recall the American economic policy at that time; I
-recall the Ottawa agreements, and this mistaken economic policy led to a
-world economic crisis in 1929 and 1930 by which Germany also was badly
-hit.
-
-DR. SAUTER: Dr. Funk, have you finished? [_The defendant nodded
-assent._]
-
-Dr. Funk, the Prosecution in their trial brief have contended that you
-participated in the formulation of the Nazi program. What can you tell
-us about that?
-
-FUNK: I do not know what the Prosecution understands by Nazi program.
-
-DR. SAUTER: I think—the Party program.
-
-FUNK: That is quite impossible. The Party program, as far as I know, was
-formulated in 1921. At that time I did not know anything about National
-Socialism or of Adolf Hitler.
-
-DR. SAUTER: Witness, the Prosecution has further accused you of setting
-up the so-called reconstruction program, the economic reconstruction
-program of 1932, that is, a program for the rehabilitation of German
-economic life. Is it correct that you established this economic
-reconstruction program?
-
-FUNK: In 1932 I compiled for a speech by Gregor Strasser some points for
-an economic program which Strasser himself marked as originating from
-me. He passed these on to the various Party offices as instructions and
-propaganda matter.
-
-This economic reconstruction program, which in the words of the
-Prosecution was to become the economic bible for the Party organizers,
-is, I believe, in no way revolutionary or even sensational; and it
-could, I believe, be adopted and accepted by every democratic
-government. I believe it is pointed out in a book from which the
-Prosecution has taken various bits of information.
-
-DR. SAUTER: Perhaps it is printed, Witness, in the book by Dr. Paul
-Oestreich which has been repeatedly quoted. This book contains your
-biography under the title, _Walter Funk, A Life for Economy_, and has
-been used by the Prosecution under Document 3505-PS, Exhibit USA-653.
-
-Dr. Funk, I have the text of this program before me.
-
-FUNK: Please read it.
-
-DR. SAUTER: The whole program covers half a page only and in the main
-sets forth really nothing which might be considered as characteristic of
-National Socialist trends of thought?
-
-FUNK: Well, at that time I was not yet a National Socialist or, at
-least, but quite a young member of the Party.
-
-DR. SAUTER: This economic reconstruction program must be actually read
-in order to convince oneself how little it contains of the
-characteristic National Socialist demands. This is a program which Funk
-says might be accepted by almost any liberal or democratic or other
-bourgeois party. The program is called, “Direct creation of employment
-through new State and private investments.” That is the first demand.
-Then productive providing of credit by the Reichsbank but no inflation,
-rather the re-establishment of a sound currency and a sound financial
-and credit economy to promote production.
-
-General lowering of rates of interests paying attention to individual
-conditions of the economy. Creation of a foreign trade office and a
-central foreign exchange office. Reorganization of economic relations
-with foreign countries, giving preference to the vital necessities of
-the domestic market but with special attention to the export trade
-absolutely necessary for Germany. Restoration of sound public finances,
-including public insurances. Abolishment of the untenable methods of
-balancing the budget. State protection for agriculture. Reorganization
-of the system of house and land ownership in accordance with the
-principles of productivity and national health. Expansion of the German
-raw material basis, the establishment of new national industries and
-trades, organization of manufactories on the basis of technical
-innovations. That is all, which is comprised in this so-called economic
-reconstruction program.
-
-FUNK: This program was to be, as the Prosecution has said, the official
-Party dogma on economic matters. I would have been glad if the Party had
-professed these principles. In later years I had great difficulties with
-these various Party offices in connection with my basic attitude on
-economic policy. I was always considered, even in Party circles, as a
-liberal and an outsider...
-
-DR. SAUTER: A liberal?
-
-FUNK: Yes. I combated all tendencies towards collectivism; and, for this
-reason, I constantly came into conflict with the Labor Front. I was
-supported, especially in my views regarding private property, by Reich
-Marshal Hermann Göring. Even during the war, he had parts of the Hermann
-Göring Works denationalized at my suggestion. I was an opponent of a
-nationalized economy because a nationalized economy will always produce
-only average results. Nationalized economy means sterile economy. An
-economy which is without keen competition and individual rivalry will
-remain stagnant and will achieve but average results. The Führer had,
-formerly, always agreed enthusiastically with these principles of mine.
-And it was a great disappointment to me when finally, in the last years,
-the Führer turned so sharply against the bourgeois world for that meant
-practically that the whole of my life’s work had failed.
-
-THE PRESIDENT: Dr. Sauter, the Tribunal thinks he might get on to
-something more important than his view on state economy and private
-enterprise.
-
-DR. SAUTER: Yes, Mr. President.
-
-[_Turning to the defendant._] Dr. Funk, you know that it was precisely
-on account of the big problem of unemployment at the time that Hitler
-was able to grasp power. What plans did you have for the elimination of
-unemployment, since you knew that just that very promise...
-
-THE PRESIDENT: Dr. Sauter, we have heard nearly all the defendants on
-the conditions which obtained in Germany at that time. And there is no
-charge against these defendants for German economy between the years
-1933 and 1939.
-
-DR. SAUTER: Mr. President, I wanted to ask the Defendant Dr. Funk just
-how he thought that unemployment could be abolished; for from the
-testimony of other defendants, I gathered that they planned to eliminate
-it by other means, such as rearmament, and so forth. As far as I know,
-this was not so in his case; and I think that in judging the Defendant
-Funk, the question of how he proposed to handle the elimination of
-unemployment, whether by rearmament or by some other means, is of some
-importance. I do not think it will take much time, Mr. President. The
-Defendant Funk, I am sure, will be very brief.
-
-Perhaps he can...
-
-THE PRESIDENT: He can answer that in a sentence, I should think.
-
-DR. SAUTER: Herr Funk, be as brief as possible.
-
-FUNK: If I am to answer this in one sentence, I can say only that at
-that time I envisioned the elimination of unemployment by a very precise
-plan, but at any rate without rearmament, without armament...
-
-DR. SAUTER: But, instead?
-
-FUNK: By methods which I would have to explain. But in any event,
-armament never came into question then...
-
-DR. SAUTER: But—can you perhaps tell us in a few telling words?
-
-FUNK: First of all, opportunities to work were offered everywhere so to
-speak. It was imperative to set up a large-scale road-building program
-in Germany; it was necessary to revitalize the engine industry,
-especially the automobile industry, which, of course, had to be
-appropriately protected. An extensive house building program was needed;
-hundreds of thousands of houses were required...
-
-DR. SAUTER: In short...
-
-FUNK: Agriculture lacked mechanization and motorization.
-
-I should like to give here, however, only two figures, two ratios, which
-throw light on the whole situation. Up to the war two-thirds of
-Germany’s total production went to private consumption and only
-one-third for public needs. Up to that point, therefore, the armament
-industry did not play a decisive role.
-
-DR. SAUTER: Dr. Funk, now we will turn to another chapter.
-
-You will remember that the Prosecution contended in their trial brief
-that the evidence against you was largely circumstantial. I assume,
-therefore, that it was based upon your offices rather than your actions.
-For this reason I should be interested to know which Party offices you
-held during the period which followed.
-
-FUNK: Only once, in the year 1932...
-
-DR. SAUTER: That is to say in the Party—not government offices.
-
-FUNK: I understand. Only in the year 1932, and then for only a few
-months, did I receive Party assignments, because Gregor Strasser wanted
-to set up for me an office of my own, for private economy. This office,
-however, was dissolved a few months later when he himself resigned from
-the Party and from his offices. Then in December 1932 I was instructed
-to take charge of a committee for economic policy.
-
-DR. SAUTER: In December 1932?
-
-FUNK: Yes. And in February 1933, that is, 2 months afterwards, I gave up
-this office again. Both assignments were unimportant and never really
-got going in the short time they lasted. All the gentlemen in the dock
-who were in leading positions in the Party at that time can confirm
-this. I never had any other Party office; so that after 1933 I received
-no further assignments from the Party and no Party office either.
-
-DR. SAUTER: Then this so-called Office for Private Economy (Amt für
-Privatwirtschaft), if I understood you correctly, existed for just a few
-months in the year 1932 but did not actually function. And in December
-1932 you were made head of the other office, the Committee for Economic
-Policy as it was called. Then a month later, in January 1933...
-
-FUNK: February 1933.
-
-DR. SAUTER: February 1933, shortly after the seizure of power, you gave
-up this so-called office. Is that correct?
-
-FUNK: Yes.
-
-DR. SAUTER: Now for your connection with the Party. Were you a member of
-any organization of the Party—SA, SS, or any other section of the
-Party?
-
-FUNK: I never belonged to any organization of the Party, neither SA nor
-SS, nor any other organization; and as I have already said, I did not
-belong to the Leadership Corps.
-
-DR. SAUTER: You did not belong to the Leadership Corps?
-
-FUNK: No.
-
-DR. SAUTER: You know, Dr. Funk, that the Party functionaries, that is,
-the Party veterans, and so forth, met annually in November at Munich.
-You have yourself seen a film showing this anniversary meeting.
-
-Were you ever invited to these gatherings on 8 and 9 November?
-
-FUNK: I do not know whether I received invitations; it is possible. But
-I have never been at such a gathering, for these meetings were specially
-intended for old Party members and the Party veterans, in commemoration
-of the March on the Feldherrnhalle. I never participated in these
-gatherings, as I was averse to attending large gatherings. During all
-this time I attended a Party rally only once, just visiting one or two
-functions. Mass gatherings always caused me physical pain.
-
-DR. SAUTER: Witness, did you receive the Golden Party Badge, after you
-became Minister for Economics?
-
-FUNK: No; I received that when I was still press chief of the Reich
-government.
-
-DR. SAUTER: You did not get it as Minister?
-
-FUNK: No.
-
-DR. SAUTER: How long were you a National Socialist deputy of the
-Reichstag?
-
-FUNK: For just a few months.
-
-DR. SAUTER: From when to when?
-
-FUNK: From July 1932 to February 1933. I did not get another seat,
-because the Chairman of the Party, the chairman of the parliamentary
-group, Dr. Frick, informed me that, by a directive of the Führer, only
-the old Party members would receive mandates; and I had received a state
-position in the meantime.
-
-DR. SAUTER: Witness, in regard to the laws which are of particular
-importance in this Trial, such as the Enabling Act, which practically
-eliminated the Reichstag; the law forbidding political parties; or the
-law for the unity of Party and State—in respect to all these laws,
-which were in preparation for later developments, were you still a
-member of the Reichstag at that time or had you already ceased to be
-one?
-
-FUNK: I was no longer a Reichstag deputy. But even so, I considered
-these laws necessary.
-
-DR. SAUTER: That is another question. But you were no longer a Reichstag
-deputy?
-
-FUNK: No; and I was not a member of the Cabinet, either.
-
-DR. SAUTER: Dr. Funk, we have frequently seen and heard of an affidavit
-by the American Consul General, Messersmith, dated 28 August 1945,
-Document 1760-PS. He says in the passage which concerns you:
-
- “He had been the editor of one of the leading financial journals
- in Berlin before the Nazis came in and had very little open Nazi
- sympathy when they did come in.”
-
-He goes on to say:
-
- “...later he became an ardent Nazi and one of their most
- effective instruments because of his undoubted capacities in
- various fields.”
-
-That is what the American Consul General, Messersmith, says about you. I
-should like to remind you of another passage from the book by Dr.
-Oestreich, which I have already mentioned and which has the title
-_Walter Funk, A Life for Economy_. That is 3505-PS, which has already
-been used and submitted in these proceedings.
-
-In this book the author says that the assignments given to you by the
-Party, even if they covered a period of a few months only, might be
-regarded as particularly important.
-
-What can you tell us about these two quotations?
-
-FUNK: I have already stated that I declared myself for the Party and
-took up my Party work with enthusiasm. I was never attached to the
-propaganda organization, as has been asserted by Mr. Messersmith. I
-cannot remember that I ever knew Mr. Messersmith at all; nor do I
-remember discussing Austria with him, which he also asserts.
-
-DR. SAUTER: Nor the Anschluss of Austria to Germany?
-
-FUNK: I cannot remember that, although of course I considered the union
-of Germany and Austria necessary; but I do not recall discussing it with
-Mr. Messersmith.
-
-As far as Dr. Paul Oestreich’s book is concerned, I am sorry that the
-Prosecution has used this book as a source of information. Mistakes have
-arisen which could have been avoided and which I would not have to
-refute here now. Oestreich was a man who was quite outside the Party.
-
-DR. SAUTER: What was he?
-
-FUNK: He owned a German newspaper in Chile, and for some years he was
-political editor of the _Berliner Börsenzeitung_.
-
-DR. SAUTER: Political editor?
-
-FUNK: First of all, he naturally wanted to secure a market for his book;
-and for that reason he exaggerated the importance of my position in the
-Party. He may have thought that in this way he would do me a particular
-favor. In any case, as things have been described there, they are not
-correctly stated.
-
-DR. SAUTER: Witness, in Document Number 3563-PS, submitted by the
-Prosecution, there is a statement to the effect that you, Dr. Funk, were
-described in several publications as Hitler’s adviser on economic
-policy; and in another passage you are said to be Hitler’s
-“Wirtschaftsbeauftragter” (Economic Plenipotentiary). Was this a Party
-office, or what precisely was meant by this term? What functions is it
-supposed to indicate?
-
-FUNK: It was neither a Party office nor a Party title. The press
-frequently called me so on account of my activity on behalf of the Party
-in 1932, and it was obviously adopted by writers from the newspapers.
-But it was neither an office nor a title. It is really nonsense to
-consider my activities at that time so important; for if they had
-actually been of importance, I should certainly have retained these
-offices when the Party came to power.
-
-The Reich Minister for Food and Agriculture was also a Reichsleiter;
-State Secretary Reinhardt, of the Finance Ministry, was the head of the
-Department for Financial Policy in the Reich Party Directorate
-(Reichsleitung), _et cetera_. But there never was a “Reichsleiter für
-die Wirtschaft.” When the Party came to power I left the Reichstag and
-all Party organizations.
-
-DR. SAUTER: Dr. Funk, a Reich Economic Council of the Party—I repeat
-the term: Reich Economic Council of the Party—has been mentioned once
-or twice in the course of this Trial. What do you know about your part
-in this Party organization and about the duties and domain of this Party
-organization?
-
-FUNK: I had to think for a long time before I could remember this group
-at all, especially as neither Hess, Rosenberg, nor Frank remembered
-anything of the kind. But I remember dimly that Gottfried Feder had a
-Circle of people whom he used to call in for consultation and to which
-he gave the rather pompous name of “Reich Economic Council of the
-Party.” After the seizure of power this group ceased to exist. I never
-attended any of its sessions, and I was very much surprised to learn
-from the Indictment that I was supposed to have been the deputy chairman
-of this group. This group was of no importance whatsoever.
-
-DR. SAUTER: You mentioned Gottfried Feder.
-
-FUNK: He was responsible for the economic program and tenets of the
-Party from its establishment until it came to power.
-
-DR. SAUTER: So he was the economic theorist of the Party from its
-foundation until it came to power?
-
-FUNK: Yes. Dr. Wagner and Keppler overshadowed him later on. Keppler was
-always given the title of Economic Adviser to the Führer in public.
-
-DR. SAUTER: Dr. Funk, if I understood you correctly, the persons whom
-you mentioned just now are those whom you consider as the economic
-advisers of Hitler?
-
-FUNK: No, that is wrong.
-
-DR. SAUTER: Well?
-
-FUNK: Hitler did not allow anyone to advise him, especially on economic
-matters. These were merely the men who dealt with problems of economic
-policy in the Party leadership, both before and after my time.
-
-DR. SAUTER: Also from the publicity angle, like Gottfried Feder?
-
-FUNK: He did a good deal of writing; he treated the problem of the
-lowering of the rate of interest, for example, in great detail.
-
-DR. SAUTER: Dr. Funk, those were your real or supposed Party offices.
-Now I turn to your State offices. After the seizure of power—that is,
-at the end of January 1933—you became press chief under the Reich
-Government. In March 1933, when the Propaganda Ministry was created,
-that being a State Ministry, you became State Secretary in this
-Propaganda Ministry under Minister Goebbels. How did that come about?
-
-FUNK: May I give a short summary of these matters?
-
-DR. SAUTER: One moment...
-
-FUNK: It would go much faster than asking each question separately.
-
-DR. SAUTER: Then I would ask you to consider at the same time the
-question of why you entered the Propaganda Ministry and were made press
-chief of the Reich Government, although you were usually always occupied
-with economic questions.
-
-FUNK: The Reich Marshal has already stated in his testimony; firstly,
-that he never knew that I had been active in the Party at all before
-1933, and secondly, that, as he himself rightly believed, my appointment
-as press chief of the Reich Government came as a complete surprise. On
-29 January 1933 the Führer told me that he had no one among the old
-Party members who was intimately acquainted with the press and that he,
-therefore, wanted to ask me to take over the position of press chief,
-especially as this appointment involved regular reports to the Reich
-President. The Reich President knew me and, as I may mention again later
-on, very much liked me. I was often a guest at his home and was on
-friendly terms with his family.
-
-DR. SAUTER: That is, Hindenburg?
-
-FUNK: Yes, Hindenburg.
-
-These were the reasons which prompted Hitler to make me press chief of
-the Reich Government. The press chief of the Reich Government was also a
-ministerial director in the Reich Chancellery, and I did not like the
-idea of suddenly becoming a civil servant, for I never had any ambitions
-in that direction. But I accepted the appointment, influenced by the
-general enthusiasm of that period and in obedience to the Führer’s
-summons.
-
-I gave regular press reports to him, in the presence of Lammers. These
-conferences went on for a year and a half only, until the death of the
-Reich President, after which they stopped. The Führer issued
-instructions to the press through the Reich press chief of the Party,
-Dr. Dietrich, who was later also made a State Secretary in the
-Propaganda Ministry.
-
-When the Propaganda Ministry was founded the Führer asked me to organize
-this ministry, so that Goebbels would not have to deal with problems of
-administration, organization, and finance. Then the Press Department of
-the Reich Government, of which I had so far been in charge, was
-incorporated in the Propaganda Ministry and placed under the direct
-control of Goebbels. It also had its own special chief.
-
-From that time on—that is, after only 6 weeks activity as press chief
-of the Reich Government—my activities regarding the information and
-instruction of the press were at an end. From then on this was done by
-Goebbels himself, who generally drew a sharp line between the political
-and administrative tasks of the Ministry. He brought with him his old
-collaborators from the propaganda leadership of the Party to look after
-propaganda.
-
-My services were not required for political propaganda. Goebbels took
-care of it through the Party organ, of which I was not a member. I had,
-for instance, as Chairman of the Supervisory Council, to be responsible
-for the finances of the German Broadcasting Corporation—a matter of a
-hundred million—but I never broadcasted propaganda speeches. Nor did I
-speak at any of the big State or Party rallies. Naturally, I fully
-appreciated the importance of propaganda for state leadership and
-admired the truly gifted manner in which Goebbels conducted his
-propaganda; but I myself played no part in active propaganda.
-
-DR. SAUTER: Then, if I understood you correctly, your functions in the
-Propaganda Ministry, which was, of course, a state ministry, were of a
-purely administrative and organizational nature; and you left the actual
-propaganda to the Minister, Dr. Goebbels, and the people he brought into
-the Ministry from the Party propaganda instrument. Is that correct?
-
-FUNK: Yes. Goebbels naturally claimed the exclusive right to dispose of
-all propaganda material. I did not appear beside him in the field of
-propaganda at all; and other considerable restrictions were imposed on
-my position as State Secretary by the fact that many assignments, looked
-after in other ministries by the State Secretary, were in this case
-taken care of by Goebbels’ expert, Hahnke, who was later made State
-Secretary and Gauleiter.
-
-DR. SAUTER: Hahnke?
-
-FUNK: Yes. I do not believe that during the entire period of my activity
-in the Propaganda Ministry I signed even three times as Goebbels’
-deputy. One of these signatures has been nailed down by the Prosecution.
-It is a signature appended to an order for the execution of a directive
-and fixing the date on which it is to come into force.
-
-DR. SAUTER: What kind of directive was that?
-
-FUNK: The decree for the application of the law of the Reich Chamber of
-Culture. The Reich Cabinet decreed legislation in connection with the
-Reich Chamber of Culture. I was not a member of the Reich Cabinet; but
-as State Secretary to the Propaganda Ministry I was, of course, formally
-responsible, and naturally I promoted propaganda, as did everyone else
-who occupied a leading position in the official or the intellectual life
-of Germany. The entire cultural life of the nation was permeated with
-this propaganda in a measure appropriate to the overwhelming,
-fundamental significance which was rightly attached to propaganda in the
-National Socialist State.
-
-DR. SAUTER: Dr. Funk, the Prosecution has held you responsible for laws
-decreed during your term of office as press chief of the
-Reichsregierung. I refer, for instance, to the laws submitted under
-Documents Number 2962-PS and 2963-PS. These are the laws well known to
-you and which concern the abolition of civil rights in Germany and the
-abolition of the parliamentary form of government. I ask you to explain,
-what did you have to do with these laws? Did you as press chief under
-the Reich Government have any influence on the contents and promulgation
-of these laws?
-
-FUNK: No. This question has already been answered in the negative by
-both the Reich Marshal and Dr. Lammers. All I had to do was to pass on
-the contents of these laws to the press, in accordance with instructions
-given to me by the Führer.
-
-DR. SAUTER: So you were surely present at the sessions of the Reich
-Cabinet...
-
-FUNK: Yes.
-
-DR. SAUTER: And you took note of the deliberations and resolutions of
-the Reich Cabinet...
-
-FUNK: Yes.
-
-DR. SAUTER: That was the reason of your presence there; but your sole
-duty—and please tell me if I am correct—was to inform the press, after
-the cabinet sessions, of the decisions made? Is that correct?
-
-FUNK: Yes, that is correct.
-
-DR. SAUTER: So you had no influence on the drafting or on the contents
-of the laws, nor on the voting? Is that right?
-
-FUNK: Yes, that is right. I had neither a seat nor a vote in the
-Cabinet.
-
-DR. SAUTER: Were you responsible for the press policy of the Reich
-Government—and I stress: the Reich Government and not the Party?
-
-FUNK: I have already said that I received my instructions for the press
-from the Führer; that went on for 6 weeks. Then Dr. Goebbels took charge
-of press policy.
-
-DR. SAUTER: You have already said that the press reports to Reich
-President Von Hindenburg ended with his death in August 1934?
-
-FUNK: Yes.
-
-DR. SAUTER: And also, from the same date, your press reports to Hitler,
-who was then Reich Chancellor, is it not so?
-
-FUNK: Yes, that is correct. Reich President Hindenburg had died in the
-meantime.
-
-DR. SAUTER: And afterwards the Reich press chief, that is the Party
-official, Dr. Dietrich, tended more and more to occupy your place?
-
-FUNK: Yes, Dr. Dietrich was one of the Führer’s closest collaborators;
-and through him the Führer gave his instructions to the press.
-
-DR. SAUTER: Dr. Funk, the book by Dr. Oestreich, 3505-PS, Exhibit
-USA-653, which we have already dealt with, contains the following
-quotation on your press policy; and I quote:
-
- “Many of the journalists who worked in Berlin and the provinces
- are grateful to Funk for the way in which he attended to their
- wishes and their complaints, especially during the transition
- period.
-
- “Funk is responsible for the much-quoted saying that the press
- must not be a ‘barrel-organ,’ with which he protested against
- the uniformity”—to use a German word, the one-sided modeling
- and leveling—“of the press and demanded individuality for it.
- But he also protected the press from efforts made by various
- offices to ‘grind their own ax....’”
-
-Is that correct?
-
-FUNK: Yes; I probably did write that; and that was my opinion. So far as
-it lay within my power, I tried to protect the press from
-standardization and arbitrary treatment, especially at the hands of the
-government offices.
-
-DR. SAUTER: You have already said, I believe, that you took no part in
-the political direction of the Propaganda Ministry—I stress, the
-political direction of the Propaganda Ministry—or in the actual work of
-propaganda. Is that correct?
-
-FUNK: Yes, that is correct.
-
-DR. SAUTER: Mr. President, I turn now to a new complex. Do you wish to
-have the recess now, Your Honor?
-
-THE PRESIDENT: I think we will go straight on. We are going to adjourn
-at 12 o’clock.
-
-DR. SAUTER: Witness, I come now to your attitude on the question of
-anti-Semitism. I do so because you are held more or less responsible,
-along with others, for the excesses committed against the Jews. Will you
-tell us on what principles your attitude was based?
-
-FUNK: I was never anti-Semitic on the basis of racial principles. At
-first I thought that the anti-Semitic demands of the Party program were
-a matter of propaganda. At that time the Jews in many respects held a
-dominant position in widely different and important fields of German
-life; and I myself knew many very wise Jews who did not think that it
-was in the interest of the Jews that they should dominate cultural life,
-the legal profession, science, and commerce to the extent that they did
-at the time...
-
-The people showed a tendency toward anti-Semitism at that time.
-
-The Jews had a particularly strong influence on cultural life and their
-influence seemed to me particularly dangerous in this sphere because
-tendencies which I felt to be definitely un-German and inartistic
-appeared as a result of Jewish influence, especially in the domain of
-painting and music. The law concerning the Reich Chamber of Culture was
-created, radically excluding the Jews from German cultural life but with
-the possibility of making exceptions. I applied these exceptions
-whenever I was in a position to do so. The law, as I have stated, was
-decreed by the Reich Cabinet, which bears the responsibility for it. I
-was at that time not a member of the Cabinet. During the period of my
-activities in the Propaganda Ministry, I did what I could to help the
-Jews and other outsiders in cultural life.
-
-Everyone who knows me from my activities during that period can and must
-testify to that.
-
-DR. SAUTER: I have submitted two affidavits in my document book;
-Documents Number Funk-1 and 2. The first was made by the editor of the
-_Frankfurter Zeitung_, Albert Oeser; and the second by a lawyer, Dr.
-Roesen. I ask you to take judicial notice of both these documents. The
-first affidavit proves that the Defendant Funk took a great deal of
-trouble to protect the interests of the above-mentioned Albert Oeser,
-the editor of the _Frankfurter Zeitung_, and those of a number of the
-staff of this newspaper, although by doing so he was endangering his own
-position. In particular, he persisted in retaining members of the staff
-who were not of Aryan descent and who, therefore, in accordance with the
-intentions of the Party, should no longer have been employed.
-
-FUNK: It was not in accordance with the intentions of the Party, but in
-accordance with the law passed for the Chamber of Culture that they were
-no longer to be employed.
-
-DR. SAUTER: In accordance with the law passed for the Chamber of
-Culture, also.
-
-Then Document Number 2 of the document book, an affidavit made by Dr.
-Roesen, who confirms that the Defendant Funk also intervened, for
-instance, on behalf of the family of the composer, Dr. Richard Strauss,
-and his non-Aryan grandchildren and by so doing incurred certain
-personal danger. These are just a few examples; but the defendant can
-probably tell you of other cases in which he looked after people’s
-interests.
-
-THE PRESIDENT: What exhibit number are you offering those as?
-
-DR. SAUTER: Numbers Funk-1 and 2 in the document book. I have submitted
-the originals.
-
-THE PRESIDENT: 1 and 2?
-
-DR. SAUTER: 1 and 2.
-
-[_Turning to the defendant._] Dr. Funk, I have just said that perhaps
-you could—quite briefly—give us some more examples of cases where you
-used your official position to protect intellectuals and artists, whose
-views had got them into difficulties.
-
-FUNK: Richard Strauss is a special case. That most remarkable living
-composer found himself in great difficulties on account of a libretto
-written by the Jew, Stefan Zweig.
-
-I succeeded in having Richard Strauss again received by the Führer, and
-the whole affair was dismissed.
-
-Dr. Wilhelm Furtwängler found himself in similar difficulties because he
-wrote an article praising the composer Hindemith; and composers with
-Jewish wives, such as Lehar, Künnecke, and others who were always in
-difficulties because of their efforts to evade the ban placed on the
-performance of their works. I always succeeded in getting permission for
-these composers to have their works performed.
-
-THE PRESIDENT: The defendant can say that he helped hundreds of Jews,
-but that does not really destroy the fact that he may have acted
-hostilely by signing decrees against the Jewish race—his helping a few
-Jewish friends. Anyhow, I do not think that it need be gone into any
-detail.
-
-DR. SAUTER: We are of the opinion, Mr. President, that in order to judge
-the character and personality of the defendant, it may be important to
-know whether he signed decrees which were in any way anti-Semitic
-because as an official he considered himself bound by his oath to carry
-out the law of the land, or whether he signed them because he himself
-was an anti-Semite who wished to persecute Jewish citizens and to
-deprive them of their rights, and for this reason only...
-
-THE PRESIDENT: Dr. Sauter, the Tribunal thinks that you have made the
-point quite clearly that he helped Jewish friends, but it isn’t a
-question which need be gone into in detail.
-
-DR. SAUTER: I come now, in any case, Mr. President, to another point. I
-want to ask the defendant how his activities in the Propaganda Ministry
-developed in later years.
-
-FUNK: In exactly the same direction that I have described here. By
-degrees I came to be in charge of a large cultural economic
-concern—film companies, broadcasting corporations, theaters. I was
-director and chairman of the supervisory board of the Philharmonic
-Orchestra and on the Council of German Economy, which dealt collectively
-with the economic activities in the entire economic field at home and
-abroad with the active participation of the economy itself. Those were
-the main parts of my work.
-
-DR. SAUTER: Witness, the Prosecution has submitted under Document Number
-3501-PS an affidavit by the former Reich chief of the press—I
-believe—Max Amann, in regard to your activities in the Propaganda
-Ministry. I want to refer to this now. In that affidavit, we find the
-statement that Dr. Funk—and I quote literally:
-
- “...was to all intents and purposes Minister in the Propaganda
- Ministry...”—And it says further on—and I quote again—“Funk
- exercised complete control over all means of expression in
- Germany: press, theater, radio, and music.”
-
-Now, I ask you to comment on that; but you can do so quite briefly
-because I have already submitted an affidavit by Max Amann to the
-contrary to which I will refer later.
-
-FUNK: Amann knew the Ministry only from the outside; and, therefore, he
-had no exact knowledge of its internal affairs. My work was done in the
-manner I have described. It is completely absurd to assert that under a
-Minister such as Dr. Goebbels the Ministry could have been led by
-someone else who was not the Minister.
-
-Dr. Goebbels assumed such exclusive and all-embracing functions in the
-field of propaganda that he dwarfed everyone else.
-
-DR. SAUTER: Mr. President, I have submitted an affidavit by that same
-former Reichsleiter Amann, dealing with the same subject, in the
-appendix to the Funk Document Book, under Document Number Funk-14—that
-will be Exhibit Number 3—and I ask you to take judicial notice of this
-affidavit. I do not think I have to read it. I administered that
-affidavit in the presence of and with the co-operation of a member of
-the Prosecution. The essential part of this affidavit of 17 April 1946
-is that Reichsleiter Max Amann also admits that Funk had nothing to do
-with propaganda as such. That is to say, he did no broadcasting and
-indulged in no propaganda speeches but was mainly concerned with the
-organization and administration of the Ministry. Now, Mr. President, I
-come to the defendant’s position as Reich Minister of Economics.
-
-[_Turning to the defendant._] Dr. Funk, you were State Secretary in the
-Propaganda Ministry until 1937. At the end of November 1937 you became
-Reich Minister of Economics, after your predecessor, Dr. Schacht, had
-left that post. Can you tell us with the necessary brevity—of
-course—how that change took place and why you were called to that post?
-
-FUNK: That took me completely by surprise, too. During a performance at
-the opera, the Führer, who was present, took me aside in the vestibule
-during an interval and told me that the differences between Schacht and
-Göring could no longer be bridged and that he was therefore compelled to
-dismiss Schacht from his office as Minister of Economics and was asking
-me to take over the post of Minister of Economics, as he was very well
-acquainted with my knowledge and experience in the field of economics.
-He also asked me to contact Reich Marshal Göring who would explain
-everything else.
-
-That was the only conversation which I had with the Führer on the
-subject.
-
-DR. SAUTER: And then you spoke to Göring himself? Will you tell us about
-that?
-
-FUNK: Then I went to the Reich Marshal who told me that he had really
-only intended to put a state secretary in charge of the Reich Ministry
-of Economics but that later he decided that the extensive machinery of
-the Four Year Plan should be merged with the machinery of the Ministry
-of Economics. However, the minister would have to work in accordance
-with his directives and in particular the plenipotentiaries for the
-individual decisive branches of economy would be maintained and would
-receive their directives directly from the Delegate for the Four Year
-Plan. In order to proceed with the necessary reorganization, the Reich
-Marshal himself took over the direction of the Reich Economic Ministry;
-and in February 1938 he transferred it to me.
-
-DR. SAUTER: So Göring himself was to all intents and purposes the head
-of the Reich Ministry for Economics for a period of about 3 months.
-
-FUNK: The reorganization was effected under his control. The control of
-economic policy was in his hands then as well as later.
-
-The main control offices under the Four Year Plan were maintained; for
-instance, the Foreign Currency Control Office, which gave directives to
-the Reichsbank; there was the Food Control Office, which gave directives
-to the Food and Agriculture Ministry; the Allocation of Labor Control
-Office, which gave directives to the Labor Ministry; and also the
-plenipotentiaries for the separate branches of economics: coal, iron,
-chemicals, _et cetera_, which were under the direct control of the
-Delegate for the Four Year Plan. Some offices were also transferred in
-this way to the Ministry of Economics from the Four Year Plan, which
-continued to function quite independently. They included the Reich
-Office for Economic Development and Research, which was under the
-direction of Professor Strauch, and the Reich Office for Soil Research,
-directed by State Secretary Kempner, mentioned here in connection with
-Slovakia and Austria.
-
-I tried to restore the independence of these offices. I am still in
-ignorance of what these offices did. In any case, they thought
-themselves responsible to the Four Year Plan rather than to the Minister
-of Economy.
-
-DR. SAUTER: Dr. Funk, the essential point of what you have just said
-seems to me to be that you received the title of minister but that in
-reality you were not a minister, but might have had the position of a
-state secretary and that your so-called Ministry of Economics was
-completely subordinated to the directives of the Four Year Plan—your
-Codefendant Göring in other words—and was compelled to follow these
-directives.
-
-Did I understand it correctly?
-
-FUNK: The latter point is correct. The Reich Marshal has clearly
-expressed and confirmed that here. But the first statement is not
-correct because formally, at least, I held the position of minister,
-which involved a gigantic administrative domain to which the Reich
-Marshal, of course, could not pay attention. The very purpose of the
-reorganization was that the Reich Marshal reserved for himself the
-direction and control of economic policy in the most important and
-decisive matters and gave me corresponding directives, but the execution
-of these was naturally in the hands of the Ministry and its
-organizations. But it is true that the position of minister, in the
-usual meaning of the term, did not exist. There was, so to speak, a
-higher ministry. But that has happened to me all my life. I arrived at
-the threshold, so to speak; but I was never permitted to cross it.
-
-DR. SAUTER: That is not the case as far as this Trial is concerned.
-
-Dr. Funk, the Prosecution asserts that, although you were not really a
-minister with the usual responsibility and independence of a minister,
-you, as Dr. Funk, Reich Economic Minister, still exercised supervision
-over those parts of the German economy which were grouped under war and
-armaments industry, that is, in particular, raw materials and
-manufactured materials as well as mining, the iron industry, power
-stations, handicrafts, finance and credit, foreign trade and foreign
-currency. I refer you, Dr. Funk, to the statements on Page 22 of the
-German translation of the trial brief, which I discussed with you
-several days ago.
-
-FUNK: That is formally correct. But I have already explained how matters
-really were. I had nothing to do with the armament industry. The
-armament industry was at first under the High Command of the Armed
-Forces, under the Chief of the Armament Office, General Thomas, who was
-a member of Schacht’s conspiracy, of which we have heard here. The
-Armament Minister Todt, who was appointed in 1940, at once took over
-from me the entire power economy; and later on I turned over all the
-civilian production to Armament Minister Speer.
-
-DR. SAUTER: What do you mean by civilian production?
-
-FUNK: Coal, chemicals, consumer, and other goods. The main production
-branches in that field already mentioned here were, as I said before,
-under the Delegate for the Four Year Plan. Thus it came about that the
-Ministry of Economics gradually became a new Ministry of Commerce, which
-dealt only with the distribution of consumer goods.
-
-DR. SAUTER: Mr. President, perhaps we might let him go on for a few
-seconds longer; because I would then come in a second to the subject of
-the Reichsbank President.
-
-THE PRESIDENT: Certainly.
-
-DR. SAUTER: Will you please continue briefly? You stopped. I believe you
-wanted to say more about manpower, gold, and foreign currency—about the
-competent authorities there.
-
-FUNK: The Foreign Currency Control Office under the Four Year Plan was
-the competent authority for that; and the Reichsbank had to act in
-accordance with its directives—in my time, at least.
-
-DR. SAUTER: And the direction of foreign trade?
-
-FUNK: That was in the hands of the Foreign Office. The Minister for
-Foreign Affairs obstinately laid claim to that.
-
-DR. SAUTER: And what did the Ministry of Economics do?
-
-FUNK: The Ministry of Economics and the Reichsbank attended to the
-technical execution in this sphere, that is, the technical execution of
-clearing agreements, balances, _et cetera_.
-
-DR. SAUTER: Mr. President, I come now to a separate theme. I should like
-now to discuss his position as President of the Reichsbank. I believe it
-might be a good moment to adjourn.
-
-THE PRESIDENT: The Court will adjourn.
-
- [_The Tribunal adjourned until 6 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-SECOND DAY
- Monday, 6 May 1946
-
-
- _Morning Session_
-
-[_The Defendant Funk resumed the stand._]
-
-DR. SAUTER: Mr. President, I will continue my questioning of the
-Defendant Dr. Funk. On Saturday we were discussing the appointment of
-Dr. Funk as Reich Minister of Economics and now I turn to his
-appointment as President of the Reichsbank.
-
-Witness, I believe it was in January 1939 when you also became President
-of the Reichsbank as successor to Dr. Schacht. How did that appointment
-come about?
-
-FUNK: I had just returned from a journey about the middle of January
-1939. I was called to the Führer and found him in a state of great
-agitation. He told me that the Reich Minister of Finance had informed
-him that Schacht had refused the necessary financial credits and that
-consequently the Reich was in financial straits. The Führer told me, in
-great excitement, that Schacht was sabotaging his policies, that he
-would not tolerate the Reichsbank’s interference with his policies any
-longer and the gentlemen in the Reichsbank Directorate were utter fools
-if they believed that he would tolerate it. No government and no chief
-of state in the world could possibly make policy dependent on
-co-operation or non-co-operation of the issuing bank.
-
-The Führer further declared that from now on he himself, on the
-suggestions and demands of the Reich Minister of Finance, would fix all
-credits to be given by the Reichsbank to the Reich. He had given Lammers
-instructions to formulate a decree, together with the Reich Minister of
-Finance, by which the status of the Reichsbank, as established by the
-provisions of the Treaty of Versailles, would be changed, and whereby
-the terms for the granting of credits to the Reich would be determined
-by himself alone in the future.
-
-The Führer further said that he was asking me to take over the direction
-of the Reichsbank, whereupon I replied that I would be glad to comply
-with his wish, but that first of all I had to have confirmation from him
-that the conditions for stabilization of currency would be maintained.
-
-The opinion, which was voiced here by a witness, that inflation would be
-brought about through a further grant of credits at that time is wrong
-and totally untenable. Although 12,000 millions of credit can have an
-inflationary effect, 20,000 millions of credit will not necessarily tend
-toward inflation if the state has the necessary authority to stabilize
-prices and wages and to carry out the regulation and administration of
-prices, and if the people maintain the proper discipline in this
-respect, and if, finally, the money which as a result of increased
-credits represents excess purchasing power is diverted through taxes or
-taken up through loans; then, as far as the currency is concerned, there
-is absolutely no danger.
-
-It is a fact that the Reichsmark, up to the final collapse, was kept on
-a stable basis. As far as the essentials of life are concerned, the
-purchasing power of money in Germany was secure. Of course, its value
-was limited insofar as consumers’ goods were produced only on a very
-limited scale, for almost all production was turned over to armaments.
-
-DR. SAUTER: Dr. Funk, have you concluded?
-
-FUNK: Just one moment, please. I believe this is a very important
-question.
-
-In other countries as well, large credits were issued during the war
-which did not in any way cause an inflation. The national debt in the
-United States as well as in England was relatively, and in part even
-absolutely, higher than that in Germany. And in these countries, too, a
-correct financial policy overthrew the old thesis that a war would, of
-necessity, bring about the destruction of the monetary value.
-
-The German people, up to the very end, until the terrible collapse,
-maintained admirable discipline. Money as a function of the state will
-have its value and currency will function so long as the state has
-authority to maintain it on a stable basis, to keep the economy under
-control, and as long as the people themselves maintain the necessary
-discipline.
-
-Thus I took over this office not with the knowledge that Germany was now
-entering an inflation period but, on the contrary, I knew well that
-through maintenance of a suitable governmental policy the currency could
-be protected, and it was protected. However, the basic difference
-between Schacht’s position and my position lay in the fact that during
-Schacht’s time the Reichsbank could determine the granting of credits to
-the Reich, whereas this authority was taken from me, and the
-responsibility for domestic finances, therefore, was turned over to the
-Minister of Finance or of course to the Führer himself.
-
-DR. SAUTER: Dr. Funk, I have another question. Perhaps, despite your
-poor state of health today, you might be able to speak a little more
-loudly so that the stenographers might understand you more easily.
-Please try, and we will make this as brief as possible.
-
-Witness, then in addition to these offices of yours which we have
-discussed up to now, you finally had a further office as successor of
-Dr. Schacht, namely, that of Plenipotentiary General for Economy. Can
-you give us some details of your view in this connection in order to
-clarify your situation, your activity, and your achievements?
-
-FUNK: This of all the positions I had was the least impressive. As the
-Reich Marshal correctly stated, and as Dr. Lammers confirmed, it existed
-merely on paper. That, too, was an essential difference between the
-position which Schacht had and the one which I had.
-
-Schacht had been appointed Plenipotentiary General for War Economy. I,
-on the other hand, was the Plenipotentiary General for Economy.
-According to the Reich Defense Law of 1938, the Plenipotentiary General
-for Economy was to co-ordinate the civil economics departments in
-preparing for a war. But, in the meantime, these economic departments
-had been subordinated to the Delegate for the Four Year Plan, and I, as
-Plenipotentiary General for Economy, was also subordinate to the
-Delegate for the Four Year Plan.
-
-Consequently, there was confusion and overlapping in matters of
-competence and authority as they had been laid down formally. The result
-was a directive of the Führer just a few months after the beginning of
-the war which _de jure_ and formally transferred the authority of the
-Plenipotentiary General for Economy, as far as the civil economic
-departments were concerned, to the Delegate for the Four Year Plan.
-
-DR. SAUTER: When was that?
-
-FUNK: That was in December of 1939. There remained only a formal
-authority to issue directives, that is, I could sign directives on
-behalf of the five civil economic departments, which, according to the
-Reich Defense Law, were subordinate to the Plenipotentiary. I retained
-authority over the Ministry of Economics and the Reichsbank, which I had
-in any case.
-
-DR. SAUTER: But you were subordinate even in these functions to the
-Delegate for the Four Year Plan; is that correct?
-
-FUNK: Yes, like all civil economic departments. Only with the Ministry
-of Economics itself did I have a closer connection.
-
-DR. SAUTER: Witness, in August 1939, that is, immediately before the
-beginning of the Polish campaign, you in your capacity as
-Plenipotentiary General for Economy summoned the civil economic offices
-to a meeting for discussions, and Document 3324-PS refers to this
-meeting. It seems to me important that you define your attitude on this
-point also, and especially with reference to the fact that apparently
-your letter to Hitler, dated 25 August, was a result of this meeting.
-This matter is mentioned in your trial brief on Page 24. Will you
-comment on it?
-
-FUNK: In Schacht’s time there existed an office for the Plenipotentiary
-General for Economy, and a working committee was set up which consisted
-of the representatives of the various economic departments, as well as
-of the Ministry of the Interior, the Plenipotentiary for Administration,
-the OKW, and above all, of the Four Year Plan.
-
-When Schacht resigned, the direction of this committee and of the office
-of the Plenipotentiary for Economy was transferred to Dr. Posse, his
-former State Secretary, whereas under Schacht State Counsellor Wohlthat
-had headed the office and the committee. These people, of course, had
-constant consultations, in which they discussed measures necessary in
-the economic sphere for waging war. And this was the organization of the
-Plenipotentiary for Economy which I dealt with in my speech in Vienna
-which had been mentioned here. It existed alongside the Four Year Plan,
-and in the main was charged with a smooth conversion of the civilian
-economy into a war economy in the case of war, and with the preparation
-of a war economy administration.
-
-When, in August of 1939, there was a threat of war with Poland, I called
-together the chiefs of the civil economic departments, as well as the
-representatives of the Four Year Plan, and, in joint consultation, we
-worked out measures necessary for converting the civilian economy into a
-war economy in the case of a war with as little disturbance as possible.
-
-These were the proposals which I mentioned in my letter to the Führer
-dated 25 August 1939, at a time when the German and Polish Armies
-already faced each other in a state of complete mobilization.
-
-It was, of course, my duty to do everything to prevent dislocations of
-the civilian economy in the case of a war, and it was my duty as
-President of the Reichsbank to augment gold and foreign exchange assets
-of the Reichsbank as much as possible.
-
-This was necessary first of all because of the general political tension
-which existed at the time. It would also have been necessary if war had
-not broken out at all, but even if only economic sanctions had been
-imposed, as was to be expected from the general foreign political
-tension which existed at the time. And it was equally my duty, as
-Minister of Economics, to do everything to increase production.
-
-But I did not concern myself with the financial demands of the
-Wehrmacht, and I had nothing to do with armament problems, since, as I
-have already said, the direction of peacetime as well as war economy had
-been turned over to the Delegate for the Four Year Plan.
-
-The explanation for the fact that at that time I kept aloof from the
-work of that committee is the following:
-
-I personally did not believe that there would be war, and everyone who
-discussed this subject with me at that time will confirm this. In the
-months before the beginning of the war I concentrated my entire activity
-on international negotiations for bringing about a better international
-economic order, and for improving commercial relations between Germany
-and her foreign partners.
-
-At that time it was arranged that the British Ministers Hudson and
-Stanley were to visit me in Berlin. I myself was to go for negotiations
-to Paris where, in the year 1937, I had come to know some members of the
-Cabinet when I organized a great German cultural fête there.
-
-The subject of short-term foreign debts had again to be discussed and
-settled—the so-called moratorium. I had worked out new proposals for
-this, which were hailed with enthusiasm, especially in England. In June
-of 1939, an international financial discussion took place in my offices
-in Berlin, and leading representatives of the banking world from the
-United States, from England, from Holland, France, Belgium, Switzerland,
-and Sweden, took part in it.
-
-These discussions led to results which satisfied all parties. At the
-same time I carried out the exchange or transfer of Reichsbank assets in
-foreign countries. This exchange of gold shares also was considered very
-fair and satisfactory in foreign banking circles and the foreign press.
-
-In June of that year I went to Holland to negotiate trade agreements. I
-also participated in the customary monthly discussions of the
-International Clearing Bank at Basel as late as the beginning of July
-1939, and despite the strong political tension which existed at the time
-I was convinced that a war would be avoided and I voiced this conviction
-in all my discussions, at home and abroad. And this is why during those
-months I was barely interested in the discussions and consultations on
-the financing of the war and the shape of war economy.
-
-I had, of course, given instructions to the Reichsbank to use its
-available economic assets abroad as far as possible to obtain gold and
-generally to increase our foreign assets. But in the few months of my
-activity in this sphere before the war, the success of this endeavor of
-mine was slight. Our gold assets and foreign assets, as they were turned
-over to me by Schacht, remained on the whole unchanged until the war.
-
-In my questionnaire to the Reichsbank Vice President, Puhl, I requested
-enlightenment on these transactions, since the Directorate of the
-Reichsbank and its managing director who, at that time, was Puhl, are
-bound to have information on this matter. The answer to this
-questionnaire, I am sorry to say, has not as yet arrived.
-
-DR. SAUTER: Witness, you gave these details obviously to show that
-despite the political tension at the time you did not even think
-seriously of war.
-
-FUNK: Not until August 1939.
-
-DR. SAUTER: Now, in the course of these proceedings, we have heard about
-a series of discussions which Hitler had with generals and other
-personalities, and which concerned military and political matters. All
-these were discussions which we must say today stood in closest
-connection with preparations for war.
-
-At which of these discussions were you present, and what did you gather
-from them?
-
-FUNK: I was never called into political and military discussions, and I
-did not participate in any of these discussions which were mentioned
-here in connection with the charge of planning an aggressive war, so far
-as discussions with the Führer are concerned. I was also not informed
-about the contents of these discussions. And as far as I can remember, I
-was hardly ever present at the discussions with the Reich Marshal, when
-they dealt with this topic.
-
-I have been confronted here with a meeting which took place in October
-of 1938.
-
-DR. SAUTER: 14 October 1938? I can tell you the document number. It is
-1301-PS.
-
-FUNK: Yes.
-
-DR. SAUTER: Were you present at that meeting?
-
-FUNK: No.
-
-DR. SAUTER: That was the meeting...
-
-FUNK: Yes, that was the meeting in which, according to the indictment
-against me, Göring pointed out that he had been instructed by the Führer
-to increase armament to an abnormal extent. The Luftwaffe was to be
-increased fivefold, as speedily as possible.
-
-The Prosecutor, according to the official record (Volume V, Pages 163,
-164), asserts that, in this discussion, Göring addressed me in the words
-of a man who was already at war. I was not even in Germany those days
-but in Bulgaria, and consequently I could not participate in this
-meeting.
-
-DR. SAUTER: Mr. President, as proof of the fact that the Defendant Funk
-was not in Germany at the time of this discussion with Göring on 14
-October 1938 I have submitted several documents in the Document Book
-Funk; they are extracts from the _Völkischer Beobachter_, Numbers 5, 6,
-7, and 8 of the Funk Document Book. These documents are submitted
-chiefly because they show that in fact from 13 October 1938 until 15
-October 1938 Funk was at Sofia in Bulgaria, and therefore could not have
-been present at the Göring meeting on 14 October 1938.
-
-What Funk said in Bulgaria about economic relations I need not read in
-detail. But I would like to refer especially to his speech of 15 October
-1938, Funk Document Book Number 7, in which the Defendant Funk,
-particularly in the first paragraph, declared publicly that the thought
-of an economic union between the German economy and the Southeastern
-European economy was in his mind, and in which Funk quite definitely
-rejected a one-sided dependence of the economy of the southeastern
-states on the economic system of Germany.
-
-Therefore I beg the Tribunal to take judicial notice of these documents
-as evidence and in order to save time I will not go into them further.
-
-Witness, under Document Number PS-3562 the Prosecution has submitted a
-document dealing with a conference on 1 June 1939. You yourself did not
-attend this meeting, but according to the list of those present several
-representatives of your Ministry were there, as well as the
-representative of the Reichsbank. At this meeting the probable financial
-needs of the Reich in case of a war, the productive capacity of the
-Germany economy, and that of the Protectorate in case of a war were
-discussed. There is a marginal note in this record which says that the
-record was to be submitted to you. Can you state very briefly whether
-this was actually done?
-
-FUNK: No, it was not done. I have the document here. If this record had
-been submitted to me I would have affixed my initials “W. F.” to it.
-Besides, this document deals with the continuous discussions, which I
-have already mentioned, about the financing of the war, and the measures
-to be taken in the field of civilian economy in case of a war. The
-decisive measures for the financing were naturally prepared by the Reich
-Minister of Finance, and these measures were discussed at length in this
-conference at which the question of meeting the expenses through taxes
-was one of the chief topics. In any event, a variety of such discussions
-was carried on continuously at that time among the representatives of
-the various departments, and they took place in the office of the
-leading staff of the Plenipotentiary for Economy. By chance I have now
-found this name which earlier I could not remember: this was the
-institution—the committee—which was founded in the days of Schacht and
-was later continued.
-
-DR. SAUTER: Dr. Funk, on 30 March 1939 you made a statement of your
-program in a speech before the Central Committee of the Reichsbank.
-
-I have included these excerpts from the speech which have a bearing on
-this Trial in the Funk Document Book under Number 9. I am coming back to
-this speech because it was delivered before the Central Committee
-shortly after the defendant assumed his office as President of the
-Reichsbank, and represents his program as President of the Reichsbank in
-connection with various matters which have played a part here.
-
-Dr. Funk, perhaps with just a few brief words you might give us the
-essential relevant points of your speech, insofar as the Prosecution is
-interested in them.
-
-FUNK: I do not believe I need do that. I briefly mentioned a while ago
-that in these months I carried on international discussions about the
-necessity for a new order in international economic relations, and that
-I also pointed out Germany’s readiness to play a positive part.
-Therefore, I do not think I need read anything more from this speech; it
-is only meant to show that at that time I did not work on preparations
-for war but endeavored to bring about international economic
-understanding, and that these, my efforts were recognized publicly in
-foreign countries, especially in England.
-
-DR. SAUTER: This intention to establish favorable and confident
-relations with foreign countries, that is, with their financial and
-economic circles, was, I am sure, a deciding factor in a later measure
-to which you already referred a little while ago, namely that
-compensation to foreign shareholders in the Reichsbank, who, I believe,
-existed chiefly in England, Holland, and Switzerland, was assessed and
-paid in a particularly loyal manner.
-
-FUNK: Yes, I have stated that already.
-
-DR. SAUTER: Dr. Funk, you mentioned earlier a letter which you wrote to
-Hitler. This letter would be interesting to me insofar as I would like
-to know just why you wrote it, and why in it you spoke of “your
-proposals,” even though in the main they were concerned with things
-which did not actually originate with you. Perhaps you will say a few
-words about this letter.
-
-FUNK: The tone and contents of this letter can be explained from the
-general mood which existed everywhere in Germany at that time. Beyond
-that it is a purely personal letter to the Führer: In it I thanked him
-for his congratulations on my birthday. For this reason the letter is a
-little emphatic in its style. When I spoke of “my proposals,” this may
-be traced back to the fact that I had personally some time before
-explained to the Führer what measures would be necessary if a war broke
-out. And in the main, those were the measures which were adopted later
-as a result of conferences with the other economic offices, and to which
-I referred in this letter. Thus it was not quite correct for me to say
-“my proposals.” I should really have said, “The proposals worked out
-together with the other economic offices.”
-
-DR. SAUTER: Dr. Funk, have you concluded?
-
-FUNK: No. I would like to explain this whole letter with just a few
-words, since it is apparently one of the pillars of the Prosecution’s
-case against me.
-
-As I have said, it was the time when the two mobilized armies faced each
-other. It was the time when the entire German people were in a state of
-great excitement because of the constant provocations and the
-ill-treatment of the German population in Poland. I personally did not
-believe that we would actually have war, for I was of the opinion that
-diplomatic negotiations could again be successful in preventing the
-threat of war and indeed in avoiding war itself. After the Führer’s
-almost miraculous successes in foreign policy, the heart of every true
-German had to beat faster in the expectation that in the East also
-Germany’s wishes would be fulfilled; that is, that my separated home
-province of East Prussia would be reunited with the Reich, that the old
-German city of Danzig would again belong to the Reich, and that the
-problem of the Corridor would be solved.
-
-The overwhelming majority of the German people, including myself, did
-not believe that this question would end in war. We were rather
-convinced that England would be successful in exerting pressure on
-Poland so that Poland would acquiesce in the German demands on Danzig
-and the Corridor and would not bring on a war. The testimony of the
-witness Gisevius must have made clear to everyone in the world that
-England did nothing at that time to exert a soothing and conciliatory
-influence on Poland. For if the British Government knew that a
-conspiracy existed in Germany in which the Chief of the General Staff,
-the Chief of the OKW, the Chief of German Armament and other leading
-military personalities and generals were involved, and that an overthrow
-had been prepared for the event of war, then the British Government
-would have been foolish indeed if they had done anything to assuage and
-conciliate Poland. The British Government must have been convinced that
-if Hitler should go to war, a _coup d’état_, a revolution, an overthrow
-would take place, and that, in the first place, there would be no war
-and, secondly, that the hateful Hitler regime would be removed. Nobody
-could hope for more.
-
-DR. SAUTER: Dr. Funk, we do not want to talk politics, but rather return
-to this letter of 25 August 1939. May I repeat the number, 699-PS. Let
-us at present deal only with this letter. If I understood you correctly,
-I can summarize your testimony as follows: This rather enthusiastic
-letter to Hitler was written because you were hopeful that Hitler would
-succeed in reuniting your home province of East Prussia with the Reich,
-and would now finally settle the Corridor problem without a war. Did I
-understand you correctly?
-
-FUNK: Yes, but at the same time I feel I must state that I on my part
-did everything to ensure that in the event of war, peacetime economy
-would without disturbance be converted into a war economy. But this was
-the only time at which, as Plenipotentiary for Economy, I was active at
-all with regard to the other economic departments and the fact that I
-referred to my position in this letter may be explained quite naturally,
-because I was proud that I had for once done something in this official
-position—for every man likes to be successful.
-
-DR. SAUTER: Dr. Funk, we are still concerned with the question of
-whether you knew of Hitler’s intent to bring about a war, especially to
-wage aggressive war and to make conquests through aggressive wars. I
-would like to put to you a few questions which, for the sake of
-simplicity, you can answer with “yes” or “no”; I would like to know only
-whether your knowledge and your presentiment agree with the statements
-made by a few witnesses and some codefendants.
-
-For example, Reich Minister Lammers testified that you found it
-especially difficult to see Hitler at all, that an audience was granted
-you only once in a long while, and that even on one occasion I believe
-you waited for days with Lammers at headquarters for the promised
-audience, and that you had to leave again without having gained
-admittance. Is that correct?
-
-FUNK: Yes, I am sorry to say.
-
-DR. SAUTER: Now a further question: We have been confronted with several
-documents which say explicitly—I believe they are records of
-Lammers—that the Reich Minister of Economics, and at one time also the
-Reich Foreign Minister, had requested to be called in to these
-discussions, that Minister Lammers did his best to bring this about, but
-that Hitler did not allow it, that he expressly barred you and the Reich
-Foreign Minister from attending these discussions even though you
-pointed out that important matters of your department were being dealt
-with. Is that correct? Perhaps you can answer with just “yes” or “no.”
-
-FUNK: The meeting which you mention is concerned with the deployment of
-labor. I myself had no direct connection with that, and the Foreign
-Minister probably did not have any marked interest in it either. So I
-assume that for these reasons the Führer did not need me, for as I said
-yesterday his directives for the conduct of economy were given, up to
-the year 1942, to the Reich Marshal as the man responsible for that
-field, and after 1942 the directives were given to Speer, because from
-that date on armaments dominated the entire economic life, and all
-economic decisions, by express order of the Führer, had to give way to
-armament needs.
-
-DR. SAUTER: Dr. Lammers, in his testimony on 8 April, stated—I quote:
-
- “The Führer objected many times, namely against Funk. There were
- various reasons for objecting to Funk. Hitler was skeptically
- inclined toward Funk and did not want him.”
-
-Thus for the testimony of the witness Dr. Lammers. Can you explain why
-Hitler was disinclined toward you?
-
-FUNK: No, only by the objective explanation that he did not need me.
-
-DR. SAUTER: In other words, he considered any discussions with you
-superfluous.
-
-FUNK: Yes.
-
-DR. SAUTER: Witness, in connection with the topic of aggressive wars, I
-would be interested in the following: In the Indictment, on Page 30 of
-the German trial brief, it is set forth that you personally and through
-your official representatives, that is you personally as well as through
-the representatives who were appointed by you, participated in the
-preparation for the aggressive war against Russia, and as the sole proof
-for this Document Number 1039-PS, Exhibit USA-146, is submitted. From
-this document it appears that you, Defendant, at the end of April 1941,
-allegedly had a discussion with Rosenberg—who was responsible for the
-Eastern Territories—about the economic questions which would arise if
-the plans for attack in the East were to be carried through. I ask you,
-Dr. Funk, to note the date of this discussion: the end of April 1941,
-just a short time before the beginning of the war against Russia. In
-order to refresh your memory I want to point out that at that time, that
-is, before the war against Russia, Rosenberg had already been nominated
-as Hitler’s plenipotentiary for the uniform handling of problems in the
-Eastern Territories. I am asking you now to define your position and to
-say whether it can be derived from this discussion that you participated
-in an aggressive war against Russia or its planning and preparation, and
-if you did participate, how?
-
-FUNK: I knew nothing about an aggressive war against Russia. I was very
-much surprised when I learned from Lammers that the Führer had made
-Rosenberg plenipotentiary for Eastern European problems. Lammers stated
-here that he had me advised of this nomination for personal reasons,
-because he knew that I was very much interested in economic relations
-with Russia. Indeed, our mutual efforts, Russia’s as well as Germany’s,
-had succeeded in considerably expanding our trade relations; for in
-earlier times, that is, before the first World War, German trade with
-Russia had been the decisive factor in the balance of German trade and
-had amounted to several thousand million gold marks.
-
-The Russians—I must say this here—furnished us grain, manganese ore,
-and oil very promptly, while our deliveries of machines lagged behind
-for the natural reason that the machines had first to be produced since
-the Russian orders were mainly for specialized machines. To what extent
-army supplies were sent to Russia, I do not know, as I did not deal with
-these.
-
-And so I was surprised by the appointment of Rosenberg. He called on me
-for a short discussion in which he told me that the task given to him by
-the Führer also included handling of economic problems. Thereupon I
-placed a ministerial director in my ministry, Dr. Schlotterer, at
-Rosenberg’s disposal to work on these problems. And when the Ministry
-for Eastern Affairs was founded, as far as I know, in July, Dr.
-Schlotterer, with some of his colleagues, took over the direction of the
-economic department in Rosenberg’s Ministry. And simultaneously, as far
-as I remember, Dr. Schlotterer became a member of Economic Operational
-Staff East. This was the institution of the Four Year Plan which has
-been mentioned repeatedly here during the proceedings and which dealt
-with all economic problems in the Occupied Eastern Territories.
-
-Beyond that, I had nothing to do with these matters. Naturally I asked
-Lammers as well as Rosenberg just what this signified, and both of them
-told me that the Führer was of the opinion that a war with Russia would
-become unavoidable, that along the entire Eastern Front the Russians had
-concentrated large reinforcements, that the discussions with Molotov, in
-which I had no part at all, had been unsatisfactory, that the Russians
-were making demands regarding the Baltic, the Balkan regions, and the
-Dardanelles, which could not be accepted by Germany, by the Führer. At
-any rate, this affair was as complete a surprise to me as to the German
-people, and I am convinced that this war was a great shock to the German
-people.
-
-THE PRESIDENT: The witness spoke of July. Did he mean July 1940?
-
-DR. SAUTER: As far as I know, July 1941.
-
-THE PRESIDENT: You mean July 1941? That was after the war with Russia
-had begun. The witness can answer for himself, I suppose, can he not?
-
-[_Turning to the defendant._] Did you mean July 1940?
-
-FUNK: The discussion with Rosenberg was at the end of April or the
-beginning of May 1941, and the Rosenberg Ministry was founded in July
-1941.
-
-DR. SAUTER: I now turn to a different point raised by the Prosecution.
-You are accused of having, as Reich Minister of Economics, committed
-punishable acts in connection with the criminal plan to persecute the
-Jews and to eliminate them from economic life. These are the happenings
-of November 1938. Will you therefore now describe your activity in this
-respect.
-
-FUNK: May I ask the Tribunal to give me time for a rather detailed
-account on this topic. Then the points which we will treat later can be
-dealt with much more briefly. This is the charge of the Prosecution
-which really affects me most gravely.
-
-When I took over the Ministry of Economics in February 1938, I very soon
-received demands from the Party, and especially from Goebbels and Ley,
-to eliminate the Jews from economic life, since they could not be
-tolerated. I was told that people were still buying in Jewish stores,
-and that the Party could not permit its members to buy in such stores;
-the Party also took offense at the fact that some high state officials,
-and in particular their wives, were still shopping in such stores. The
-sectional chairmen of the Labor Front refused to work with Jewish
-managers. There were constant clashes, I was told, and there would be no
-peace if the measures which had already been introduced here and there
-were not extended gradually to eliminate the Jews completely from
-economic life.
-
-The Law for the Organization of National Labor, which was decreed under
-my predecessors and which was also carried through by them in agreement
-with the German Labor Front, had assigned political and Party functions
-also to domestic economy. The plant manager was also responsible to the
-Party and above all to the State.
-
-Some Jewish managers readily succumbed to the pressure and sold their
-businesses and enterprises to people and at prices of which we did not
-approve at all. I had made private agreements with individual Jewish
-leading men in banking, heavy industry, and the big stores, and had thus
-brought about their withdrawal from positions in economic life. There
-was no peace, and we had to try within a certain time and in line with
-certain legal decrees to force back and gradually eliminate Jewish
-influence from economic life. In this connection, I personally always
-represented the view that, first of all, the process should be carried
-out slowly, with intervals of time; secondly, that the Jews should be
-given adequate compensation, and thirdly, that one might leave certain
-economic interests in their hands, especially their security holdings;
-and I particularly emphasized this in the meeting with Göring which has
-been mentioned here so frequently.
-
-Now while these developments were taking shape, the terrible happenings
-of the night of 9-10 November 1938, originating in Munich, burst upon us
-and affected me personally very deeply. When I drove to my ministry on
-the morning of 10 November, I saw on the streets and in the windows of
-the stores the devastation which had taken place and I heard further
-details from my officials in the Ministry. I tried to reach Göring,
-Goebbels, and I think Himmler, but all were still traveling from Munich.
-Finally I succeeded in reaching Goebbels. I told him that this terror
-was an affront against me personally, that through it valuable goods
-which could not be replaced had been destroyed, and that our relations
-with foreign countries, upon which we were particularly dependent at
-this time, would now be disturbed noticeably.
-
-Goebbels told me that I personally was responsible for this state of
-affairs, that I should have eliminated the Jews from economic life long
-ago, and that the Führer would issue an order to Reich Marshal Göring
-according to which the Jews would have to be completely eliminated from
-economic life; I would receive further details from the Reich Marshal.
-This telephone conversation with Goebbels was confirmed by him later,
-and witnesses will verify this.
-
-The next day, 11 November, I was informed that there was to be a meeting
-on the 12th with Göring in his capacity as Delegate for the Four Year
-Plan, for the purpose of settling the Jewish problem. The Delegate for
-the Four Year Plan had given instructions to the Ministry to prepare a
-draft for a decree which was to be the basis of laws for the elimination
-of the Jews from economic life.
-
-On the 12th this meeting, which has been discussed here frequently, took
-place. There was a discussion with the Reich Marshal in the morning at
-which the Gauleiter were present. The Reich Marshal was highly excited;
-he said that he would not tolerate this terror and that he would hold
-the various Gauleiter responsible for what had happened in their Gaue.
-
-After this meeting I was therefore comparatively relieved, but at the
-meeting, of which the record has been read here several times, Goebbels
-very soon produced his very radical demands and thereby dominated the
-whole of the proceedings.
-
-The Reich Marshal became increasingly angry and in this mood he gave way
-to the expressions noted in the record. Incidentally, the record is full
-of gaps and very incomplete. After this meeting it was clear to me that
-now indeed the Jews would have to be eliminated from economic life, and
-that in order to protect the Jews from complete loss of their rights,
-from further terror, attacks, and exploitation, legal measures would
-have to be decreed. I made provisions, and so did the Minister of
-Finance, the Minister of the Interior, the Minister of Justice, and so
-on, for the execution of the original decree of the Delegate for the
-Four Year Plan in which the transfer of Jewish businesses and Jewish
-shares to trustees was stipulated. The Jews were compensated by 3
-percent bonds, and I always saw to it that, as far as the Ministry of
-Economics was involved in this, this decision was carried out faithfully
-and according to the law and that the Jews did not suffer further
-injustice. There was at that time certainly no talk of an extermination
-of the Jews. However, a plan for the organized emigration of the Jews
-was briefly discussed at that meeting. I personally did not participate
-in any way in the terroristic, violent measures against Jews. I
-regretted them profoundly and sharply condemned them. But I had to
-authorize the measures for the execution of those laws in order to
-protect the Jews against a complete loss of rights, and to carry through
-in an orderly manner the legal stipulations which were made at that
-time.
-
-DR. SAUTER: Dr. Funk...
-
-THE PRESIDENT: We had better adjourn now.
-
- [_A recess was taken._]
-
-DR. SAUTER: Witness, before the intermission we last spoke of your
-activity concerning the decrees for the exclusion of Jews from economic
-life and you told us about the minutes of the session with Göring on 12
-November 1938. That is Document Number 1816-PS.
-
-You have already mentioned that the minutes of that conference were
-poorly edited and are full of omissions, but we can see from these
-minutes that you openly and definitely exerted a restraining influence
-and that you tried to save one thing or another for the Jews. I see, for
-instance, from the minutes that during the conference you repeatedly
-maintained that the Jewish stores should be reopened again speedily. Is
-that correct?
-
-FUNK: Yes.
-
-DR. SAUTER: You also pleaded, according to the minutes, that the Jews
-should be able to keep their shares and interests. That is shown in a
-question which you put. Is that correct?
-
-FUNK: I have already said that I had thought, up to the time of that
-conference, that the Jews could keep their securities; and in the course
-of the conference I said that it was quite new to me that the Jews
-should also surrender the securities they possessed. Ultimately they got
-3 percent government bonds in settlement, but they had to hand over all
-their shares and other interests.
-
-I was also against a ruling of that kind because the Government would
-then take over a huge number of securities and the conversion of such
-securities was of course difficult.
-
-DR. SAUTER: From the minutes it also appears that Heydrich was in favor
-of placing the Jews in ghettos, and you recall that the Prosecution has
-already mentioned that here.
-
-What was your attitude, Dr. Funk, to Heydrich’s proposal at that time?
-
-FUNK: I was against ghettos for the simple reason that I considered a
-ghetto a terrible thing. I did not know any ghettos, but I said that 3
-million Jews can surely live among 70 million Germans without ghettos.
-Of course, I said that the Jews would have to move together more
-closely, and one would have to assist the other, for it was clear to me,
-and I also said so during the conference, that the individual Jew could
-not exist under the conditions which were now being created for him.
-
-DR. SAUTER: In that connection, Mr. President, may I be permitted to
-point out two affidavits which I included in the Funk Document Book
-under Number 3 and Number 15, and may I ask you to take official notice
-of their complete contents as evidence?
-
-Affidavit Number 3 in the document book, on Page 12 of the text, is one
-by the defendant’s wife, signed by her about the beginning of the Trial
-on 5 November 1945. From that affidavit, of which I shall summarize the
-essential passages, we can see that at the time of the excesses against
-the Jews in November 1938 the defendant, together with his wife and his
-niece, was in Berlin, and therefore not in Munich where the so-called
-“Old Fighters” were assembled and where Minister Dr. Goebbels quite
-suddenly and to the surprise of everyone gave the order for these Jewish
-pogroms. Frau Funk confirms in her affidavit that her husband, as soon
-as he heard of these excesses, called Dr. Goebbels over the telephone in
-great excitement and asked him:
-
- “Have you gone crazy, Goebbels, to commit such outrages? It
- makes one ashamed to be a German. Our whole prestige abroad is
- being lost. I am trying day and night to preserve the national
- patrimony and you throw it recklessly out of the window. If this
- beastly mess does not stop immediately, I will throw everything
- overboard.”
-
-That literally was the telephone conversation which at that time the
-defendant had from Berlin with Dr. Goebbels. And the remaining contents
-of that affidavit are concerned with intercessions which the defendant
-made for individual Jewish acquaintances. And, Gentlemen, there is a
-similar vein in the affidavit by Heinz Kallus, who was ministerial
-counsellor in the Ministry of Economics under the Defendant Funk.
-
-I have submitted this affidavit as Number 15 of the Funk Document Book.
-It is dated 9 December 1945, and this witness also confirms that Funk
-was, of course, extremely surprised by these excesses, and that he
-thereupon immediately got in touch with the competent authorities in
-order to prevent further outrages.
-
-Thus these affidavits largely confirm the account which the Defendant
-Funk himself has given. In connection with this affair concerning the
-Jews, I should like to return to Document Number 3498-PS, which can be
-found on Page 19 of the trial brief against Funk. That is a circular
-letter by Funk of 6 February 1939, published in the official gazette of
-the Reich Ministry of Economics, and from it I quote:
-
- “To what extent and rate the authority of the Four Year Plan is
- to be used depends on instructions given by me in accordance
- with the directives of the Delegate for the Four Year Plan.”
-
-I quote this because, here again, in an official publication of that
-time, the Defendant Funk expresses clearly that, in this field too, he
-had merely to obey and to execute the directives of the Four Year Plan.
-Is that correct, Dr. Funk?
-
-FUNK: Yes.
-
-DR. SAUTER: Dr. Funk, you said earlier that in keeping with your entire
-past and your basic principles, and in keeping with your entire
-philosophy, you considered as particularly severe the charge concerning
-the elimination of Jews from economic life. And in this connection I
-want to put to you that during an interrogation in Nuremberg on 22
-October 1945, you finally broke into tears and told the interrogating
-officer, “At that time I should have resigned. I am guilty.” And this
-was quoted literally on one occasion in the course of the proceedings.
-Perhaps you can tell us how that remark and that breakdown on your part
-occurred which I find mentioned in the record.
-
-FUNK: I had at that time just been brought from hospital into prison.
-
-DR. SAUTER: Dr. Funk, one question...
-
-FUNK: I did not know before that I had been accused of being a murderer
-and a thief and I do not know what else. I was sick for 9 or 10 weeks,
-and from the hospital bed I was brought here during the night. During
-those days my interrogations here started immediately. I must admit that
-the American officer who interrogated me, Colonel Murrey Gurfein,
-conducted the interrogation with extreme consideration and forbearance
-and again and again called a halt when I was unable to go on. And when I
-was reproached with these measures of terror and violence against the
-Jews I suffered a spiritual breakdown, because at that moment it came to
-my mind with all clearness that the catastrophe took its course from
-here on down to the horrible and dreadful things of which we have heard
-here and of which I knew, in part at least, from the time of my
-captivity. I felt a deep sense of shame and of personal guilt at that
-moment, and I feel it also today. But that I issued directives for the
-execution of the basic orders and laws which were made, that is no crime
-against humanity. In this matter I placed the will of the State before
-my conscience and my inner sense of duty because, after all, I was the
-servant of the State. I also considered myself obliged to act according
-to the will of the Führer, the supreme Head of the State, especially
-since these measures were necessary for the protection of the Jews, in
-order to save them from absolute lack of legal protection, from further
-arbitrary acts and violence. Besides, they were compensated and, as can
-be seen from the circular letter which you have just quoted, I gave
-strict instructions to my officials to carry out these legal directives
-in a correct and just way.
-
-It is terribly tragic indeed that I in particular am charged with these
-things. I have said already that I took no part in these excesses
-against the Jews. From the first moment I disapproved of them and
-condemned them very strongly, and they affected me personally very
-profoundly. I did everything, as much as was within my power, to
-continue helping the Jews. I never thought of an extermination of the
-Jews, and I did not participate in these things in any way.
-
-DR. SAUTER: Dr. Funk, as you are just speaking of the fact that you did
-not think of an extermination, an annihilation of the Jews, I want to
-refer to a document which has been quoted before: Number 3545-PS; it was
-submitted by the Prosecution. As you may recall, this is the photostat
-of the _Frankfurter Zeitung_ of 17 November 1938, an issue which
-appeared only a few days after the incidents with which we are now
-concerned. In that issue of the _Frankfurter Zeitung_ a speech of yours
-was published in which you deal with the legal measures for the
-exclusion of Jews from German economic life, and you will recall that
-the Prosecutor, in his speech of 11 January 1946, charged you, and I
-quote: “...that the program of economic persecution of the Jews was only
-part of a larger program for their extermination.”
-
-And that is in conformity with a phrase in your trial brief which says
-that it was merely a part of, literally, “a larger program for the
-extermination of the Jews.” Now, in all the statements which you made
-during that time, I nowhere find an indication that you favored an
-extermination, an annihilation of the Jews, or that you had demanded it.
-What can you say about that view of the Prosecution?
-
-FUNK: Never in all my life, orally or in writing, have I demanded an
-extermination or annihilation of the Jews or made any statement to that
-effect. Apparently this is an utterance of the Prosecutor, which, in my
-opinion, is based only on imagination or the state of mind in which he
-has viewed the things from the beginning. I myself have never advocated
-the extermination of the Jews and I did not know anything of the
-terrible happenings which have been described here. I did not know
-anything. I had nothing to do with them; and afterwards, as far as I
-recall, I never took part in any measures against the Jews, since these
-matters were no longer dealt with in my departments. With the exception
-of these legal measures, these executive orders, I do not believe that
-within my departments I ever again authorized anything further connected
-with Jewish affairs.
-
-DR. SAUTER: Is it correct, Dr. Funk, that in connection with the
-carrying out of these directives which you had to issue, you yourself
-intervened on behalf of a large number of individuals who had to suffer
-under these directives and who approached you personally for aid, and
-that you did this in order to mitigate the effect of these decrees?
-
-FUNK: I saw to it that these directives were followed in a fair way and
-according to the laws. However, the carrying out of these decrees was
-the responsibility not of the Ministry but of the district president and
-of the offices dependent on the Gauleiter in the Reich. Many complaints
-reached me about the manner in which Aryanization was carried out, and
-my officials will confirm that I intervened in every case when I was
-informed of such abuses. I even dismissed an official of that department
-when I heard of incorrect behavior; later I also parted with the
-department head.
-
-DR. SAUTER: Why?
-
-FUNK: Because these abuses had occurred. Just as previously I had done
-everything in my power to aid the Jews to emigrate by making foreign
-currency available to them, so now, in carrying out these directives, I
-did everything in my power within the scope of possibility to make
-things bearable for the Jews.
-
-DR. SAUTER: Mr. President, this question as to what Funk’s attitude was
-in practice toward the carrying out of these decrees which he himself as
-an official had to issue—this question I have also treated in a
-questionnaire approved by you, which has been submitted to the former
-State Secretary Landfried. That questionnaire was returned some time ago
-but it was discovered that a wrong questionnaire had been sent out by
-the office, and the correct answer was received only on Saturday. It is
-now being translated and I assume that this correct answer, this
-testimony of State Secretary Landfried, will be submitted to you in the
-course of the day and that it can then be entered in the appendix as
-Document Number 16. I presume, nevertheless, that there will be no
-objection to my reading the short answer of the witness Landfried in
-connection with this matter. Herr Landfried was from 1939 to 1943 state
-secretary...
-
-THE PRESIDENT: Has the Prosecution seen the document?
-
-DR. SAUTER: Yes, the Prosecution has the document.
-
-MR. THOMAS J. DODD (Executive Trial Counsel for the United States): We
-haven’t seen this document. We have seen the German text. I don’t read
-German and I haven’t had an opportunity to read it. It hasn’t been
-translated.
-
-THE PRESIDENT: The document can be submitted after the Prosecution has
-seen it. You needn’t submit it at this moment. Have you any other
-witness or not?
-
-DR. SAUTER: Not in connection with this topic.
-
-THE PRESIDENT: No, no, but are there any other witnesses at all?
-
-DR. SAUTER: One witness, Dr. Heidler, but for other subjects.
-
-THE PRESIDENT: And presumably the defendant will be cross-examined.
-
-DR. SAUTER: Yes.
-
-THE PRESIDENT: These documents will be translated by then.
-
-DR. SAUTER: Yes. Mr. President, if you so desire, then I will have to
-submit that document later, separately.
-
-THE PRESIDENT: Yes.
-
-DR. SAUTER: Dr. Funk, I come now to an accusation which, according to my
-knowledge, has not been mentioned in the trial brief yet; it concerns
-the problem of the occupied territories, that is, the spoliation of the
-occupied territories, costs of occupation, clearing systems,
-stabilization of currency, and the like. The Prosecution asserts that
-you actively participated in the program of criminal exploitation in the
-occupied territories. That can be found in the record of the proceedings
-on 11 January 1946 (Volume V, Page 167). That accusation is not further
-specified, but in the session of 21 February (Volume VIII, Page 60)
-there is a mere reference to a decree of the Reich Minister for the
-Occupied Eastern Territories, the Defendant Rosenberg. That decree was
-submitted by the Prosecution as Document Number 1015-PS; it is a decree
-by the Minister for the East, Rosenberg, to the Reich commissioners in
-the Occupied Eastern Territories. The decree informs the Reich
-commissioners of the task of the Einsatzstab Rosenberg—it has already
-been mentioned here on several occasions—namely, that of safeguarding
-objects of cultural value. I think I may assume that the Reich Ministry
-of Economics had nothing to do with cultural treasures as such. But—and
-that is very peculiar—it appears from Rosenberg’s letter of 7 April
-1942 that a copy of it went not only to various other offices but also
-to you, that is to say, to the Reich Minister of Economy. And from that
-fact—apparently from that fact alone—the Soviet prosecutor has deduced
-the charge that you actively participated in the spoliation of the
-occupied territories. I had to explain the connection in such detail in
-order to show exactly with what we are dealing. Can you speak quite
-briefly about it?
-
-FUNK: Up to the time of this Trial I did not even know what the
-Einsatzstab Rosenberg was, what its tasks were, what it was doing. I
-have no knowledge that the Ministry of Economics had anything at all to
-do with the safeguarding of cultural treasures. I cannot say anything
-about it.
-
-DR. SAUTER: You cannot say anything about this?
-
-FUNK: No, not with regard to the Einsatzstab Rosenberg. About the policy
-in the occupied territories, I can say a great deal...
-
-DR. SAUTER: That does not interest us now.
-
-FUNK: But you will probably want to hear that later.
-
-DR. SAUTER: Then, Dr. Funk, in the questionnaire sent to Dr. Landfried
-which I have mentioned before, I asked five or six questions concerning
-your attitude to the economic policies in the occupied territories. I
-also put questions to him on whether you had given directives to the
-military commanders or the Reich commissioners for the occupied
-territories, or the heads of the civil administration in
-Alsace-Lorraine, and so on. Furthermore, I asked whether it is correct
-that economic directives also for the occupied territories did not come
-from you as Reich Minister of Economics but from the Delegate for the
-Four Year Plan. Then I asked about your attitude toward the question of
-exploitation of occupied territories, particularly in the West, the
-black market, devaluation of currency, and the like.
-
-I cannot read the statements of the witness Landfried at this moment,
-because, through an error in the office, the answers from Landfried
-arrived only last Saturday. Since your personal testimony is now being
-heard, do you yourself wish to add anything to these questions, or would
-you just like to underline what I shall submit to the Tribunal as soon
-as I have received the translation? I put this question because it is
-practically the last opportunity for you to refer to these subjects.
-
-FUNK: I should like to state my position on various matters, but the
-details of these problems can naturally be better explained by the state
-secretaries than by myself.
-
-Concerning the directives to occupied territories, the Reich Marshal, as
-well as Reich Minister Lammers, has stated here that I, as Reich
-Minister for Economics, had no authority to issue instructions. The
-Reich Marshal, during his testimony here, stated, and I marked it down,
-“For the directives and the economic policies carried out by the
-Minister of Economics and Reichsbank President Funk, the responsibility
-is fully and exclusively mine.”
-
-And concerning the occupied territories, he also said that if I had
-issued special instructions in the course of official business between
-the ministry and the administrative offices in the occupied territories,
-then they derived from the general directives of the Reich Marshal and,
-as he said, were always based on his personal responsibility.
-
-The position was that directives to the occupied territories in the
-economic field could only be given by the Delegate for the Four Year
-Plan. The carrying out of economic policy was the task of the military
-commanders or the Reich commissioners who were directly subordinate to
-the Führer. The military commanders, as well as the Reich commissioners,
-had under them officials from the various departments; among them, of
-course, also officials from the Ministry of Economics and the
-Reichsbank; and even private enterprise was represented. There was, of
-course, close co-operation between the offices of the military
-plenipotentiaries, the Reich commissioners, and the representatives of
-the various home departments, with the exception of occupied territories
-in Russia where the Reich commissioners were subordinate to a special
-minister, that is, the Reich Minister for the Occupied Eastern
-Territories. This was an exception, but if we as a ministry wanted to
-have anything done by the military commanders or the Reich
-commissioners, we had to make a request or procure an order from the
-Delegate for the Four Year Plan.
-
-The same applies to the heads of the civil administration in
-Alsace-Lorraine and in other territories where a civil administration
-had been set up. Here also, the numerous departments of the Ministry of
-Economics and the Reichsbank had no direct authority to issue
-directives.
-
-However, I emphasize again that of course close official contact existed
-between the directing authorities in the occupied territories and the
-respective departments in Germany.
-
-I myself—and witnesses will confirm this in questionnaires still
-outstanding, or in person—made the greatest efforts to protect the
-occupied territories from exploitation. I fought a virtually desperate
-struggle throughout the years for the maintenance of a stable currency
-in these territories, because again and again it was suggested to me
-that I should reduce the exchange rate in the occupied territories so
-that Germany could buy more easily and more cheaply in these countries;
-I did everything that could be thought of to maintain economic order in
-these territories. In one case, in Denmark, I even succeeded, in the
-face of opposition from all other departments, in raising the value of
-the Danish krone, because the Danish National Bank and the Danish
-Government requested it for justifiable reasons.
-
-I opposed the increase of occupation costs in France in 1942 as well as
-in 1944. The memorandum of the Reichsbank which I authorized was quoted
-here by the American Chief Prosecutor.
-
-The occupation costs were determined not by the Minister of Economics
-and the President of the Reichsbank but by the Minister of Finance and
-the Quartermaster General—in other words, by the highest Wehrmacht
-commands—and in the case of France, Denmark, and other countries, also
-by the Minister for Foreign Affairs.
-
-Therefore, I did whatever I could possibly do—whatever was within my
-power—to keep the economy of the occupied territories in good order. I
-was successful finally in persuading the Reich Marshal to issue a decree
-which prohibited all German personnel from buying on the black market;
-but that happened only after many abuses in this respect had already
-occurred.
-
-I want to emphasize also that I considered it necessary for the
-maintenance of order in the occupied territories that social life there
-should not be disturbed, and that, therefore, as a matter of principle I
-was always against the forced or excessive deportation of foreign
-workers from the occupied territories to Germany.
-
-I also expressed this in a conference with Lammers, which has been
-mentioned here. My state secretaries can confirm that. On the other hand
-it was naturally clear to me that Sauckel was in a very difficult,
-indeed desperate, situation. Again and again manpower for German economy
-was demanded of him. But, particularly after I had turned over the
-entire civil production to Speer and engaged in central planning, it was
-not only not to my advantage, from the point of view of my work, that
-manpower was brought to Germany from abroad, but it was indeed in my
-interest that the workers should remain in the occupied territories
-since the production of consumer goods had been transferred to a large
-degree to these territories; for as minister responsible for providing
-consumer goods to the population I had a great interest in seeing that
-orderly work should be done in the occupied territories and that no
-economic or social disturbances should occur.
-
-I believe, however, that it will be more to the purpose if my two state
-secretaries and the Vice President of the Reichsbank, the acting
-Director of the Reichsbank, Puhl, make detailed statements on these
-problems, because they were more closely connected than I with carrying
-matters into practice.
-
-If the accusation is made against me that with the aid of the clearing
-arrangements we spoliated occupied territories and foreign countries, I
-can only say that the clearing arrangement was not originally introduced
-by us in our dealings with the occupied territories or during the war,
-but that it was the normal method of trade between Germany and her
-business partners. It was a system which had been forced upon us—and
-that has been pointed out by Schacht—when other nations resorted to
-using the proceeds of German exports for the payment and amortization of
-German debts.
-
-At all times, however, I have emphasized that the clearing debts were
-real debts for merchandise, and that is important. I have said again and
-again that this clearing debt was a genuine debt of the Reich and would
-be repaid at the rate, the purchase value which was in force at the time
-when we entered into these obligations. I especially stated that, in
-detail and as clearly as possible, in my last speeches in Vienna in
-March 1944, and in Königsberg in July 1944.
-
-Beyond that, in July, I made the suggestion that after the war the
-clearing debt should be transformed into a European loan, so that it
-should not remain on the narrow plain of a bilateral exchange of goods
-but be effectively commercialized; from this can be seen distinctly that
-I always considered that clearing debt a genuine debt, so that the
-nations in the occupied territories who had such claims on Germany could
-and would be satisfied with the war—and, as I constantly emphasize, at
-the same rates that existed at the time when the debt was incurred. If,
-however, the countries would have had to pay reparations on the basis of
-peace treaties, then these reparations of course, quite reasonably,
-could only have been paid in goods; and then, equally reasonably, it
-would have been possible to create a balance between German debts and
-German claims.
-
-But I never left any doubt about the fact that the clearing debt was to
-be considered a true debt. Therefore, I have to reject the accusation
-that with the aid of the clearing system we exploited the occupied
-territories. And I have to reject even more strongly the accusation that
-I share responsibility for the burden of unbearable expenses,
-particularly occupation costs and other outlays of money, which were
-imposed on the occupied territories. It can be proved that I always
-objected to excessive financial burdening of the occupied territories.
-The witnesses will later testify and confirm this.
-
-DR. SAUTER: Mr. President, the defendant has referred to two speeches
-which he made in Vienna and in Königsberg. These are two addresses which
-deal in part with the subject of clearing debts, and in part also with
-the defendant’s favorite subject of a European economic union between
-Germany and her neighbor nations, that is to say, an economic union on
-the basis of full equality.
-
-In the interest of time, may I just ask that judicial notice be taken of
-these speeches, the essential content of which has been stated partly by
-the defendant and partly by me: The speech of the defendant at Vienna on
-10 March 1944, Number 10 in my document book, and the speech in
-Königsberg on the occasion of the 400th anniversary of the university of
-his home province, on 7 July 1944, Number 11 in my document book.
-
-MR. DODD: Mr. President, if this Document Number 11 is offered by the
-defense for the purpose of showing what this defendant’s policy was
-toward the occupied countries, then I think it is proper for me to point
-out that the speech did not refer to the occupied countries but rather
-to the satellite states of Germany.
-
-DR. SAUTER: Mr. President, may I also call attention to Document Number
-3819-PS, which has already been submitted by the Prosecution. That is
-the record, which the defendant has mentioned, of the meeting with
-Minister Lammers on 11 July 1944.
-
-According to this record, the Defendant Funk was present at that
-meeting, and mention is made of him in one sentence only; I quote, on
-Page 8 at the bottom: “Reich Minister Funk expects considerable
-disturbances of production in non-German territories in case of ruthless
-raids.”
-
-This sentence, if taken from its context, is difficult to understand,
-but viewed in its proper connection, it makes it clear that the
-Defendant Funk wanted to warn against violent action in the recruitment
-of foreign workers for German production and for German armaments. He
-warned against any violent measures—against raids, as they are called
-in the protocol, because thereby, in his opinion, production in the
-occupied territories would be disturbed.
-
-Then, Mr. President, may I mention another document. It is Document
-Number 2149-PS, and it contains the following: A statement of the
-Reichsbank, dated 7 December 1942, “concerning the question of
-increasing French contributions to occupation costs.”
-
-May I say in advance that the cost of occupation in France was
-increased, but not upon the suggestion of the Defendant Funk and not
-with his approval, but in spite of his protest. And this statement to
-which the Defendant Funk has referred, and which I have just quoted—it
-is dated 11 December 1942—lists in detail the reasons why Funk and his
-Reichsbank very definitely protested against any increase in the cost of
-occupation.
-
-In this connection, may I be permitted to question the Defendant Dr.
-Funk on the cost of occupation in Greece.
-
-[_Turning to the defendant._] Did you hear the testimony of the witness
-Dr. Neubacher, who was Minister to Romania and Greece, and who confirmed
-that there, also, you tried to reduce the cost of occupation?
-
-THE PRESIDENT: Are you going to be much longer?
-
-DR. SAUTER: Yes, I believe, Mr. President, it would be better if we
-adjourned now. I still have to put a few questions.
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-THE PRESIDENT: The Tribunal will adjourn this afternoon at half-past
-four.
-
-DR. SAUTER: Witness, I would like to return to the question of the
-so-called spoliation of the occupied countries. As Reich Minister of
-Economics, which you were at the time, you can certainly inform us from
-your personal experience and observation of the contribution of the
-occupied territories to Germany’s war effort.
-
-FUNK: The achievements of the occupied territories for the joint
-carrying on of the war were without doubt of great significance. I have
-always regarded the occupied territories synchronized with the total
-German economy as one great productive organism for carrying on the war,
-which would lead to a new order in Europe. Usually the same basic
-economic principles applied in the occupied countries as in Germany. In
-1944 I had statistics compiled to show just how much the occupied
-countries had produced for the war effort in the 3 years of 1941, 1942,
-and 1943, and we reached the figure of 90,000 million Reichsmark. That
-is certainly an extraordinarily high figure, but one must not forget
-that the currencies of the various countries were converted into
-Reichsmark. That is, the reduced purchasing power of the various
-currencies is not expressed in these figures. In truth, therefore, the
-production is lower than these Reichsmark figures might show.
-
-At the same time Germany utilized at least two-thirds of her entire
-production, that is, about 260,000 million marks worth, for the European
-war effort, in other words, almost three times as much as the occupied
-countries. Almost up to the time of the invasion I succeeded, in the
-case of France, in regulating the financial and monetary system and thus
-also the economic and social order to such an extent that, at the end of
-the German occupation, French finances were actually much healthier than
-German finances, and if it had not been for the circumstances resulting
-from the elementary impact of the war, France would have been able to
-construct a healthy monetary system on this basis.
-
-My statistics are confirmed to a certain degree by a document which was
-submitted here. This is Exhibit RF-22 (Document Number F-515), and deals
-with the French deliveries to Germany. It is an official report to the
-French Government about forced labor in France. In this report there are
-tables on Pages 38, 39, and 40 showing the amount of French deliveries
-to Germany in proportion to the entire French production. These figures
-show that out of the entire French production with which we are dealing,
-in these three years an average of 30 to 35 percent was sent to Germany
-for the joint war effort. In some fields, and especially those which are
-necessary for the provisioning of the French population, such as
-textiles, pharmaceutical supplies, gas, electricity, and so forth, these
-figures are considerably lower and in some cases amount to only 5 or 6
-percent. But as an economist I admit without hesitation that if these
-matters are not regarded from the point of view of the joint carrying on
-of the war and the joint economic relationship, a deduction of 35
-percent means a lot and must naturally have serious repercussions for
-the entire economy.
-
-I have no specific figures at hand for the Russian territories. The
-Ministry of Economics itself was entirely excluded from the war economy
-of these territories; we merely attempted to allow certain firms or
-companies to operate in these territories as private enterprises there,
-that is to say, they were to buy and sell at their own risk. I did not
-participate otherwise in the management of these regions outside of the
-fact that I was chairman of the supervisory board of the Continental Oil
-Company, which operated in these regions in conformity with the
-provisions of the Four Year Plan and the orders of the Wehrmacht. But I
-personally, as chairman of the supervisory board, had only to manage the
-financial affairs of this company.
-
-DR. SAUTER: Witness, at the end of this morning’s session you spoke of
-the so-called Central Planning Board, a body about which we have heard a
-good deal. You stated, although quite briefly, that as Minister of
-Economics you had no interest in the fact that foreign workers were
-transported to Germany, no matter whether for armament or other
-purposes. Did I understand you correctly?
-
-FUNK: That applies to the time when I became a member of the Central
-Planning Board.
-
-DR. SAUTER: When was that?
-
-FUNK: I was called into the Central Planning Board in the fall of 1943,
-when I turned over all production matters to Speer and when, for the
-first time, on 22 November 1943 I attended a session of the Board. At
-that time I not only had no interest in having foreign workers brought
-to Germany but actually, from the economic aspect, I wanted to have the
-workers remain abroad, for the production of consumer goods had, to a
-large extent, been shifted from Germany to the occupied countries so
-that in other words this production, that is, French production or
-Belgian production, could work unhindered for the German populace; I did
-not want the workers taken away, and particularly I did not want them to
-be taken away by force, for in that way the entire order and the whole
-social life would be disturbed.
-
-Before that time, as Minister of Economics, I was naturally interested
-in seeing that the German economy had workers. However, these questions
-were not dealt with in the Ministry of Economics, but either in the Four
-Year Plan, where a Plenipotentiary General for Labor had been active
-from the beginning...
-
-THE PRESIDENT: [_Interposing._] Surely we heard all this this morning.
-It was all given this morning.
-
-DR. SAUTER: In connection with the Central Planning Board, perhaps I
-might refer to one more document, Mr. President.
-
-[_Turning to the witness._] And this, Witness—and please confine your
-answer to this letter only—is a letter which you once wrote to Field
-Marshal Milch and which was submitted, I think, by the French
-Prosecution as Exhibit RF-675, (Document Number RF-675). In this letter,
-Herr Funk, you apologized for participating so very infrequently in the
-meetings of the Central Planning Board. And at that time you sent two
-experts from your ministry to the session, that is, two experts in the
-field of administrating civilian supplies and of the export trade. As
-deputy of your State Secretary, Dr. Hayler, who will be called later as
-a witness, a certain Ohlendorf participated at this meeting of the
-Central Planning Board. You have already seen this man, Ohlendorf, in
-this courtroom on the witness stand. I should be interested to know what
-were the functions of this man Ohlendorf who apparently belonged to your
-ministry.
-
-FUNK: As far as the negotiations of the Central Planning Board were
-concerned, I was essentially interested only in the fact that in that
-meeting the necessary raw materials were allocated for the
-administration of consumer goods and the export trade. For that reason
-Ohlendorf and two other experts for the administration of consumer goods
-and the export trade were sent to the meeting. Ohlendorf was brought
-into my Ministry by State Secretary Hayler. Before that I had only known
-Ohlendorf vaguely from one or two meetings and I had had an
-extraordinarily favorable impression of him, for he had an extremely
-lucid mind and could always express his thoughts in a most impressive
-way. Before that time I didn’t even know that Ohlendorf had another
-position in the Reich Security Main Office, for he was introduced to me
-as a manager of the Main Organization for German Trade. Hayler was the
-chief of this organization, of the Reichsgruppe Handel, and Ohlendorf
-was his manager and was introduced to me as such. Therefore I had no
-objections to Ohlendorf being brought into the ministry and taking over
-that field which corresponded to his private business activities up to
-now—the province of administration of consumer goods.
-
-Then through Hayler I discovered that Ohlendorf was active also in the
-RSHA—or whatever the name is—as an office chief in the SD. However, I
-took no exception to this activity, for I was not fully acquainted with
-these assignments and in any case I was not convinced that anything was
-taking place which was unacceptable for the Ministry. Ohlendorf was
-active chiefly as manager of the Reichsgruppe Handel. As far as I know,
-he only had an auxiliary occupation in the RSHA, or however it was
-called. Naturally I was very much affected and painfully surprised when
-I heard here about assignments which Ohlendorf with his “Einsatzstab”
-had had in previous years in Russia. I had never heard one word about
-this activity of Ohlendorf. He himself never mentioned these things to
-me and until this time I did not know the type of assignments such
-“Einsatzstäbe” had.
-
-Ohlendorf never talked about his activity in the SD. Hayler, who knew
-him much better and more intimately than I did, is better qualified to
-give information. In any event I knew nothing of this activity of
-Ohlendorf, which after all he had carried on in years prior to this
-date, and I was very much affected to find that this man had done such
-things.
-
-DR. SAUTER: Witness, I must ask you to state your position in regard to
-the testimony given by another witness, whom we have seen and heard in
-this courtroom. This witness is Dr. Blaha, who made a report in this
-courtroom about the conditions in the concentration camp at Dachau and
-who testified—as you probably will recall—that in and around Dachau it
-was common talk that the Reich Minister of Economics, Dr. Funk, had also
-been present at one of these official visits to the camp. As you recall,
-this witness replied to my question that he himself had not seen you,
-but that your name had been mentioned in this connection by other
-inmates. Were you ever at Dachau or at any other concentration camp?
-
-FUNK: No, I was neither at Dachau nor in any other concentration camp.
-
-DR. SAUTER: Can you say that with a clear conscience under your oath?
-
-FUNK: Yes.
-
-DR. SAUTER: The witness, Dr. Blaha, has also testified to the fact that
-this inspection of Dachau took place following a discussion among the
-finance ministers which had taken place at Berchtesgaden or Reichenhall,
-or somewhere in that vicinity. Therefore I ask you: Did you ever
-participate in a meeting of finance ministers, or at least at the time
-Blaha claims?
-
-FUNK: No, I never participated in a meeting of finance ministers,
-because I myself was never such a minister. And at that time I did not
-participate in any international discussions at all. No.
-
-DR. SAUTER: Dr. Funk, as far as your health is concerned, this is not a
-good day for you. You have complained about the bad pains which you are
-suffering today. Consequently, I do not wish to put any further
-questions to you, except one in conclusion, which I am sure you will be
-able to answer briefly.
-
-Why did you remain in your office as Reich Minister of Economics and as
-President of the Reichsbank until the very end?
-
-FUNK: I considered myself bound to remain in this position as long as I
-could, in order to serve and be of use to my people. It was precisely
-during the last few years of the war that my position was a very
-difficult one. The administration became greatly disorganized and I had
-to make exceptional efforts in order to procure supplies for the people,
-especially those who had been bombed out. I continually had to protect
-the supplies and supply depots from arbitrary seizures by the Gauleiter.
-In the case of one Gauleiter, I had to call the police. I did not follow
-the “scorched earth” policy which the Führer had decreed, so that even
-after occupation by the enemy powers the supplies which were left could
-be used by the German people.
-
-I had had instructions from the Führer to issue a decree according to
-which the acceptance of allied invasion currency would be high treason
-and punishable by death. I did not issue that decree. I made every
-effort to prevent State property and State money from being destroyed
-and wasted. I saved the gold deposits and foreign exchange deposits of
-the Reichsbank which were in the greatest danger. Briefly, until the
-last minute I believed it was my duty and responsibility to carry on in
-office and to hold out until the very end. Especially when we Germans
-learned that, according to the Morgenthau Plan, the status of the German
-people was to be degraded into that of shepherds and goatherds; that the
-entire industry would be destroyed, which would have meant the
-extermination of 30 million Germans. And especially after Churchill had
-declared personally that the German people would suffer from hunger and
-that epidemics would break out, only one thing was possible for me and
-for every decent German, and that was to remain at his post and do
-everything within his power in order to prevent this chaos.
-
-I had no talent for being a traitor or a conspirator, but I always loved
-my fatherland passionately and my people as well, and up to the end I
-tried to do everything possible to serve my country and my people and to
-be of use to them.
-
-DR. SAUTER: Mr. President, perhaps in connection with this alleged visit
-to a concentration camp I might refer to a questionnaire which we
-received from the witness Dr. Schwedler, and which is found in the
-supplementary volume for the Funk case as Document Number 14. This
-affidavit, of the contents of which I would like to have you take
-official notice, essentially confirms that, since 1 February 1938, the
-witness Dr. Schwedler was the daily companion of the Defendant Funk;
-that Dr. Funk never visited a concentration camp; and that the witness
-would have to know of it if it were the case.
-
-With these words, Mr. President, I conclude my examination of the
-Defendant Funk. I thank you very much.
-
-THE PRESIDENT: Do any of Defendants’ Counsel wish to ask questions?
-
-Dr. Sauter, you said you were referring to an affidavit of Dr.
-Schwedler? Which was Number 14? You said you were referring to Dr.
-Schwedler’s affidavit which you said was Number 14 in your supplementary
-book. It does not seem to be in ours.
-
-DR. SAUTER: I beg your pardon, Mr. President, it is Number 13. I made a
-mistake. It is Number 13; in the supplementary volume, Number 13, Dr.
-August Schwedler. It is a questionnaire.
-
-DR. OTTO NELTE (Counsel for Defendant Keitel): Witness, I have one
-question which I would like to put to you. The Prosecution has accused
-the Defendant Keitel as chief of the OKW, you as Plenipotentiary for the
-Economy and Minister Frick as Plenipotentiary for Administration, on a
-common ground. The men in these three offices are mentioned in the Reich
-Defense Law of 1938. Undoubtedly, they probably exerted certain
-functions which might be of significance. The Prosecution in this
-connection spoke of a Three Man College and attributed much authority
-and significance to this Three Man College in connection with the point
-the Prosecution is making of the planning and preparation of aggressive
-wars.
-
-Now I ask you: Was there such a Three Man College and what were the
-functions of these three offices which have been mentioned, according to
-the Reich Defense Law?
-
-FUNK: Due to the confusion reigning in the German administration we
-ourselves could scarcely keep things straight; so it is not surprising
-if the Prosecution is in error on this point. I myself never heard of
-this three-man committee or Three Man College until this proceeding. I
-did not know that I belonged to such a three-man committee or Three Man
-College or triumvirate or anything else. On the basis of the Reich
-Defense Law similar powers were given to the Chief of the OKW, to the
-Plenipotentiary for Administration and to the Plenipotentiary for
-Economics. These three, in deviation from the existing laws, could issue
-directives in which they had mutually to participate.
-
-But it was the purport of this order that these directives could only be
-of a subordinate nature, which on the whole applied solely to the sphere
-of activity of the offices involved. Legislation for more important
-matters was made either by the Ministerial Council for Defense of the
-Reich—later only by way of circulating the bill from one minister to
-the other—or by Führer decrees. As far as I know there were only three,
-four, or five meetings of this body. Later, the decrees of the Führer
-were the real, the essential way of issuing laws. They were issued by
-the Führer personally, and the offices involved were frequently only
-informed of the same. Therefore the three-man committee is only a
-fiction.
-
-DR. NELTE: Thank you. I have no further questions.
-
-DR. DIX: Dr. Funk, you spoke of the law for the regulation of national
-labor and you said that that law was issued under your predecessor. You
-spoke about “my predecessor.”
-
-FUNK: No, you are wrong; I said “predecessors.”
-
-DR. DIX: Predecessors. Can you tell the Tribunal under which Reich
-Minister of Economics that was issued?
-
-FUNK: This law was issued under Reich Minister of Economics Dr. Schmitt,
-as far as I remember. And the subsequent agreement with the German Labor
-Front probably took place in part under Schacht. I particularly remember
-the so-called Leipzig Resolutions.
-
-DR. DIX: Then you also mentioned that there was an office subordinate to
-Schacht as Plenipotentiary for War Economy. You will remember that the
-witness Vocke denied the existence of such an office of Schacht’s as
-Plenipotentiary of War Economy, and Schacht did the same thing. Which
-office did you mean? Describe the office that you mean.
-
-FUNK: It was not an office in the sense in which it might have been
-interpreted here. It was a committee of experts of the various
-departments which was led by the representative of the Plenipotentiary
-for War Economy, who was Schacht, and later by my representative as
-Plenipotentiary for War Economy. Under Schacht’s term of office it was
-State Counsellor Wohlthat and in my term of office it was Schacht’s
-former State Secretary, Posse.
-
-DR. DIX: Certainly. Now is it identical with the working committee which
-originated on the basis of the old Reich Defense Law and which existed
-before 1933?
-
-FUNK: I am not familiar with that.
-
-DR. DIX: In any event, this working committee was composed of the
-various departments?
-
-FUNK: Yes.
-
-DR. DIX: Together with the OKW?
-
-FUNK: With the OKW, with the Ministry of the Interior, and later, with
-the decisive participation of the Four Year Plan representative.
-
-DR. DIX: And the expert for Schacht during Schacht’s term was Dr.
-Wohlthat?
-
-FUNK: As far as I know, yes.
-
-DR. DIX: Then one more question. You talked about the so-called
-triumvirate with reference to a question by my colleague for the
-Defendant Keitel. The creation of the triumvirate, this activity which
-you have described, was after Schacht’s time, I believe.
-
-FUNK: Yes, I believe so. But there was no activity.
-
-DR. DIX: No.
-
-FUNK: I never participated in any session of the so-called Three Man
-College.
-
-DR. DIX: No. You said it was a fiction.
-
-FUNK: Furthermore, no meeting of these three men ever took place.
-
-DR. DIX: No; you said it was a fiction.
-
-DR. ROBERT SERVATIUS (Counsel for Defendant Sauckel): I have a question
-regarding the wages of the foreign workers. Did Sauckel make any special
-efforts in connection with the transfer of the wages? Do you know
-anything about that?
-
-FUNK: Yes. Sauckel insisted very frequently at the Reichsbank and the
-Reich Ministry for Economics that there should be a large-scale transfer
-of wages to foreign countries and the occupied territories. Naturally we
-were in a very difficult position here, because especially in the
-southeastern European countries the currencies had been greatly
-devaluated, and the purchasing power of German money had sunk
-considerably, whereas I maintained the stable rate of exchange so that
-the inflationary tendencies in these countries would not be strengthened
-and result in complete economic chaos through the fault of the currency
-control. Therefore we had to make additions to the payments to make up
-somewhat for the devaluation of the money in the occupied and other
-countries. Altogether, considerable sums were transferred. I would
-estimate these sums to be at least 2,000 million Reichsmark.
-
-DR. SERVATIUS: Do you know whether Sauckel tried to do something about
-the clothing for foreign workers? Was anything done?
-
-FUNK: He made considerable efforts, and this was particularly hard on
-the Ministry of Economics, because with the small amount of raw
-materials which the Central Planning Board had made available this
-Ministry had to take care of the population, and through the ever
-growing number of people bombed out we received ever greater demands for
-supplies. Yet, in spite of that, we tried to comply with the demands of
-Sauckel as far as possible, but of course we could not do so entirely.
-
-DR. SERVATIUS: To what extent was clothing material delivered? Can you
-give any figures?
-
-FUNK: No, I cannot.
-
-DR. SERVATIUS: Do you know anything about Sauckel’s attitude towards
-Himmler, since, according to the Prosecution, he collaborated with him?
-
-FUNK: I remember one particular incident. When I had fled to Thuringia
-with my gold reserve and the rest of my foreign exchange I called on
-Sauckel one evening; State Secretary Keppler, who has been mentioned
-here frequently, was also present.
-
-In the course of the conversation Sauckel and Keppler got into a
-terrific dispute with Himmler. Sauckel told Himmler quite plainly that
-he had destroyed the administrative unity in Germany; that he was mainly
-responsible for the disorganization of the German administration, for
-through the SS he had created a state within a state. Sauckel said
-further, “How can the people keep discipline if the top men of the Reich
-themselves cannot keep discipline?”
-
-DR. SERVATIUS: I have no further questions.
-
-DR. EGON KUBUSCHOK (Counsel for the Defendant Von Papen): Is it true
-that after Von Papen’s speech at Marburg in June 1934 Hitler asked you
-to go to Reich President Von Hindenburg at his country estate in Neudeck
-and to tell him the following:
-
-Vice Chancellor Von Papen, because he was forbidden to make his speech
-public, had asked to be allowed to resign. This resignation would have
-to be granted, because Von Papen through his speech at Marburg was
-guilty of a severe breach of Reich Cabinet discipline.
-
-FUNK: When Reich President Von Hindenburg was at his estate at Neudeck
-he frequently invited me to visit him. I have already mentioned that I
-associated with him on familiar terms. A visit like this took place when
-the matter of the Von Papen speech at Marburg arose, and the Reich
-Marshal suggested to the Führer, as far as I recall, to have me inform
-the Reich President about this incident. The Führer had me do this, and
-I told the Reich President that a conflict had arisen between the Führer
-and Von Papen because of a certain speech. I did not know the contents
-of this speech, since in the meantime its publication had been
-forbidden. Then the Reich President simply replied, “If he does not
-maintain discipline, then he must be prepared to take the consequences.”
-
-DR. KUBUSCHOK: Thank you.
-
-DR. HEINZ FRITZ (Counsel for Defendant Fritzsche): Witness, when and
-where did you meet your Codefendant Fritzsche?
-
-FUNK: When he was active in the press section of the Propaganda
-Ministry. One day he appeared before me and wanted money for
-“Transocean,” and I granted him this money.
-
-DR. FRITZ: You were State Secretary in the Propaganda Ministry at that
-time?
-
-FUNK: Yes.
-
-DR. FRITZ: That was in what year?
-
-FUNK: That must have been in 1933 or 1934.
-
-DR. FRITZ: When he came to you, did you know what position Fritzsche had
-in the Propaganda Ministry at that time?
-
-FUNK: I knew that he was in the press section.
-
-DR. FRITZ: Was this a leading position which he had? Was he perhaps head
-of a department?
-
-FUNK: No. At that time the head of this department was Dr. Hahnke as far
-as I remember. Later it was Berndt.
-
-DR. FRITZ: Could you observe whether Fritzsche was in any close contact
-with Dr. Goebbels?
-
-FUNK: I was never called in to attend any of the discussions which Dr.
-Goebbels had daily with his experts. That was done through his personal
-assistant, Dr. Hahnke who later became State Secretary. But since
-Fritzsche was not the head of a department I assume that he was not
-called in to these discussions either. As far as I know mostly the heads
-of departments were called to these discussions, but certainly not
-Fritzsche.
-
-DR. FRITZ: Then according to your knowledge, in your capacity as State
-Secretary at that time, he was not one of the closer collaborators of
-Dr. Goebbels, if I understood you correctly.
-
-FUNK: At that time I do not believe so. Of course, I do not know what
-took place later.
-
-THE PRESIDENT: The Prosecution?
-
-MR. DODD: Witness, can you hear me?
-
-FUNK: Yes.
-
-MR. DODD: We have listened to your testimony since late Friday
-afternoon, and, as we understand it from your statements, you admit none
-of the charges made against you in the Indictment in any degree, with
-possibly one exception; I am not clear as to whether or not you were
-making an admission this morning with respect to your part in the
-persecution of the Jews. Would you tell us now whether or not you
-intended to admit your own guilt or the part that you played in the
-persecution of the Jews?
-
-FUNK: I said this morning that I had a deep sense of guilt and a deep
-sense of shame about the things which were done to the Jews in Germany,
-and that at the time when the terror and violence began I was involved
-in a strong conflict with my conscience. I felt, I could almost say,
-that a great injustice was being done. However, I did not feel guilty in
-respect to the Indictment against me here, that is, that according to
-the Indictment I was guilty of Crimes against Humanity because I signed
-the directives for carrying out laws which had been issued by superior
-offices—laws that had to be made so that the Jews would not be entirely
-deprived of their rights, and so that they would be given some legal
-protection at least in regard to compensation and settlement. I am
-admitting a guilt against myself, a moral guilt, but not a guilt because
-I signed the directives for carrying out the laws; in any event not a
-guilt against humanity.
-
-MR. DODD: All right. That’s what I wanted to thoroughly understand. You
-also told the Tribunal, that you—I think you used the expression “often
-at the door but never let in,” and I understand that to mean that in
-your own judgment you were really a little man in this Nazi
-organization. Is that so?
-
-FUNK: Yes...
-
-MR. DODD: All right. That’s an answer. You might want to explain it
-later, but for the present purposes that will do.
-
-FUNK: May I give an explanation to this. I wanted to state that in the
-position I held, there were always higher authorities which made the
-final decision. That was the case in all the positions I held in the
-State.
-
-MR. DODD: Well, let’s both examine some of the evidence, and see whether
-or not you were in fact always subordinated and always a little man who
-didn’t get in.
-
-First of all, there’s one matter that I do want to clear up before going
-into the general examination. You recall when the Defendant Schacht was
-on the stand, he told the Tribunal that after he left the Reichsbank he
-had an office in his apartment, is that so?
-
-FUNK: Yes, he said that.
-
-MR. DODD: Now of course you have told us, on another occasion, that he
-continued to have an office in the Reichsbank. Isn’t that so?
-
-FUNK: I don’t know whether I said and where I said that, but it may be
-so. I was informed, at the time when he resigned, that he still went to
-the Reichsbank rather frequently, and that a room was reserved there for
-him. In addition he still had some personnel, a secretary whom he had
-taken with him from the Reichsbank—and that is all I know.
-
-MR. DODD: Another question. You told us, on another occasion, that he
-had an office in the Reichsbank where he worked on certain bank data and
-where he still kept in touch with you every now and then. Isn’t that so?
-Do you remember telling us that or not?
-
-FUNK: No, it wasn’t like that. Schacht seldom...
-
-MR. DODD: If you don’t remember, then I perhaps can help you a little
-bit. Do you remember being interrogated by Major Hiram Gans of the
-United States Army on June 2, 3, and 4 of 1945? Do you remember that?
-You know who was there—Göring was there, Von Krosigk was there, Lammers
-was there....
-
-FUNK: Yes.
-
-MR. DODD: All right. You were asked this question, weren’t you, or
-rather, preceding this answer there were some questions?
-
-Question: “Did Schacht retain any governmental position after his
-dismissal as President of the Reichsbank?” Then Göring put in an answer:
-“Reich Minister.” Then another question: “Did he have any functions?”
-Göring again answered: “He remained Minister without Portfolio.” Then
-another question: “Were there any Cabinet meetings he attended?” Göring
-answered again: “There were no Cabinet meetings at that time.” Question:
-“Then it was purely honorary?” Göring said: “Practically.”
-
-Then you interposed with this statement (Funk is speaking): “Schacht,
-after his dismissal, kept an office in the Reichsbank, where he worked
-on statistical data of the Reichsbank and where he still kept in touch
-with me every now and then.” Question: “How long did this last?” Answer:
-“This lasted until Schacht’s dismissal as Minister, probably in 1943.”
-
-You made those answers, that answer, did you not?
-
-FUNK: That is not correct. I did not express myself that way. I said
-only that I had been informed that he came to the Reichsbank frequently,
-that there was a room reserved for him and that he very seldom spoke to
-me. He seldom called on me. That was not translated correctly.
-
-MR. DODD: You know what I am reading from, do you not? You know this
-Document, Number 2828-PS?
-
-FUNK: No.
-
-MR. DODD: Parts of this are already in evidence as Exhibit USA-654. And
-later, in another form, I shall submit this part which I have just read.
-
-Counsel Sauter, for you, this morning referred to a letter which you had
-written to Hitler, I believe it was in 1939, a very fulsome letter which
-you said was somewhat due to the general feeling at the time and also to
-the fact that it was about your 50th birthday. Is that so? There was
-another reason for your writing that letter in connection with your
-birthday, wasn’t there? Do you know to what I refer?
-
-FUNK: Yes.
-
-MR. DODD: You received 520,000 Reichsmark from Hitler as a birthday
-present?
-
-FUNK: No, that is not correct.
-
-MR. DODD: Didn’t you receive a present from Göring and Goebbels...
-
-FUNK: Yes...
-
-MR. DODD: Wait a minute till I get through—you don’t seem to
-remember—you received a present from Göring and Goebbels in the first
-instance which had been made up of 250,000 Reichsmark from leading
-businessmen in Germany and 270,000 Reichsmark which came out of special
-accounts maintained by Göring and Goebbels. Then Hitler heard about that
-and ordered you to return that money because of the fact that some of it
-came from industry, and he himself gave you a so-called donation to the
-sum of 520,000 Reichsmark, isn’t that so?
-
-FUNK: The first is not correct, but the latter is correct. But may I
-explain the details; they are of a completely different nature.
-
-MR. DODD: Go ahead.
-
-FUNK: On my fiftieth birthday the President and Directorate of the Reich
-Chamber of Economics, the chief organization of the entire German
-economy, called on me and declared that because of my more than 20 years
-of service to German economy they wanted, with the approval of the
-Führer, to make me a gift of an estate in Bavaria. That was a doubtful
-present, for later I had much worry and trouble because of it. A large
-house was built there because, as I was told, the Führer had said that
-he also wanted me to work there. The taxes were so high, however, that I
-could not pay them, nor the remaining construction costs, either.
-Thereupon I did not appeal to Göring, but Göring heard about it and had
-300,000 Reichsmark given to me in order to help me out of my financial
-straits. I did not receive any money from Goebbels, but with the
-approval of Goebbels the film corporation joined the Chamber of
-Economics in giving me this money. When the Führer heard of the
-difficulties I had in paying taxes and making other payments he put a
-sum of 500,000 Reichsmark at my disposal. With the other money I
-received I made two donations, one of 500,000 Reichsmark to the
-Reichsbank for the families of the members of the Reichsbank killed
-during the war and another of 200,000 Reichsmark to the Reich Ministry
-of Economics for the families of members of that office who died in the
-war. I was able to live in, and pay for the upkeep of, this large house
-and grounds only because I had a relatively large income. However, from
-the beginning, when I saw the tremendous costs and expenses connected
-with it particularly in taxes, _et cetera_, I decided, in agreement with
-my wife, that after my death this estate should again be donated either
-to the Reichsbank or to my East Prussian homeland. I also discussed this
-several times with the Reichsbank Directorate.
-
-MR. DODD: I am not much concerned with what you did with it, I only want
-to know if you got it. And you got it, didn’t you? You got 520,000
-Reichsmark.
-
-FUNK: Yes.
-
-MR. DODD: You also made a present out of public funds on your own
-account to the Defendant Frick on one occasion, didn’t you? Didn’t you
-give Frick a birthday present of 250,000 Reichsmark on 12 March 1942?
-
-FUNK: That I don’t know.
-
-MR. DODD: You don’t remember? You don’t remember that? Do you know
-anything about the other gifts that were given to any of these other
-defendants out of public funds, either through your position as
-President of the Reichsbank or as an important functionary of the Nazi
-Party? Do you know anything about these other men and what they have got
-from the public treasury?
-
-FUNK: These moneys were not given by me. They were given from the fund
-of the Führer by Lammers. I did not dispense such moneys.
-
-MR. DODD: They were public funds, were they not? They did not come from
-anywhere else except the public? You don’t know then that Rosenberg got
-250,000 Reichsmark? Did you know that?
-
-FUNK: No.
-
-MR. DODD: In January 1944; you were then President of the Reichsbank?
-
-FUNK: Yes, but these moneys never came from the Reichsbank. These were
-moneys from funds which were administered by Lammers and I assume that
-the moneys came from the Adolf Hitler donation or from other funds. But
-the Reichsbank had nothing to do with these funds.
-
-MR. DODD: Do you know that Von Neurath got 250,000 Reichsmark on 2
-February 1943? Do you know anything about that? You were the President
-of the Reichsbank then.
-
-FUNK: I know nothing about that.
-
-MR. DODD: You heard about Lammers and his 600,000 Reichsmark. You know
-that Keitel got 250,000 Reichsmark on 22 September 1942. You never heard
-about that?
-
-FUNK: The Reichsbank had nothing at all to do with these things.
-
-MR. DODD: You know that Von Ribbentrop got 500,000 Reichsmark on 30
-April 1943. You never heard of that? General Milch got 500,000
-Reichsmark in 1941; none of these things ever came to your attention?
-
-FUNK: I never had anything to do with these matters. They were Lammers’
-concern and the money did not come from the Reichsbank.
-
-MR. DODD: Now, I understood you to say that you were not the economic
-advisor in fact to Hitler or to the Nazi Party of the early days. That
-is in your own judgment you were not. It is a fact, however, that you
-were generally regarded as such by the public, by industrialists, by
-Party members and the high Party officials. Is that not so?
-
-FUNK: I was called that, as I said here, on the basis of my activity in
-1932. I acted as a mediator in conversations between the Führer and some
-leading economists and for a short while carried out the activity in the
-Party which has been described here.
-
-MR. DODD: You have called yourself the economic advisor on occasion,
-have you not? At least on one occasion, during an interrogation, did you
-not refer to yourself as the economic advisor for the Party? You
-remember that?
-
-FUNK: No.
-
-MR. DODD: I think you will agree that you were generally recognized as
-such, but the really important thing is that the public thought you
-were.
-
-FUNK: I have testified here that I was called that by the press and from
-the press this designation apparently went into record. I did not use
-this term myself.
-
-MR. DODD: Were you the principal contact man between the Nazi Party and
-industry in the very early days?
-
-FUNK: In 1932, and this is the only year which we need consider in
-connection with Party activities on my part, because I was not active in
-the Party before or after this year. I did arrange discussions between
-Hitler and leading men of industry, whom I can name. But other men also
-acted in that capacity; for example, State Secretary Keppler.
-
-MR. DODD: I am not asking you about other men, I am asking you whether
-or not you were not a principal contact man. Actually you were
-encouraged by industry, were you not, to become active in the Party?
-
-FUNK: Yes.
-
-MR. DODD: You acted as a go-between for the Nazis and the big business
-in Germany.
-
-FUNK: It did not take up much time, but I did it.
-
-MR. DODD: Whether it took much of your time or not, that doesn’t
-interest us. It took a little bit of your time. That’s what you were
-doing?
-
-FUNK: Yes.
-
-MR. DODD: You remember Document Number EC-440 perhaps. It is really a
-statement that you made and prepared on the relationship of German
-industry to the Party in the National Socialist leadership of the State.
-You remember that paper you drew up on 28 June 1945? You may recall that
-you yourself said, “Keppler, who later became State Secretary, and who
-served as economic advisor to the Führer before me....” You used that
-terminology. You recall that?
-
-FUNK: Keppler?
-
-MR. DODD: Yes, he was the advisor before you. You remember that?
-
-FUNK: Yes.
-
-MR. DODD: Now, in the Propaganda Ministry, if I understand you
-correctly, you want the Tribunal to believe that you were something of
-an administrative functionary and not a very important man, and you did
-not really know what was going on. Is that your position?
-
-FUNK: No. I had quite a large task, and that was the direction of an
-extensive cultural and economic concern. I stated that here. It
-consisted of film companies, theaters, orchestras, the German Trade
-Publicity Council, and the administration of the entire German radio, an
-undertaking worth a hundred millions, that is to say, a very extensive
-activity, an organizational, economic and financial activity. But
-propaganda was taken care of solely and exclusively by Goebbels.
-
-MR. DODD: Yes. You knew the policies and the purposes of the Propaganda
-Ministry; there isn’t any doubt about that?
-
-FUNK: Yes.
-
-MR. DODD: You knew that, did you not?
-
-FUNK: Yes.
-
-MR. DODD: All right. Now, we can pass on to one other matter that I
-referred to earlier, to clear up another matter. Do you recall that the
-Defendant Schacht, when he was on the stand, said, I believe, at that
-now famous meeting where a number of industrialists were gathered to
-greet Hitler, that he did not take up the collection? Schacht said he
-did not do it. I think he said that Göring did it or somebody else. Do
-you remember that testimony about Schacht on the stand? You remember
-being interrogated about that subject yourself?
-
-FUNK: Yes.
-
-MR. DODD: Do you remember what you told us at the time?
-
-FUNK: Yes.
-
-MR. DODD: What did you tell us?
-
-FUNK: I said that Schacht after addresses by Göring and Hitler made a
-brief speech, and that he asked those present to, so to say, go to the
-cashier and subscribe, that is, raise money for the election fund. He
-took over the collection and said that the coal industry...
-
-MR. DODD: Who?
-
-FUNK: He said...
-
-MR. DODD: Who was the one who took up the collection? I don’t understand
-whom you mean by “he.”
-
-FUNK: Schacht.
-
-MR. DODD: That’s all I wanted to know about that. When did you first
-learn that the uprisings of November 1938 were not spontaneous?
-
-FUNK: On the morning of 9 November, on my way from my home to the
-Ministry, I saw for the first time what had taken place during the
-night. Before that I had not had the slightest hint that such excesses
-and terror measures had been planned.
-
-MR. DODD: I think you misunderstood me. I did not ask you when you first
-came to know about the uprisings; I asked you when you first learned
-that they were not spontaneous; when you first learned that they were
-instigated and planned by somebody else.
-
-FUNK: I only found out about that later.
-
-MR. DODD: Well, how much later?
-
-FUNK: I believe very much later. Later on there was much discussion
-about this matter and it was never clear just who had been the
-instigator of these measures of terror and violence and where the order
-had originated. We knew that it had come from Munich. We had learned
-that in the meantime on 9 November; but, whether it was Goebbels or
-Himmler, and to what extent the Führer himself participated in this
-measure, I was never able to find out clearly. From my telephone
-conversation with Goebbels, which I mentioned today, one thing was
-clear: The Führer must have known about this matter, for he told me that
-the Führer had decreed, and Göring also said this, that the Jews were
-completely to be eliminated from economic life. From this I had to
-conclude that the Führer himself knew about this matter.
-
-MR. DODD: Now from that telephone conversation we can also see one other
-thing. You knew that Goebbels had started this business, did you not,
-and that was the day after it happened? You knew it was not spontaneous
-and that is why you called up Goebbels and got after him; is that not
-so?
-
-FUNK: Yes.
-
-MR. DODD: How many days later did you make that inflammatory speech
-about what should be done to the Jews? About six days afterwards, did
-you not? I am referring to the one that was published in the
-_Frankfurter Zeitung_; your counsel referred to it this morning.
-
-FUNK: Yes, to begin with...
-
-MR. DODD: And in that speech you tried to make it appear to the public
-that that was a spontaneous uprising, did you not?
-
-FUNK: Yes.
-
-MR. DODD: That was not true, was it?
-
-FUNK: I did not know that at the time. At that time I still believed
-that it was really something favored by large elements of the
-population. Very much later I found out that routine machinery had been
-put in motion.
-
-MR. DODD: Are you telling this Tribunal now that on the morning of your
-telephone call to Goebbels, when you in effect blamed him for these
-uprisings, you were not well aware then that he had started it? Is that
-your position?
-
-FUNK: At that time I did not know who had started this regime of terror
-and how it had been carried through; that was entirely new to me.
-
-MR. DODD: If you did not know who started it, you knew that somebody
-started it and that it was not spontaneous?
-
-FUNK: Yes.
-
-MR. DODD: And still in your speech of 15 November you tried to make it
-appear to the public that it was just an uprising on the part of the
-German people, did you not?
-
-FUNK: I based that on the attempted assassination of—I do not know who
-he was; some attaché in Paris—and actually the attempt caused much
-agitation. There is no doubt of it.
-
-MR. DODD: Now I think you understand my question, Witness. You said on
-that occasion, you used these words: “The fact that the last violent
-explosion of the indignation of the German people because of a criminal
-Jewish attack against the German people took place,” and so on, and you
-went on. You were trying to make it appear there that this was a
-spontaneous reaction of the German people, and I insist that you knew
-better and had known it for some days, had you not?
-
-FUNK: But I did not know that that is what took place. I admit that I
-knew that an impulse had come from some office or other.
-
-MR. DODD: Well, all right. When did you coin the expression “crystal
-week”? Do you know what that expression is; where it came from?
-
-FUNK: “Crystal week?”
-
-MR. DODD: Yes.
-
-FUNK: Yes, I did use these words once in connection with this action.
-
-MR. DODD: You coined the phrase.
-
-FUNK: Because much was shattered.
-
-MR. DODD: You are the fellow who started that expression. You are the
-man, are you not? that was your expression?
-
-FUNK: Yes, I used it.
-
-MR. DODD: And you were using it—because you made this _Frankfurter
-Zeitung_ speech?
-
-FUNK: I once characterized that action with that term, it is true,
-because much had been shattered.
-
-MR. DODD: Now, let us move on a little bit to the well-known meeting of
-12 November, when Göring and Goebbels and all of the other people made
-their remarks about the Jews and you said you were present. You did not
-make any objection that day to anything that was said, did you?
-
-FUNK: No. I merely attempted to have certain things put through in order
-to save something for the Jews, for example, their securities and
-stocks. Then I managed to have the stores reopened, so that things would
-move less rapidly, and I did more, too.
-
-MR. DODD: I understand that, but I thought this morning you were really
-pretty sensitive about the terrible things that had happened to the
-Jews, and you remember some of the suggestions that were made that day
-by Göring and Goebbels; they were pretty nasty things, were they not?
-
-FUNK: Yes, I openly admitted that I was much shaken...
-
-MR. DODD: Were you? Well...
-
-FUNK: And that my conscience bothered me.
-
-MR. DODD: All right. You went on after that and made your _Frankfurter
-Zeitung_ speech and you carried out these decrees, even though your
-conscience was bothering you; is that so?
-
-FUNK: But the decrees had to be issued. I have already emphasized that
-several times here. I had no pangs of conscience because the decrees
-were issued. I had pangs of conscience because of the reasons for them.
-But the decrees themselves—
-
-MR. DODD: That is what I’m asking you about.
-
-FUNK: But the decrees had to be issued. The reasons for them—yes; I
-admit that.
-
-MR. DODD: You know Schacht said on the stand that if he had been the
-Minister of Economy he did not think those things would have happened?
-Do you remember him saying that here the other day, do you?
-
-FUNK: Yes. He must have had very powerful and influential connections in
-the Party, otherwise he could not have been successful.
-
-MR. DODD: You did not have these connections in the Party, did you? You
-were not in the Party, you were a Minister?
-
-FUNK: No, I did not have these connections and I could not prevent these
-terror actions.
-
-MR. DODD: Well, we will see about that. Your counsel has submitted on
-your behalf an affidavit from one Oeser, O-e-s-e-r; do you remember that
-man? O-e-s-e-r, do you remember him?
-
-FUNK: Yes.
-
-MR. DODD: Do you remember him?
-
-FUNK: Yes.
-
-MR. DODD: And his affidavit—interrogatory, I believe it was...
-
-THE PRESIDENT: Mr. Dodd, we will adjourn for a bare 10 minutes.
-
- [_A recess was taken._]
-
-MR. DODD: Witness, I was inquiring about this man Oeser when we
-recessed—O-e-s-e-r; do you recall him? He was one of your employees in
-the _Frankfurter Zeitung_, was he not?
-
-FUNK: Yes, he was the chief of the Berlin administration office of the
-_Frankfurter Zeitung_, a respected journalist.
-
-MR. DODD: Yes. You know, do you not, that you have an interrogatory or
-an affidavit from him, which you are submitting to this court; it is in
-your document book?
-
-FUNK: He volunteered to do that.
-
-MR. DODD: Well, I’m not asking you—that is all right—whether he did or
-not; I just wanted to establish that you know that he did.
-
-FUNK: Yes.
-
-MR. DODD: Now, in that affidavit, as I read it, Oeser maintains that you
-were really being quite decent about the Jews in that newspaper. Is that
-not so? Is that not the sense of it; that you saved them from dismissal
-and so on, you put them under the exceptions provided in the decrees?
-
-FUNK: Yes.
-
-MR. DODD: All right.
-
-FUNK: I allowed quite a number of editors to come under these
-exceptions.
-
-MR. DODD: Yes, I know. Now I want to ask you this: There was a real
-reason, other than decency towards Jews, for your conduct with reference
-to that particular paper, was there not?
-
-FUNK: No.
-
-MR. DODD: Well, now, wait a minute.
-
-FUNK: I do not know these people personally.
-
-MR. DODD: I do not say that you knew the people personally. I say that
-there was a reason, other than your feeling for Jews as people, but
-which you have not told the Tribunal about yet, another reason maybe.
-
-FUNK: In the case of the editors of the _Frankfurter Zeitung_?
-
-MR. DODD: Yes.
-
-FUNK: No.
-
-MR. DODD: Now, is it not a fact that you and probably Hitler, and
-certainly Goebbels, and some of the other higher-ups of the Nazi Party,
-decided that that paper should be left in _status quo_ because of its
-vast influence abroad? Is that not true?
-
-FUNK: We did not talk about that at that time. That issue came up later.
-It came when the Führer demanded that almost all leading daily
-newspapers should either be taken over by the Party or merged with Party
-papers. And on that occasion I succeeded in having exception made for
-the _Frankfurter Zeitung_, and the _Frankfurter Zeitung_ continued to
-exist for a long time. But that was much later. Here, in fact, the only
-reason was to help a few Jewish editors.
-
-MR. DODD: Well...
-
-FUNK: It was a purely humane reason.
-
-MR. DODD: You can answer this. I just wanted to get your answer on the
-record because I’ll have more to say about it later. Do I understand you
-to deny that it was your established policy to preserve the _status quo_
-of the _Frankfurter Zeitung_ because of its influence abroad?
-
-FUNK: No, it was always my opinion that the _Frankfurter Zeitung_ should
-remain as it was.
-
-MR. DODD: Well, was it for the reason that I suggest, because these
-people were well known in the financial world abroad, and you did not
-want to impair the usefulness of that paper abroad? That’s what I’m
-getting at, and I say that that is why you kept them on, and not because
-you felt badly about their plight as Jews.
-
-FUNK: No, not in this case. In this case that was not the reason.
-
-MR. DODD: Very well; now, with respect to your activities as the
-Plenipotentiary for Economy and their relationship to the wars waged
-against Poland and the other powers, I have some questions that I would
-like to ask you. Now I will tell you what it is about first, so you will
-be aware. You are not maintaining, are you, that your position as
-Plenipotentiary for Economy did not have much to do with the affairs of
-the Wehrmacht?
-
-FUNK: Yes, I assert that. With the Wehrmacht...
-
-MR. DODD: Now, I have in my hand here a letter which Von Blomberg wrote
-to Göring. Do you remember that letter? It is a new document and you
-have not seen it in this Trial, but do you remember any such letter?
-
-FUNK: No.
-
-MR. DODD: Well, I ask you to be handed Document Number EC-255.
-
-[_The document was handed to the defendant._] Mr. President, this
-becomes Exhibit USA-839.
-
-[_Turning to the defendant._] Now, in this letter from Von Blomberg, I
-am only concerned now with the last sentence, really. You will notice
-that Von Blomberg, in this letter, refers to the fact that Schacht had
-been appointed, but the last sentence says, or in the next to the last
-paragraph he first urges that you be appointed immediately, and that is
-underlined in his letter; and in the last paragraph he says:
-
- “The urgency of unified further work on all preparations for the
- conduct of the war does not admit of this office being paralyzed
- until 15 January 1938.”
-
-This letter, by the way, was written on 29 November 1937. Certainly Von
-Blomberg thought that the job that he was suggesting you for would have
-some very great effect upon the conduct of the war, did he not?
-
-FUNK: That may be, but in the first place, I do not know about that
-letter and, secondly, I was not immediately appointed Plenipotentiary
-for Economy but only in the course of 1938. Quite some time after I had
-been appointed Minister for Economics I asked Lammers why my appointment
-as Plenipotentiary for Economy had taken so long; he replied that my
-relationship to the Delegate for the Four Year Plan had to be cleared up
-first. That was the reason why several months passed before I became
-Plenipotentiary for Economy, because it had to be ascertained that
-Göring had the decisive authority for war economy...
-
-MR. DODD: You really do not need to go into all that.
-
-FUNK: I do not know about that letter, and I have never spoken to Von
-Blomberg about the affair.
-
-MR. DODD: All right. You do recall perhaps that the OKW, after you were
-appointed, made some objection about the amount of authority that you
-had. Do you remember that?
-
-FUNK: No.
-
-MR. DODD: Now, I am holding here another new document, Number EC-270,
-which I will ask that you be shown, which will become Exhibit USA-840.
-While you are waiting for it, I will tell you that it is a letter
-written on 27 April 1938. You will notice that in the first paragraph of
-this letter from the OKW it says that the interpretation which has been
-put on the decree of the Führer—the decree of 4 February 1938—does not
-correspond to the necessities of total warfare.
-
-And then you go down to the third paragraph on that first page and you
-will find other objections with respect to your authority. Apparently at
-this time the OKW thought you had too much to do with what would be the
-war effort, and finally on the last page, Mr. Witness, if you will look
-at this paragraph, you will see this sentence—on the last page of the
-English, anyway; near the end of the letter this sentence appears:
-
- “The war economy, which is subordinated to the Plenipotentiary,
- represents the economic rear area of the armaments industry.”
-
-And I want you to observe carefully those words “armaments industry.”
-
-And then it goes on to say:
-
- “If this stage fails, the striking power of the Armed Forces
- becomes questionable.”
-
-I ask that you pay attention to the words “armaments industry,” because
-I recall that this morning you said you had absolutely nothing to do
-with the armaments industry; but apparently the OKW thought that you
-did, on 27 April 1938. Is that not so?
-
-FUNK: I do not know this letter either. I do not know the attitude of
-the OKW but I do know this: The OKW, especially the Codefendant Field
-Marshal Keitel, was of the opinion at that time that I, as
-Plenipotentiary General for War Economy, should assume the authority and
-competence of Schacht; but there was a conversation between the Reich
-Marshal and Field Marshal Keitel—Keitel confirmed this to me—in which
-the Reich Marshal clearly declared; “The war economy will not be turned
-over to Funk.” I can honestly and sincerely say that I did not have the
-slightest idea of all these things. I did not know what kind of position
-the OKW intended me to have. I never had that function because the
-administration for the armaments industry was never included in the
-Ministry of Economics. I do not remember the matter.
-
-MR. DODD: All right. That is your answer. I suppose at the time you were
-also aware, as you told the Tribunal, that you were really subordinate
-to Göring and in a very inferior position about all of these things. Is
-that so?
-
-FUNK: Yes.
-
-MR. DODD: I am going to ask you to look at another Document, Number
-EC-271, which will become Exhibit USA-841, and this document consists of
-a letter which you wrote to Lammers, a letter which Lammers wrote to the
-Chief of the High Command, Field Marshal Keitel, and one or two other
-letters not pertinent for the purposes of this present inquiry. It was
-written on 31 March 1938, and I want you to turn to the second page
-because that is where your letter appears. The first page is just a
-letter of transmittal from Lammers to Keitel, but let us look at the
-second page. Have you got it?
-
-FUNK: Yes.
-
-MR. DODD: You are writing to Lammers and you say—I am not going to read
-the whole letter, but the second paragraph. You wrote to Lammers and you
-say among other things:
-
- “On the occasion of a trip to Austria I have, among other
- matters, also talked to Field Marshal Göring about the position
- of the Plenipotentiary for War Economy. I pointed out in this
- conversation that, contrary to the attitude of the OKW, of which
- I was informed, the decree of 4 February 1938 concerning the
- leadership of the Wehrmacht did not change the position of the
- Plenipotentiary for War Economy.”
-
-And you go on—aside from the fact that the decree applied exclusively
-to the command of the Armed Forces, and so on, and that especially the
-last paragraph of that decree stated that you were dependent upon
-instructions of the Führer—to say:
-
- “Moreover, among the instructions of the Führer is included the
- decision of the Reich Government of 21 May 1935, according to
- which the Plenipotentiary for War Economy, in his sphere of duty
- as supreme Reich authority, is immediately subordinated to the
- Führer.
-
- “General Field Marshal Göring assured me that my interpretation,
- as mentioned above, was correct in every respect and also
- corresponds with the Führer’s opinion. Thereupon I asked him to
- give me a brief written confirmation. Field Marshal Göring
- promised to grant this request.”
-
-Now, you wrote that letter to Lammers, did you not, on 31 March 1938,
-“yes” or “no?”
-
-FUNK: Certainly.
-
-MR. DODD: All right. You were trying to have supreme authority and make
-yourself answerable only to the Führer and that is what this contest was
-about, and that is what Document Number EC-271 referred to and this is
-your answer to the OKW’s objection that you had too much power. This
-does not look like you were a little man, does it, Mr. Witness?
-
-FUNK: Yes. I wanted to clarify the position, but later it was not
-clarified in that sense but in the sense that I was dependent upon the
-directives of the Reich Marshal. I wrote this letter in order to try to
-obtain a clarification, but I do not remember this letter in detail.
-
-MR. DODD: You told Lammers...
-
-THE PRESIDENT: Mr. Dodd, is not this letter that you have just read the
-very letter which is referred to in the letter which you put to him
-immediately before?
-
-MR. DODD: Yes, Sir, it is. It referred to EC-271. I am sorry, I said
-271, I meant 270.
-
-THE PRESIDENT: GB Number 649/38 is the letter you just read. Will you
-look at the first paragraph of EC-270; the letter referred to there,
-criticizing, is the Defendant Funk’s letter you just read.
-
-MR. DODD: Yes, it is, your Honor.
-
-[_Turning to the witness._] My point here, Mr. Witness, is that, you
-see, you told the Tribunal that you really just worked for Göring; that
-you did not have much to say about these things, but now we find that
-you were writing a letter asserting your supreme authority and saying
-now, “it is a fact that I am really only answerable to Hitler,” and, you
-see, those two are quite inconsistent. What have you got to say about
-that?
-
-FUNK: Yes; in fact, I was never successful.
-
-MR. DODD: Now, let us see if you were not. Now you turn another page in
-that document and you will find another letter from Lammers, written on
-6 April 1938, and it is written to you, and he tells you that you are
-just right in what you understood to be your position; that you are
-indeed only subordinate to the Führer and that he has sent a copy of
-your letter to both Field Marshal Göring and the Commander of the OKW.
-Now, what do you say about that?
-
-FUNK: I see from this that I tried at that time to achieve that post,
-but in fact I never succeeded because the Reich Marshal himself stated
-later that he would never turn over the war economy to me. The formal
-authority of the Plenipotentiary for Economy was turned over to the Four
-Year Plan by a decree of the Führer of December 1939.
-
-MR. DODD: Well, is that your answer? Now, you also have told the
-Tribunal, as I understood you at least, that you really did not have
-much to do with the planning of any aggressive wars, and that your
-activities were restricted to regulating and controlling the home
-economy, so to speak. Now, actually on 28 January 1939, which was some
-months before the invasion of Poland, you were considering the use of
-prisoners of war, were you not?
-
-FUNK: That I do not know.
-
-MR. DODD: Are you sure about that? Now I will ask that you be shown
-another document, Number EC-488 which becomes Exhibit USA-842. This is
-an unsigned letter, a captured document from your files. This letter, by
-the way, was transmitted under the signature of Sarnow. You know who he
-was; he was your deputy. Now, this letter, dated 28 January 1939, says
-that its subject is “Re: Employment of Prisoners of War.” Then it goes
-on to say:
-
- “Under the Reich Defense Law of 4 September 1938* I have the
- direction for the economic preparations for the Reich defense,
- except the armament industry.”
-
-Then it goes on, “For the utilization of labor...” and so on. But what I
-want to call your attention to particularly is the sentence in the
-second paragraph which says:
-
- “The deficit in manpower may force me to the employment of
- prisoners of war as far as possible and practical. The
- preparations, therefore, have to be made in close co-operation
- with the OKW and GBW. The offices under my jurisdiction will
- duly participate therein.”
-
-Remember that communication?
-
-FUNK: No, I have never seen that letter, and never signed it. But that
-letter belongs to the matters about which I spoke this morning. The
-office of the Plenipotentiary for Economy—moreover, I see
-“Plenipotentiary for War Economy” is scratched out—was continuously
-occupied with these things. I personally had nothing to do with it.
-
-MR. DODD: Well now, that is rather playing with words. This was your
-Ministry that was making these suggestions, and your principal deputy
-who transmitted this letter, is that not so?
-
-FUNK: No, that was...
-
-MR. DODD: Now, you look up in the right hand corner of that letter and
-see if it doesn’t say “The Plenipotentiary for the Economy,” and then it
-gives the address and date.
-
-FUNK: Yes, and it is signed “By Order: Sarnow.”
-
-MR. DODD: That is right, and he was your principal deputy, was he not?
-
-FUNK: No.
-
-MR. DODD: What was he?
-
-FUNK: He only worked in the office of the Plenipotentiary General. My
-main deputy, who was in charge of those things, was Dr. Posse.
-
-MR. DODD: Well now, at any rate...
-
-FUNK: As I have said before, I personally had nothing to do with these
-things whatsoever.
-
-MR. DODD: It has just been called to my attention that if you say the
-man was Posse, then in the second paragraph of that letter you can find
-his name: “I can refer to the statements of Generaloberst Keitel, State
-Secretary Dr. Posse...” At any event, important people in your
-organization were involved in this thing, were they not?
-
-FUNK: Certainly.
-
-MR. DODD: All right. Now, you remember the Document Number 3562-PS. It
-was introduced here as Exhibit USA-662. It is the minutes of a meeting
-set out by Dr. Posse, your deputy, which discussed a memorandum for
-financing the war, and you talked about that this morning and you said
-that despite the fact that there is a note on it “to be shown to the
-Minister,” you never saw it.
-
-FUNK: I would have had to initial it if I had seen it.
-
-MR. DODD: Well, whether that is so or not, I am not concerned about
-right now. Instead, I want you to listen while I read an excerpt from
-it. If you would like to see the document you can have it, but I hardly
-think it is necessary. You recall that in that document one of your
-memoranda is referred to, is it not? Do you remember? Do you remember
-that Posse said:
-
- “It was pointed out that the Plenipotentiary for Economy is
- primarily concerned with introducing into the legislation for
- war finance the idea of financing war expenditures by
- anticipating future revenues, to be expected after the war.”
-
-FUNK: Yes.
-
-MR. DODD: All right. That is all I have to ask about that document. We
-can move right along here.
-
-Referring again to your own direct testimony, I understood you to tell
-the Tribunal that insofar as the war against Poland was concerned, you
-did not really know until some time in August that there was even a
-likelihood of war with Poland; some time in August you thought it would
-be settled by diplomatic means. Is that not so?
-
-FUNK: In all probability not. For months there was a latent danger of
-war, but even in August one could see that it was imminent.
-
-MR. DODD: Had you been planning or making economic plans for war with
-Poland for more than a year before the attack on Poland? You can answer
-that “yes” or “no.”
-
-FUNK: I do not know.
-
-MR. DODD: You mean you did not know whether you had or not? What do you
-mean by that kind of an answer? Do you not remember?
-
-FUNK: I do not remember.
-
-MR. DODD: All right. Then I can help you. There is a Document, Number
-3324-PS, which is already in evidence. You must remember it; it is
-Exhibit USA-661. That is a speech that you made. Is that not so? Do you
-not remember saying in it that you had been planning in secret for well
-over a year for the war on Poland? Do you remember that? Would you like
-to see the document?
-
-FUNK: Yes, please.
-
-MR. DODD: The sentence is here:
-
- “Although all the economic and financial departments were
- utilized in the tasks and work of the Four Year Plan, under the
- leadership of Field Marshal Göring, the war economic preparation
- of Germany on another branch has also been advanced in secret
- for years...”
-
-Do you remember that?
-
-FUNK: Yes, now I know.
-
-MR. DODD: You will notice it says here “for well over a year,” and you
-went on to say this had been done under you. Is that true?
-
-FUNK: Yes, that was the activity of the Plenipotentiary for civilian
-economy. I already explained that this morning.
-
-MR. DODD: All right. Well, that is all right. I just wanted to get your
-answer...
-
-FUNK: I did not speak of Poland.
-
-MR. DODD: Well, that is the only war that was on when you made this
-speech. It was October 1939.
-
-FUNK: The preparations were not made for a specific war, it was...
-
-MR. DODD: All right.
-
-FUNK: It was a general preparation.
-
-MR. DODD: Now, actually you and Göring were even in a contest for power
-to some extent, were you not? Was the Göring door one of those that you
-were also trying to get in? You can answer that very simply. You told us
-you were trying to get in these various doors, but you would get up
-there and never get in. I now ask you if the Göring door was one of
-those.
-
-FUNK: I do not believe that I was so presumptuous as to want to get
-Göring’s post. That was far from being my intention. I had very little
-ambition at all.
-
-MR. DODD: I did not say that you wanted to get his post, but you wanted
-to get some of his authority, did you not? Or do you not remember? Maybe
-that is the solution.
-
-FUNK: No.
-
-MR. DODD: Well, your man Posse was interrogated here by representatives
-of the Prosecution and the document is Number 3894-PS. He was asked
-these questions:
-
- “Question: ‘What was the nature of the conflict between the
- Plenipotentiary for Economy and the Four Year Plan?’
-
- “Answer: ‘The struggle for power.’
-
- “Question: ‘The struggle for power between Funk and Göring?’
-
- “Answer: ‘The struggle for power between Funk and Göring,
- between Funk and the Ministry for Agriculture and the Ministry
- of Communications.’
-
- “Question: ‘How was the struggle finally resolved?’
-
- “Answer: ‘Never. It was a struggle always continuing under the
- surface.’”
-
-Then we move on:
-
- “Question: ‘Did Funk, who had very important powers as Minister
- of Economics and later as Reichsbank President and as Chief
- Plenipotentiary for Economy, actually exercise these powers?’
-
- “Answer: ‘Yes. But the powers of Göring were stronger.’
-
- “Question: ‘Nevertheless, Funk did exercise important powers?’
-
- “Answer: ‘Yes, as President of the Reichsbank, Minister of
- Economics, and Plenipotentiary for Economy.’”
-
-Posse was your chief deputy, was he not?
-
-FUNK: Yes, but Posse’s position was somewhat apart. My deputy was
-Landfried, and in the Reichsbank, Puhl. They knew these things better
-than Herr Posse.
-
-MR. DODD: Well, all right.
-
-FUNK: They should know more about it than Posse.
-
-MR. DODD: You do not think he really knew what he was talking about when
-he said you were in the struggle for power? Is that your answer?
-
-FUNK: No.
-
-MR. DODD: [_Turning to the Tribunal._] That becomes Exhibit USA-843. We
-have not offered it up to now.
-
-Now, Mr. Witness, I want to ask you about when you first heard of the
-impending attack on Russia. I understood you to tell the Tribunal that
-you heard about it some time—I think you said—in May. Is that right?
-Or June?
-
-FUNK: When Rosenberg was appointed.
-
-MR. DODD: Well, that is what we want to know. When Rosenberg, in April
-of 1941, was appointed, you knew then there was to be an attack on
-Russia, did you not? But this morning I do not think you made that
-clear. Is that not right, Dr. Funk?
-
-FUNK: Yes, I said that the reason given us for that appointment was that
-the Führer considered a war with Russia to be possible.
-
-MR. DODD: Yes, but you know what you told the Tribunal this morning. You
-said that Lammers sent you notice of Rosenberg’s appointment because of
-your interest in improving the trade relations with Russia. That is the
-answer you made this morning. Now, that was not so, was it?
-
-FUNK: Yes, Lammers has said that here, too.
-
-MR. DODD: I do not care what Lammers said. I am asking you now if it is
-not a fact that you were told by Lammers because you were to co-operate
-with Rosenberg in making ready for the occupation of those territories
-after the attack began. Now you can answer that very simply. Is that not
-true?
-
-FUNK: No.
-
-MR. DODD: Now, we will see. You know, on another occasion you have given
-another answer, by the way, I might say, parenthetically. Do you
-remember telling the interrogator that you first heard from Hess about
-the impending attack on Russia? Do you remember you gave that answer at
-one time as the source of your first knowledge? Do you remember telling
-us that?
-
-FUNK: No.
-
-MR. DODD: I’ll tell you about that in a minute. We will stay now on this
-Rosenberg business.
-
-There is a Document Number 1031-PS and it is dated 28 May 1941, which
-would be a little more than a month after the Rosenberg appointment:
-“Top secret notes; meeting with Reich Minister Funk.” Do you know what
-you were talking about that day, about counterfeiting money for use in
-Russia and the Ukraine and the Caucasus? Do you remember it?
-
-FUNK: No.
-
-MR. DODD: You do not remember it? Well, you had better take a look at
-the Document. It is Number 1031-PS, which becomes Exhibit USA-844. Do
-you not remember the day that your Reichsbank Director Wilhelm said it
-should not appear that you were counterfeiting so-called ruble bills for
-use in the occupied countries? Rosenberg was at that meeting. It is a
-very short memorandum. Have you read it? Oh, it is on Page 4, I think,
-of the document that you have; I am sorry. Do you find it? It starts
-out: “In the Ukraine and the Caucasus, however, it would become
-necessary to maintain the present currency, the ruble...” and so on. You
-were talking about money problems in the territory that you expected to
-occupy, and that was, well, about a month before the attack and about a
-month after Rosenberg’s appointment, was it not? Can you not give me an
-answer?
-
-FUNK: I have not found the passage yet. Yes, if these countries were
-conquered, it was necessary to deal with these questions.
-
-MR. DODD: The point is that certainly by that time you knew about the
-impending attack on the countries that had to be conquered, did you not?
-
-FUNK: I knew nothing of an attack. I only knew of an imminent danger of
-war.
-
-MR. DODD: Well, all right, you have it your way. The important thing is
-that you were talking about using money in the Ukraine and in the
-Caucasus, and it happened about a month later.
-
-FUNK: Yes.
-
-MR. DODD: All right. There are quite a few questions I want to ask. I
-would like to close this examination before the adjournment time is due.
-Do you have anything you want to say to that? I only offered to show you
-that you had knowledge about the impending attack. You knew that
-something was going to happen in the East. That is all I wanted to ask.
-I think you will agree with that, will you not?
-
-FUNK: Yes.
-
-MR. DODD: All right.
-
-FUNK: Since the appointment of Rosenberg—and I explained that quite
-clearly this morning—I knew that a war with Russia was threatening.
-
-MR. DODD: We are all in agreement. We do not need to go further. I
-understood you to say this morning that you did not know. That is all
-right. I misunderstood you then. I now understand you to say that you
-did know it.
-
-FUNK: I said quite clearly this morning that I was informed that the
-Führer was expecting a war with Russia, but I am not sure about this
-document, as to who has written it.
-
-MR. DODD: Well, I do not know either. I can simply tell you that it was
-captured, among other documents, from Rosenberg’s files. I cannot tell
-you anything more about it. I think we can talk about something else, if
-you will permit me. I really do not think there is any need to go on
-with it.
-
-FUNK: Yes, but it is important insofar as these things about the ruble
-have been attributed to me.
-
-MR. DODD: I will say it is, too.
-
-FUNK: It says here that I said that the use of the
-Reichskreditkassenscheine and the determining of the rate of exchange
-involved considerable danger. In other words, I was very doubtful in
-regard to the proposals made in this respect.
-
-MR. DODD: All right. I am glad to have your observations about it. Now,
-I want to talk to you a little bit about when you took over the
-Reichsbank. Posse was your principal deputy in your Ministry of
-Economics, was he not?
-
-FUNK: Landfried was my main deputy.
-
-MR. DODD: And by the way, he was at the same meeting that we have just
-been talking about. Who was your principal assistant in the Reichsbank?
-
-FUNK: Puhl.
-
-MR. DODD: He was a holdover from the Schacht days, was he not?
-
-FUNK: Yes.
-
-MR. DODD: Did you induce him to remain? Did you ask him to remain?
-
-FUNK: No.
-
-MR. DODD: You said that you selected your personnel. That is what you
-told the Tribunal this morning.
-
-FUNK: No. Puhl remained and also Kretschmann and Wilhelm.
-
-MR. DODD: I am not interested in going through your roster of personnel.
-I am only asking—and I will tell you the purpose. Puhl was a reliable
-banking man, was he not? He was well known in the international banking
-circles. He had been offered a position in the Chase Bank in New York at
-one time, did you know that?
-
-FUNK: No, I did not know that.
-
-MR. DODD: Well, it is true. In any event, he was quite a man, and he is
-a reliable man, is he not?
-
-FUNK: Yes.
-
-MR. DODD: You asked for him as a witness, did you not?
-
-FUNK: Yes.
-
-MR. DODD: And you wanted him to come here because you believe him and
-you know he...
-
-FUNK: Yes.
-
-MR. DODD: Now, I want to talk a little bit about the gold in the
-Reichsbank. How much gold did you have on hand at the end of the year
-1941, roughly? Do not give me a long story about it, because I am not
-too much interested. I am merely trying to find out if you were short on
-gold in 1941.
-
-FUNK: The gold reserve which I took over amounted to about 500 million
-Reichsmark when I received the post of Schacht.
-
-MR. DODD: Well, all right.
-
-FUNK: It was increased in any substantial manner only by the Belgian
-gold, as far as I know.
-
-MR. DODD: That is really—it is interesting to hear all about it, but I
-have another purpose in mind. From whence did you obtain gold after you
-took over? Where did you get any new gold reserves from?
-
-FUNK: Only by changing foreign currency into gold, and then, after I
-took over the post, we got in addition the gold reserve of the Czech
-National Bank. But we mainly increased our reserve through the Belgian
-gold.
-
-MR. DODD: All right. Now, of course, gold became very important to you
-as a matter of payment in foreign exchange. You had to pay off in gold
-along in 1942 and 1943, did you not? Is that so?
-
-FUNK: It was very difficult to pay in gold.
-
-MR. DODD: I know it was.
-
-FUNK: Because the countries with which we still had business relations
-introduced gold embargoes. Sweden refused to accept gold at all. Only in
-Switzerland could we still do business through changing gold into
-foreign currency.
-
-MR. DODD: I think you have established that you had to use gold as
-foreign exchange in 1942 and 1943 and that is all I wanted to know. When
-did you start to do business with the SS, Mr. Funk?
-
-FUNK: Business with the SS? I have never done that.
-
-MR. DODD: Yes, sir, business with the SS. Are you sure about that? I
-want you to take this very seriously. It is about the end of your
-examination, and it is very important to you. I ask you again, when did
-you start to do business with the SS?
-
-FUNK: I never started business with the SS. I can only repeat what I
-said in the preliminary interrogation. Puhl one day informed me that a
-deposit had been received from the SS. First I assumed that it was a
-regular deposit, that is, a deposit which remained locked and which was
-of no further concern to us, but then Puhl told me later that these
-deposits of the SS should be used by the Reichsbank. I assumed they
-consisted of gold coins and foreign currency, but principally gold
-coins, which every German citizen had had to turn in as it was, and
-which were taken from inmates of concentration camps and turned over to
-the Reichsbank. Valuables which had been taken from the inmates of
-concentration camps did not go to the Reichsbank but, as we have several
-times heard here, to the Reich Minister of Finance, that is...
-
-MR. DODD: Just a minute. Were you in the habit of having gold teeth
-deposited in the Reichsbank?
-
-FUNK: No.
-
-MR. DODD: But you did have it from the SS, did you not?
-
-FUNK: I do not know.
-
-MR. DODD: You do not know?
-
-Well, now, if Your Honor please, we have a very brief film, and I think
-we can show it before we adjourn, and I would like to show it to the
-witness before I examine him further on this gold business in the
-Reichsbank. It is a picture that was taken by the Allied Forces when
-they entered the Reichsbank, and it will show gold teeth and bridges and
-so on in their vaults.
-
-FUNK: I know nothing about it.
-
-MR. DODD: I think perhaps before I show the film I would like—I think I
-can do it in the time; I do want to complete this this afternoon—to
-read you an affidavit from this man Puhl who, you told me a few minutes
-ago, was a credible, well-informed man and whom you called as a witness.
-This affidavit is dated 3 May 1946.
-
-DR. SAUTER: Mr. President, I protest against the reading of this
-affidavit by Herr Puhl. This affidavit most probably—I’m not sure—was
-taken here in Nuremberg. We do not know its contents. The Prosecution
-surprises us today with an affidavit of which we know nothing, and
-within ten minutes a dozen documents are thrown at us, of which the
-Prosecution asserts they are only short documents, whereas, for
-instance, one affidavit among them contains twelve pages, I believe. It
-is quite impossible for us, in the course of the extreme speed at which
-this examination is taking place, to follow these statements and these
-documents. Therefore I have to protest against the use of an affidavit
-of that kind at this moment.
-
-MR. DODD: Well, this affidavit was taken at Baden-Baden, Germany, on the
-3rd day of May. We have been trying for a long time to put this part of
-this case together, and we have finally succeeded. Certainly we did not
-turn it over to Dr. Sauter, because we wanted to use it for just the
-purposes that I am trying to put it to now. And it is an affidavit of
-his assistant Puhl, whom he called as a witness and from whom he expects
-to have an interrogatory. It has to do with a very important part in
-this case. I might say that if we are permitted to use it, certainly Dr.
-Sauter will have a chance to re-examine on it and he will have all night
-to study it if he would like to look it over.
-
-THE PRESIDENT: Mr. Dodd, are you wanting to cross-examine the witness
-about this document?
-
-MR. DODD: Yes, I want to read it to him and I want to ask him a couple
-of questions about it. I want him to know it because it is the basis for
-two or three questions of cross-examination, and to impeach him for
-statements he has already made about the gold.
-
-THE PRESIDENT: You may do that. But Dr. Sauter, of course, will be able,
-if he wishes to do so, to apply afterwards that the witness should be
-produced for cross-examination. And he will have time in which he can
-consider the affidavit and make any comments that he wants to about it.
-
-MR. DODD: Very well, Your Honor.
-
-DR. SAUTER: Mr. President, may I make just one statement? Today a case
-occurred where the Prosecution protested against the fact that a
-document was used of which the Prosecution had not previously received
-an English translation. The representative of the Prosecution told me he
-did not understand German, and therefore the document had to be
-translated. I am of the opinion that the Defense should get the same
-right as the Prosecution.
-
-If one English document after the other is thrown at me without my
-having the slightest idea of the contents, then I cannot answer them.
-Difficulties are constantly increasing. For instance, I have received
-documents here which contain 12 pages. One sentence is read out of such
-a document. The defendant is not given time to read even one single
-further paragraph. I myself am not given time. And in spite of that it
-is expected that the defendant immediately explains one single sentence
-taken out of the context, without having the possibility of examining
-the document. That, in my opinion, is asking too much.
-
-THE PRESIDENT: Dr. Sauter, you had a translation in German of nearly
-every document, if not every document. And you have also been given
-every opportunity to consider documents when they have been translated
-into German. And that opportunity will be given to you hereafter and if
-there are any documents which are being used in cross-examination now
-which are not in German, they will be translated into German, and you
-will have them then. But once the witness is under cross-examination,
-the documents may be used. If you want to re-examine upon the documents
-after you have them in German, you will be able to do so.
-
-DR. SAUTER: Mr. President, we Defense Counsel also desire to further the
-proceedings and not to delay them. But it does not help me at all if, in
-a week or two, when I shall finally have been able to examine the
-documents thrown today on the table, I must turn to you, Mr. President,
-with the request to be permitted to question the witness again. We are
-glad once we are through with the examination of the witnesses. But we
-simply cannot follow Mr. Dodd’s method. I cannot follow, and the
-defendant cannot either. One cannot expect the defendant to explain an
-isolated sentence taken out of the context, if he had no chance to
-examine the document as a whole.
-
-THE PRESIDENT: Mr. Dodd.
-
-MR. DODD: May I proceed to examine on the document?
-
-THE PRESIDENT: Mr. Dodd, have you got any objection to Dr. Sauter’s
-seeing the document?
-
-MR. DODD: Yes, indeed I have. I think it would be a new rule. Ever since
-this Defense opened, we have presented and confronted documents for the
-purpose of impeaching the credibility of various witnesses, and used
-these documents, and it goes to the very foundation of
-cross-examination. If we have to turn such documents over to the Defense
-before we cross-examine, the whole purpose of cross-examination is gone.
-
-THE PRESIDENT: Mr. Dodd, if you are putting the document in and putting
-it to the witness as a document, then his counsel is entitled, I should
-have thought, to have it at the same moment.
-
-MR. DODD: We are perfectly willing to give him a German copy right now.
-It is here for him, if he wants to have it, and we were ready with it
-when we came in the courtroom.
-
-THE PRESIDENT: In German?
-
-MR. DODD: Yes, Mr. President.
-
-THE PRESIDENT: I think the best thing will be for us to adjourn now, and
-then you will hand to Dr. Sauter when you use the document a translation
-of it in German.
-
-MR. DODD: Yes; tomorrow morning, when we use it.
-
-THE PRESIDENT: When you use it.
-
-MR. DODD: Very well, Sir.
-
- [_The Tribunal adjourned until 7 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-THIRD DAY
- Tuesday, 7 May 1946
-
-
- _Morning Session_
-
-[_The Defendant Funk resumed the stand._]
-
-MR. DODD: Witness, you had a conference with Dr. Sauter last night after
-we recessed Court, did you not, for about an hour?
-
-FUNK: Yes.
-
-MR. DODD: Now we were talking yesterday, when the Tribunal rose, about
-the gold deposits in the Reichsbank, and I had asked you when you
-started to do business with the SS, and as I recall, you said you did
-not do any business with the SS. And then we went along a little further
-and you did say that the SS did deposit some materials, some property
-belonging to people in concentration camps. Do I properly understand
-your testimony to have been, in substance, as I have stated it?
-
-FUNK: No. I said that Herr Puhl—I do not remember in what year—told me
-one day that a gold deposit had arrived from the SS and he also told
-me—and he said it somewhat ironically—it would be better that we
-should not try to ascertain what this deposit was. As I said yesterday,
-it was impossible in any case to ascertain what was deposited. When
-something was deposited, the Reichsbank had no right to look into it to
-see of what it consisted. Only later, when Herr Puhl made another report
-to me, did I realize that when he used the word “deposit” it was a wrong
-term; it was not a deposit but it was a delivery of gold. There is of
-course a great difference. I personally assumed that it concerned a gold
-deposit, that this gold consisted of gold coins or other foreign
-currency or small bars of gold or something similar, which had been
-brought in from the inmates of the concentration camps—everybody in
-Germany had to hand these things over—and that it was being handed to
-the Reichsbank, which would use it. Since you mentioned this matter, I
-remember another fact of which I was not conscious until now. I was
-asked about it during my interrogation, and during this interrogation I
-could not say “yes” to it because at that time I did not remember it. I
-was asked during my interrogation whether I had the agreement of the
-Reichsführer that the gold which was delivered to the Reichsbank should
-be utilized by the Reichsbank. I said I did not remember. However, if
-Herr Puhl makes such a statement under oath, I will not and cannot
-dispute it. It is evident that if gold were delivered which should come
-to the Reichsbank, then the Reichsbank had the right to utilize such
-gold. I certainly never spoke more than twice or at most three times to
-Herr Puhl about this matter. What these deposits or these deliveries
-consisted of and what was done with these deliveries, how they were
-utilized, I do not know. Herr Puhl never informed me about that either.
-
-MR. DODD: Well now, let us see. You were not ordinarily in the habit, in
-the Reichsbank, of accepting jewels, monocles, spectacles, watches,
-cigarette cases, pearls, diamonds, gold dentures, were you? You
-ordinarily accepted that sort of material for deposit in your bank?
-
-FUNK: No; there could be no question, in my opinion, that the bank had
-no right to do that, because these things were supposed to be delivered
-to an entirely different place. If I am correctly informed about the
-legal position, these things were supposed to be delivered to the Reich
-Office for Precious Metals and not to the Reichsbank. Diamonds, jewels,
-and precious stones were not the concern of the Reichsbank because it
-was not a place of sale for these things. And in my opinion, if the
-Reichsbank did that, then it was unlawful.
-
-MR. DODD: That is exactly right.
-
-FUNK: If that happened, then the Reichsbank committed an illegal act.
-The Reichsbank was not authorized to do that.
-
-MR. DODD: And is it your statement that if it was done you did not know
-anything about it?
-
-FUNK: No.
-
-MR. DODD: You did not know?
-
-FUNK: No.
-
-MR. DODD: You were frequently in the vaults of the Reichsbank, were you
-not? As a matter of fact you liked to take visitors through there. I
-say, you were frequently in the vaults of the bank yourself?
-
-FUNK: Yes, I was, where the gold bars were kept.
-
-MR. DODD: I will come to the gold bars in a minute. I just want to
-establish that you were in the vaults frequently, and your answer, as I
-understand it, is “yes” that you were?
-
-FUNK: It was the usual thing if someone came to visit us, particularly
-foreign visitors, to show them the rooms where the gold was kept and we
-always showed them the gold bars and there was always the usual joke as
-to whether one could lift a gold bar or not. But I never saw anything
-else there except gold bars.
-
-MR. DODD: How heavy were these gold bars that you had in the vaults?
-
-FUNK: They were the usual gold bars which were used in commerce between
-banks. I think they varied in weight. I think the gold bars weighed
-about 20 kilograms. Of course, you can figure it out. If one...
-
-MR. DODD: That is all right. That is satisfactory. When you were in the
-vaults you never saw any of these materials that I mentioned a few
-minutes ago—jewels, cigarette cases, watches, and all that business?
-
-FUNK: Never. I was in the vaults at the most four or five times and then
-only to show this very interesting spectacle to visitors.
-
-MR. DODD: Only four or five times from 1941 to 1945?
-
-FUNK: I assume so. It was not more often. I only went down there with
-visitors, particularly foreign visitors.
-
-MR. DODD: Are you telling the Tribunal that as head of the Reichsbank
-you never made an inspection, so to speak, of the vaults, never took a
-look at the collateral? Did you not ever make an inspection before you
-made your certifications as to what was on hand? Certainly every
-responsible banker does that regularly, does he not? What is your
-answer?
-
-FUNK: No, never. The business of the Reichsbank was not conducted by the
-President. It was conducted by the Directorate. I never bothered about
-individual transactions, not even gold transactions, or even about
-slight variations in the individual gold reserves, _et cetera_. If large
-deliveries of gold were expected, the Directorate reported to me. The
-Directorate conducted the business, and I believe the detailed
-transactions were probably known only to the director responsible for
-that particular department.
-
-MR. DODD: Now, did you ever do any business with pawnshops?
-
-FUNK: With what?
-
-MR. DODD: Pawnshops. Do you not know what a pawnshop is? There must be a
-German word for that.
-
-FUNK: Pfandleihe.
-
-MR. DODD: Whatever it is, you know what they are, do you not?
-
-FUNK: Where you pawn something.
-
-MR. DODD: Yes.
-
-FUNK: No, I never did any...
-
-MR. DODD: All right, we will get to that a little later too. Right now,
-since you do not seem to recall that you ever had any or saw any such
-materials as I have described in your vaults, I ask that we have an
-opportunity to show you a film which was taken of some materials in your
-vaults when the Allied Forces arrived there.
-
-[_Turning to the President._] I would ask, Mr. President, that the
-defendant be permitted to come down, where he can watch the film, so
-that his memory will be properly refreshed.
-
-THE PRESIDENT: Yes, you may have him brought down.
-
-[_Moving pictures were then shown._]
-
-THE PRESIDENT: Mr. Dodd, at some stage, I take it, you will offer
-evidence as to where that film was made.
-
-MR. DODD: Yes, I will. There will be an affidavit as to the
-circumstances under which the film was made, who was present, and why;
-but, for the information of the Tribunal, it was taken in Frankfurt when
-the Allied Forces captured that city and went into the Reichsbank
-vaults.
-
-[_Turning to the defendant._] Now, Witness, having seen these pictures
-of materials that were found in your Reichsbank vaults a year ago, or a
-little earlier than a year ago, you now recall that you did have such
-material on hand over a period of 4 or 5 years, 3 or 4 years, 3 years—I
-think actually a little longer than 3 years?
-
-FUNK: I have never seen anything of this sort. I also have the
-impression that a large part of these things which were shown in the
-film came from deposits, because people, thousands of them, had locked
-deposits which they delivered to the Reichsbank, in which they put their
-jewels and other valuables, as we have just seen. Probably some were
-hidden valuables, which they should have given up, such as foreign
-money, foreign exchange, gold coins, _et cetera_. As far as I know we
-had thousands of closed deposits into which the Reichsbank could not
-look. I never saw a single item such as these shown in the film, and I
-cannot imagine where these things came from, to whom they belonged, and
-to what use they were put.
-
-MR. DODD: Well, that is an interesting answer. I asked you yesterday,
-and I ask you again now, did you ever hear of anybody depositing his
-gold dentures in a bank for safekeeping? [_There was no response._]
-
-You saw that film, and you saw the gold bridgework, or mouth-plates, did
-you not, and the other dental work? Certainly nobody ever deposited that
-with a bank. Is that not a fact?
-
-FUNK: As far as the teeth are concerned, this is a special case. Where
-these teeth came from I do not know. It was not reported to me, nor do I
-know what was done with those teeth. I am convinced that items of this
-sort, when they were delivered to the Reichsbank, had to be turned over
-to the Office for Precious Metals, for the Reichsbank was not a place
-where gold was worked. Neither do I know whether the Reichsbank even had
-the technical facilities to work this metal. I do not know about that.
-
-MR. DODD: And not only did people not deposit gold teeth, but they never
-deposited eyeglass rims, did they, such as you saw in the picture?
-
-FUNK: That is right. These things are, of course, no regular deposits.
-That goes without saying.
-
-MR. DODD: And you saw there were some objects that obviously were in the
-process of being melted down. Practically the last scene in that film
-showed something that looked as if it had been in the process of being
-melted, did it not? You saw it?
-
-Well, will you answer me, please, “yes” or “no”? Did you see it?
-
-FUNK: I cannot say that exactly. I do not know whether they were melting
-it down. I have no knowledge of these technical matters. To be sure, now
-I see quite clearly what was not known to me until now, that the
-Reichsbank did the technical work of melting down gold articles.
-
-MR. DODD: Well, now, let us see what your assistant, Mr. Puhl, says
-about that, the man who you told us yesterday was a credible gentleman,
-and whom you asked the Tribunal to call as a witness on your behalf. I
-am holding in my hand an affidavit executed by him on the 3rd day of May
-1946 at Baden-Baden, Germany.
-
- “Emil Puhl, being duly sworn, deposes and says:
-
- “1. My name is Emil Puhl. I was born on 28 August 1889 in
- Berlin, Germany. I was appointed a member of the Board of
- Directors of the Reichsbank in 1935 and Vice President of the
- Reichsbank in 1939, and served in these positions continuously
- until the surrender of Germany.
-
- “2. In the summer of 1942 Walter Funk, President of the
- Reichsbank and Reich Minister of Economics, had a conversation
- with me and later with Mr. Friedrich Wilhelm, who was a member
- of the Board of Directors of the Reichsbank. Funk told me that
- he had arranged with Reichsführer Himmler to have the Reichsbank
- receive in safe custody gold and jewels for the SS. Funk
- directed that I should work out the arrangements with Pohl, who,
- as head of the economic section of the SS, administered the
- economic side of the concentration camps.
-
- “3. I asked Funk what the source was of the gold, jewels, bank
- notes, and other articles to be delivered by the SS. Funk
- replied that it was confiscated property from the Eastern
- Occupied Territories, and that I should ask no further
- questions. I protested against the Reichsbank handling this
- material. Funk stated that we were to go ahead with the
- arrangements for handling the material, and that we were to keep
- the matter absolutely secret.
-
- “4. I then made the necessary arrangements with one of the
- responsible officials in charge of the cash and safes
- departments for receiving the material, and reported the matter
- to the Board of Directors of the Reichsbank at its next meeting.
- On the same day Pohl, of the economic section of the SS,
- telephoned me and asked if I had been advised of the matter. I
- said I would not discuss it by telephone. He then came to see me
- and reported that the SS had some jewelry for delivery to the
- Reichsbank for safekeeping. I arranged with him for delivery and
- from then on deliveries were made from time to time, from August
- 1942 throughout the following years.
-
- “5. The material deposited by the SS included jewelry, watches,
- eyeglass frames, dental gold, and other gold articles in great
- abundance, taken by the SS from Jews, concentration camp
- victims, and other persons. This was brought to our knowledge by
- SS personnel who attempted to convert this material into cash
- and who were helped in this by the Reichsbank personnel with
- Funk’s approval and knowledge. In addition to jewels and gold
- and other such items, the SS also delivered bank notes, foreign
- currency, and securities to the Reichsbank to be handled by the
- usual legal procedure established for such items. As far as the
- jewelry and gold were concerned, Funk told me that Himmler and
- Von Krosigk, the Reich Minister of Finance, had reached an
- agreement according to which the gold and similar articles were
- on deposit for the account of the State and that the proceeds
- resulting from the sale thereof would be credited to the Reich
- Treasury.
-
- “6. From time to time, in the course of my duties, I visited the
- vaults of the Reichsbank and observed what was in storage. Funk
- also visited the vaults from time to time.
-
- “7. The Golddiskontobank, at the direction of Funk, also
- established a revolving fund which finally reached 10 to 12
- million Reichsmark for the use of the economic section of the SS
- to finance production of materials by concentration camp labor
- in factories run by the SS.
-
- “I am conversant with the English language and declare that the
- statements made herein are true to the best of my knowledge and
- belief.”
-
-Document Number 3944-PS; it is signed by Emil Puhl and duly witnessed.
-
-Mr. President, I would like to offer this affidavit as Exhibit USA-846
-and the film as Exhibit USA-845.
-
-[_Turning to the defendant._] Now, Witness, having heard this affidavit
-from your close associate and your brother director of the Board of
-Directors of the Reichsbank, and the man who, you admitted yesterday was
-a credible and truthful man, what do you now say to this Tribunal about
-your knowledge of what was going on between your bank and the SS?
-
-FUNK: I declare that this affidavit by Herr Puhl is not true. I spoke to
-Herr Puhl about the entire matter of these gold deposits, as I have
-repeatedly stated, three times at most, but I believe it was only twice.
-I never exchanged a word with Herr Puhl regarding precious stones and
-jewelry. It is incredible to me that a man who most certainly also
-carried out certain functions in his agreements with the SS—that is,
-with Herr Pohl—now tries to put the blame on me. On no account will I
-take this responsibility and I request that Herr Puhl be called here,
-and that in my presence he may declare in all detail when, where, and
-how he has spoken to me about these different items, and to what extent
-I told him what to do.
-
-I repeat my statement that I knew nothing about jewelry and other
-deliveries from concentration camps, and that I have never spoken to
-Herr Puhl about these things. I can only say again what I said at the
-beginning, that Herr Puhl once told me that a gold deposit had arrived
-from the SS. I remember it now, it had escaped me as I did not pay too
-much attention to the entire matter. I remember that, urged by him, I
-spoke to the Reichsführer about whether the Reichsbank could utilize
-these items. The Reichsführer said, “Yes.” But at no time did I speak to
-the Reichsführer about jewelry and precious stones and watches and such
-things. I spoke only of gold.
-
-Concerning what Puhl states about a financing scheme—I believe that
-goes back a number of years—I know Herr Puhl came to me one day and
-said that he was asked to give a credit for certain factories of the SS
-and somebody was negotiating with him about the matter. I asked him, “Is
-this credit secure? Do we get interest?” He said, “Yes, up till now they
-have had a credit from the Dresdner Bank and it must now be repaid.” I
-said, “Very well, do that.” After that I never heard anything more about
-this matter. It is news to me that this credit was so large, that it was
-made by the Golddiskontobank. I do not remember it, but it is entirely
-possible. However, I never heard any more about this credit, which Herr
-Puhl had given to certain factories. He always spoke about factories,
-about businesses; it was a bank credit which had previously been given
-by a private bank. I remember I asked him once, “Has this credit been
-repaid?” That was some considerable time later. He said, “No, it has not
-been repaid yet.” That is all I know about these matters.
-
-MR. DODD: All right. Now, what do you know about this—one part of the
-affidavit you have not covered—what do you know about the last part
-that says you established a revolving fund for the SS for the building
-of factories near the concentration camps? Do you remember that? I read
-it to you. Puhl says, “The Reichsbank, at the direction of Funk,
-established a revolving fund which finally reached 10 to 12 million
-Reichsmark for the use of the economic section of the SS to finance
-production of materials by concentration camp labor in factories run by
-the SS.” Do you admit that you did that?
-
-FUNK: Yes, that is what I just mentioned; that Herr Puhl told me one
-day, I believe in 1939 or 1940, that some gentlemen from the economic
-section of the SS had spoken to him regarding a credit, which until that
-time had been granted by the Dresdner Bank and which they would now like
-to have from the Reichsbank. I asked Herr Puhl, “Will we get interest;
-is the credit secure?” He said, “Yes.” So I said, “Give them this
-credit,” and later on I said just what I mentioned above. That is all I
-know about the matter. I know nothing more.
-
-MR. DODD: Now, you also got a fee for handling these materials that you
-saw in the film, did you not, from the SS? The bank was paid for
-carrying on its part of this program?
-
-FUNK: I did not understand that.
-
-MR. DODD: I say, is it not a fact that you received payment from the SS
-over this period of more than 3 years for handling these materials which
-they turned over to you?
-
-FUNK: I do not know about that.
-
-MR. DODD: Well, you would know, would you not, as President of the bank,
-if you did receive payment? How could you help knowing?
-
-FUNK: These were probably such small payments that no one ever reported
-them to me. I do not know anything about any payment from the SS.
-
-MR. DODD: What would you say if I tell you that Herr Puhl said that the
-bank did receive payment during these years, and that there were
-altogether some 77 shipments of materials such as you saw here this
-morning? Do you say that is untrue, or do you agree with it?
-
-FUNK: That might be quite true, but I was never informed about these
-things. I know nothing about it.
-
-MR. DODD: Is it conceivable that you, as President of the Reichsbank,
-could not know about 77 such shipments and about a transaction that you
-were being paid to handle? Do you think that is a likely story?
-
-FUNK: If the Board of Directors did not report to me about these things,
-I cannot have known about them, and I declare again quite definitely
-that I was not informed about these details. On one occasion I was told
-about a gold deposit of the SS which was brought to us. Later on it
-transpired that it was a delivery from the SS. And then I knew about
-this credit transaction. That is all I know about these matters.
-
-MR. DODD: Now, let me tell you something that may help you a little bit.
-As a matter of fact, your bank sent memoranda to people concerning this
-material from time to time, and I think you know about it, do you not?
-You made up memoranda stating what you had on hand and whom you were
-transferring it to. Are you familiar with any such memoranda?
-
-FUNK: No.
-
-MR. DODD: Well, then you had better take a look at Document Number
-3948-PS, Exhibit USA-847, and see if it refreshes your memory. That is
-3948-PS.
-
-[_The document was handed to the defendant._]
-
-Now, this document is a memorandum apparently addressed to the Municipal
-Pawn Brokerage in Berlin, and it is dated 15 September 1942. Now, I am
-not going to read all of it, although it is a very interesting document,
-but as you can see, the memorandum says, “We submit to you the following
-valuables with the request for the best possible utilization.” Then you
-list 247 platinum and silver rings, 154 gold watches, 207 earrings,
-1,601 gold earrings, 13 brooches with stones—I am just skipping
-through; I am not reading all of them—324 silver wrist watches, 12
-silver candle sticks, goblets, spoons, forks, and knives, and then, if
-you follow down here quite a way, diverse pieces of jewelry and watch
-casings, 187 pearls, four stones said to be diamonds. And that is signed
-“Deutsche Reichsbank, Hauptkasse” and the signature is illegible.
-Perhaps, if you look at the original, you might tell us who signed it.
-
-FUNK: No, I do not know who signed it.
-
-MR. DODD: You have the original?
-
-FUNK: I do not know.
-
-MR. DODD: Well, look at the signature there and see if you recognize it
-as the signature of one of your workers.
-
-FUNK: It says—somebody from our cashier’s office signed it. I do not
-know the signature.
-
-MR. DODD: Somebody from your bank, was it not?
-
-FUNK: Yes, from the cashier’s department. I do not know the signature.
-
-MR. DODD: Do you want this Tribunal to believe that employees and people
-in your bank were sending lists out to municipal pawn brokers without it
-ever coming to your attention?
-
-FUNK: I know nothing at all about these events. They can only be
-explained in that things were apparently delivered to the Reichsbank
-which it was not supposed to keep. That is obvious.
-
-MR. DODD: Well, I would also like you to look at Document Number
-3949-PS, which is dated 4 days later, 19 September 1942, Exhibit
-USA-848. Now, you will see this is a memorandum concerning the
-conversion of notes, gold, silver, and jewelry in favor of the Reich
-Minister of Finance, and it also says that it is “a partial statement of
-valuables received by our precious metals department.” Again I think it
-is unnecessary to read it all. You can look at it and read it, but the
-last two paragraphs, after telling what the shipments contained as they
-arrived on 26 August 1942, say:
-
- “Before we remit the total proceeds, to date 1,184,345.59
- Reichsmark to the Reichshauptkasse for the account of the Reich
- Minister of Finance, we beg to be informed under what reference
- number this amount and subsequent proceeds should be
- transferred.
-
- “It might further be of advantage to call the attention of the
- responsible office of the Reich Minister of Finance in good time
- to the amounts to be transferred from the Deutsche Reichsbank.”
-
-And again that is signed, “Deutsche Reichsbank, Hauptkasse,” and there
-is a stamp on there that says, “Paid by check, Berlin, 27 October 1942,
-Hauptkasse.”
-
-FUNK: For this document, that is, this note to the Reich Minister of
-Finance, I believe I am able to give an explanation, and that is on the
-basis of testimony given here by witnesses who came from concentration
-camps. The witness Ohlendorf, if I remember correctly, and another one,
-have testified that the valuables which had been taken from the inmates
-of concentration camps had to be turned over and were delivered to the
-Reich Minister of Finance. Now, I assume that the technical procedure
-was that these things were first brought to the Reichsbank by mistake.
-The Reichsbank, however—and I keep repeating it—could do nothing with
-the pearls, jewelry, and similar items which are mentioned here, and
-therefore turned over these items to the Reich Minister of Finance or
-they were used for the account of the Reich Minister of Finance. That is
-apparent from this document. In other words, this merely is a statement
-of account sent by the Reichsbank for the Reich Minister of Finance.
-That is, I believe, the meaning of this document.
-
-MR. DODD: Well, indeed, you did hear Ohlendorf say that these
-unfortunate people who were exterminated in these camps had their
-possessions turned over to the Reich Minister of Finance. I believe he
-testified to that effect here. Now, you also...
-
-FUNK: That is what I heard here. These things were news to me. However,
-I did not know that the Reichsbank...
-
-MR. DODD: You have told us that twice already.
-
-FUNK: ...that the Reichsbank dealt with these matters in such detail.
-
-MR. DODD: Are you telling us that you did not know they dealt with them
-in such detail, or that you did not know they dealt with them at all? I
-think that is important. What is your answer, that you did not know they
-went into them in such detail or that you did not know anything about
-it?
-
-FUNK: I personally had nothing to do with it at all.
-
-MR. DODD: Did you know about it?
-
-FUNK: No.
-
-MR. DODD: You never heard of it?
-
-FUNK: I did not know at all that any jewelry, watches, cigarette cases,
-and so forth were delivered to the Reichsbank; that is news to me.
-
-MR. DODD: Did you know that anything came from concentration camps to
-the Reichsbank? Anything at all?
-
-FUNK: Yes, the gold, of course. I already said that.
-
-MR. DODD: Gold teeth?
-
-FUNK: I have said that—no.
-
-MR. DODD: What gold from the concentration camps?
-
-FUNK: The gold about which Herr Puhl had reported to me, and I assumed
-that these were coins and other gold which had to be deposited at the
-Reichsbank anyway, and which the Reichsbank could utilize according to
-the legal regulations. Otherwise, I know nothing about it.
-
-MR. DODD: Just what did Himmler say to you and what did you say to
-Himmler when you had this conversation, as you tell us, about this gold
-from the concentration camp victims? I think the Tribunal might be
-interested in that conversation. What did he say, and what did you say,
-and where was the conversation held?
-
-FUNK: I do not remember any more where the conversation was held. I saw
-Himmler very rarely, perhaps once or twice. I assume that it was on the
-occasion of a visit in the field quarters of Lammers, where Himmler’s
-field quarters were also located. It must have been there. On that
-occasion we spoke very, very briefly about that.
-
-MR. DODD: Wait just a minute. Will you also tell us when it was?
-
-FUNK: Possibly during the year 1943; it might have been 1944, I do not
-remember.
-
-MR. DODD: All right.
-
-FUNK: I attached no importance whatsoever to this matter. In the course
-of the conversation I put the question, “There is a gold deposit from
-you, from the SS, which we have at the Reichsbank. The members of the
-board of directors have asked me whether the Reichsbank can utilize
-that.” And he said, “Yes.” I did not say a word about jewelry or things
-of that kind or gold teeth or anything of that sort. The entire
-conversation referred only very briefly to this thing.
-
-MR. DODD: Do you mean to tell us that an arrangement was made with your
-bank independently of you and Himmler, but by somebody in the SS and
-somebody in your bank—that you were not the original person who
-arranged the matter?
-
-FUNK: That is right. It was not I.
-
-MR. DODD: Who in your bank made that arrangement?
-
-FUNK: Possibly it was Herr Puhl or maybe somebody else from the
-Reichsbank Directorate who made the arrangement with one of the
-gentlemen of the economic section in the SS. And I was only informed of
-it by Herr Puhl very briefly.
-
-MR. DODD: Did you know Herr Pohl, P-o-h-l, of the SS?
-
-FUNK: I imagine it was he. Herr Pohl never spoke to me about it.
-
-MR. DODD: You do not know the man?
-
-FUNK: I must certainly have seen him at some time, but Herr Pohl never
-spoke to me about these matters. I never spoke to him.
-
-MR. DODD: Where did you see him, in the bank?
-
-FUNK: Yes, I saw him once in the bank when he spoke to Puhl and other
-gentlemen of the Reichsbank Directorate during a luncheon. I walked
-through the room and I saw him sitting there but I personally never
-spoke with Herr Pohl about these questions. This is all news to me, this
-entire matter.
-
-MR. DODD: Well, do you recall the testimony of the witness Hoess in this
-courtroom not so long ago? You remember the man? He sat where you are
-sitting now. He said that he exterminated between 2½ and 3 million Jews
-and other people at Auschwitz. Now, before I ask you the next question I
-want you to recall that testimony and I will point something out for you
-about it that may help you. You recall that he said that Himmler sent
-for him in June 1941, and that Himmler told him that the final solution
-of the Jewish problem was at hand, and that he was to conduct these
-exterminations. Do you recall that he went back and looked over the
-facilities in one camp in Poland and found it was not big enough to kill
-the number of people involved and he had to construct gas chambers that
-would hold 2,000 people at a time, and so his extermination program
-could not have got under way until pretty late in 1941, and you observe
-that your assistant and credible friend Puhl says it was in 1942 that
-these shipments began to arrive from the SS?
-
-FUNK: No, I know nothing about the date. I do not know when these things
-happened. I had nothing to do with them. It is all news to me that the
-Reichsbank was concerned with these things to this extent.
-
-MR. DODD: Then I take it you want to stand on an absolute denial that at
-any time you had any knowledge of any kind about these transactions with
-the SS or their relationship to the victims of the concentration camps.
-After seeing this film, after hearing Puhl’s affidavit, you absolutely
-deny any knowledge at all?
-
-FUNK: Only as far as I have mentioned it here.
-
-MR. DODD: I understand that; there was some deposit of gold made once,
-but no more than that. That is your statement. Let me ask you something,
-Mr. Funk...
-
-FUNK: Yes; that these things happened consistently is all news to me.
-
-MR. DODD: All right. You know you did on one occasion at least, and
-possibly two, break down and weep when you were being interrogated, you
-recall, and you did say you were a guilty man; and you gave an
-explanation of that yesterday. You remember those tears. I am just
-asking you now; I am sure you do. I am just trying to establish the
-basis here for another question. You remember that happened?
-
-FUNK: Yes.
-
-MR. DODD: And you said, “I am a guilty man.” You told us yesterday it
-was because you were upset a little bit in the general situation. I am
-suggesting to you that is it not a fact that this matter that we have
-been talking about since yesterday has been on your conscience all the
-time and that was really what is on your mind, and it has been a shadow
-on you ever since you have been in custody? And is it not about time
-that you told the whole story?
-
-FUNK: I cannot tell more to the Tribunal than I have already said, that
-is the truth. Let Herr Puhl be responsible before God for what he put in
-the affidavit; I am responsible for what I state here. It is absolutely
-clear that Herr Puhl is now trying to put the blame on me and to
-exculpate himself. If he has done these things for years with the SS, it
-is his guilt and his responsibility. I have only spoken to him two or
-three times about these things, that is, about the things I have
-mentioned here.
-
-MR. DODD: You are trying to put the blame on Puhl, are you not?
-
-FUNK: No. He is blaming me and I repudiate that.
-
-MR. DODD: The trouble is, there was blood on this gold, was there not,
-and you knew this since 1942?
-
-FUNK: I did not understand.
-
-MR. DODD: Well, I would like to ask you one or two questions about two
-short documents. It will take but a short time. You told the Tribunal
-yesterday that you had nothing to do with any looting of these occupied
-countries. Do you know what the Roges corporation was?
-
-FUNK: Yes. I do not know in detail what they did. I know only that it
-was an organization which made official purchases for various Reich
-departments.
-
-MR. DODD: This Roges corporation purchased on the black market in France
-with the surpluses from the occupation cost fund, did it not?
-
-FUNK: I was against this type of purchases in the black market.
-
-MR. DODD: I am not asking you whether you were for it or against it. I
-was simply asking you if it is not a fact that they did it.
-
-FUNK: I do not know.
-
-MR. DODD: All right. You had better take a look at Document Number
-2263-PS, which is written by one of your associates, Dr. Landfried, whom
-you also asked for as a witness here and from whom you have an
-interrogatory. This is a letter dated 6 June 1942, addressed to the
-Chief of the OKW Administrative Office:
-
- “In answer to my letter of 25 April 1942”—and so on—“100
- million Reichsmark were put at my disposal from the Occupation
- Cost Fund by the OKW. This amount has already been disposed of
- except for 10 million Reichsmark, since the demands of the Roges
- (Raw Material Trading Company), Berlin, for the acquisition of
- merchandise on the black market in France, were very heavy. In
- order not to permit a stoppage in the flow of purchases which
- are made in the interest of the prosecution of the war, further
- amounts from the occupation cost fund must be made available.
- According to information from Roges and from the economic
- department of the Military Commander in France, at least 30
- million Reichsmark in French francs are needed every 10 days for
- such purchases.
-
- “As, according to information received from Roges, an increase
- of purchases is to be expected, it will not be sufficient to
- make available the remaining 100 million Reichsmark in
- accordance with my letter of 25 April 1942, but over and above
- this, an additional amount of 100 million Reichsmark will be
- necessary.”
-
-It is very clear from that letter written by your associate Landfried
-that the Roges corporation, which was set up by your Ministry, was
-engaged in black market operations in France with money extorted from
-the French through excessive occupation costs, is it not?
-
-FUNK: That the Roges made such purchases is true. These things have
-already been dealt with here in connection with the orders and
-directives which the Four Year Plan gave for these purchases on the
-black market. However, these are purchases which were arranged and
-approved by the state organization. What we especially fought against
-were the purchases without limits in the black market. I already
-mentioned yesterday that I finally succeeded in getting a directive from
-the Reich Marshal that all purchases in the black market were to be
-stopped because through these purchases naturally merchandise was
-withdrawn from the legal markets.
-
-MR. DODD: You told us that yesterday. That was 1943. There was not much
-left in France on the black market or white market or any other kind of
-market by that time, was there? That country was pretty well stripped by
-that time, as is shown in the letters.
-
-FUNK: In 1943 I believe a great deal was still coming from France. There
-was continuous production going on in France and it was considerable.
-The official French statistics show that even in 1943 large quantities
-of the total production were being diverted to Germany. These quantities
-were not a great deal less than in 1941 and ’42.
-
-MR. DODD: Well, in any event I also want you to talk a little bit about
-Russia, because I understood you to say yesterday you did not have much
-to do with that. Schlotterer was your man who was assigned to work with
-Rosenberg, was he not?
-
-FUNK: From the beginning I assigned Ministerial Director Dr. Schlotterer
-to Rosenberg, so that only one economic department, the competent
-department for the Minister for the Eastern Occupied Territories, would
-work in Russia, and not two.
-
-DR. DODD: That is all I want to know. He was assigned. And he
-participated in the program of stripping Russia of machines, materials,
-and goods, which went on for some considerable period of time; you knew
-about it.
-
-FUNK: No, that is not true. This man did not have this task. These
-transactions were handled by the Economic Department East which, I
-think, came under the Four Year Plan. As far as I know these
-transactions were not handled by Minister Rosenberg and certainly not by
-the Ministry of Economics.
-
-MR. DODD: It is a different story on different occasions. I think the
-best way is to read your interrogation. On 19 October 1945 you were
-interrogated here in Nuremberg. You were asked this question:
-
- “And part of the plan was to take machines, materials and goods
- out of Russia and bring them into Germany, was it not?”
-
-And you answered:
-
- “Yes, most certainly, but I did not participate in that. But in
- any case it was done.”
-
-The next question:
-
- “Question: Yes, and you yourself participated in the discussions
- concerning these plans, and also your representative, Dr.
- Schlotterer?
-
- “Answer: I myself did not participate.
-
- “Question: But you gave the power to act for you in that
- connection to Dr. Schlotterer?
-
- “Answer: Yes; Schlotterer represented me in economic questions
- in the Rosenberg Ministry.”
-
-FUNK: No, that is not true. This testimony is completely confused,
-because Schlotterer joined the Rosenberg Ministry. He became head of the
-economic department there. Also, this testimony is not true to this
-extent, since we certainly sent more machines into Russia than we took
-out of Russia. When our troops came to Russia everything had been
-destroyed, and in order to put the economy there in order, we had to
-send large quantities of machinery and other goods to Russia.
-
-MR. DODD: Do you mean to say that you did not make these answers that I
-have just read to you when you were interrogated?
-
-FUNK: Those answers are not correct.
-
-MR. DODD: You know, it is very interesting that you told us yesterday
-that the answers to the questions put to you by Major Gans were
-incorrect. I posed another interrogation to you yesterday and you said
-that was incorrect. Now a third man has interrogated you, and you say
-that one is incorrect.
-
-FUNK: No, I say what I said is wrong.
-
-MR. DODD: Well, of course, that is what I am talking about.
-
-FUNK: That is wrong.
-
-MR. DODD: I will submit that interrogation in evidence; it is not in
-form to be submitted, but I would like to submit it a little later, with
-the Tribunal’s permission.
-
-THE PRESIDENT: You will inform us, when you do, as to the number and so
-on?
-
-MR. DODD: Yes, I will. I have no further questions.
-
-THE PRESIDENT: Do any of the other prosecutors wish to cross-examine?
-
-STATE COUNSELLOR OF JUSTICE M. Y. RAGINSKY (Assistant Prosecutor for the
-U.S.S.R.): After Mr. Dodd’s cross-examination I have a few supplementary
-questions to ask.
-
-Defendant Funk, you testified yesterday that your Ministry at the time
-of the attack on the Soviet Union had very limited functions, and that
-you yourself were not a minister in the true sense of the word. In this
-connection I want to ask you a few questions regarding the structure of
-the Ministry of Economics. Tell me, are you familiar with the book by
-Hans Quecke, entitled, _The Reich Ministry of Economics_? Do you know
-about this book?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: You do not know? Are you familiar with the name
-of Hans Quecke?
-
-FUNK: Hans Quecke?
-
-MR. COUNSELLOR RAGINSKY: Yes. Hans Quecke. He was a counsellor in the
-Ministry of Economics.
-
-FUNK: Quecke was a ministerial director in the Ministry of Economics.
-
-MR. COUNSELLOR RAGINSKY: And he, of course, knew about the structure of
-the Ministry of Economics and about its functions. Am I right?
-
-FUNK: Certainly. He must have known about that.
-
-MR. COUNSELLOR RAGINSKY: I present this book in evidence to the Tribunal
-as Exhibit USSR-451, and you, Witness, will receive a photostat copy of
-the section of this book in order that you can follow me. Please open it
-at Page 65, last paragraph. Have you found the passage in question?
-
-FUNK: I have not found it yet. I can only see...
-
-MR. COUNSELLOR RAGINSKY: Page 65, last paragraph of the page.
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: You have found it, yes?
-
-FUNK: The structure of the Reich Ministry of Economics?
-
-MR. COUNSELLOR RAGINSKY: It gives the structure of the Ministry of
-Economics as on 1 July 1941. Your permanent deputy was a certain Dr.
-Landfried. Is that the same Landfried whose testimony was presented by
-the Defense Counsel?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: I must ask you to follow the text:
-
-“Landfried had under him a special department which was in charge of
-fundamental questions of supply of raw materials for the military
-economy.”
-
-Defendant Funk, I am asking you...
-
-FUNK: Just a moment. Where is that?
-
-MR. COUNSELLOR RAGINSKY: It is in Section 2, Part II. Have you found it?
-
-FUNK: No, there is nothing here about war economy. I do not see anything
-about war economy. Auslands-Organisation...
-
-MR. COUNSELLOR RAGINSKY: Part II, Subparagraph 2.
-
-FUNK: It says nothing about war economy here.
-
-MR. COUNSELLOR RAGINSKY: I shall read the entire paragraph into the
-record. We shall get down to the Auslands-Organisation in good time.
-
-FUNK: This is a special section.
-
-MR. COUNSELLOR RAGINSKY: Yes, a special section.
-
-FUNK: Directly subordinate to the State Secretary here is Section S,
-Special Section, basic questions of the supply of raw materials, basic
-questions of war economy, basic questions of...
-
-MR. COUNSELLOR RAGINSKY: It is precisely about this war economy that I
-wish to speak. He was also in charge of the fundamental market policy
-and of economic questions in the border territories. The ministry
-consisted of five main departments. Am I right?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: The third main department was headed by
-Schmeer? Am I right?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: You had a special department entitled,
-“Elimination of the Jews from Economic Life.” That was in 1941? Am I
-right?
-
-FUNK: Yes; that was the time we dealt with these matters; in that
-department the regulations for carrying out these orders were dealt
-with. We discussed them at length yesterday.
-
-MR. COUNSELLOR RAGINSKY: Defendant Funk, I ask you to follow the text:
-“The fourth main department was headed by Ministerialdirektor Dr.
-Klucki, and this department was in charge of banks, currency, credit and
-insurance matters.” Is that a fact?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: I presume that you must know the structure of
-your own ministry and we need not waste time in further discussions. You
-must know that the fifth main department was headed by State Secretary
-Von Jagwitz. This department was in charge of special economic problems
-in different countries. The fifth section of this department attended to
-questions of military economy connected with foreign economy. Am I
-right?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: The same department dealt with special foreign
-payments as well as with the blocked deposits...
-
-FUNK: I do not understand. This is the Foreign Trade Department. They
-merely dealt with the technical carrying-out of the foreign exports.
-
-MR. COUNSELLOR RAGINSKY: Take the section dealing with foreign
-currencies. Have you found the passage?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: You have found that it deals with blocked
-deposits. Were you at all connected with the collaboration existing
-between your ministry and the Office of Foreign Affairs of the NSDAP? Is
-my question clear to you?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: And your ministry had a special section dealing
-with these matters?
-
-FUNK: Only this office. That can be explained in this manner. The Under
-State Secretary, Von Jagwitz, who was the head of this main department,
-was also active in the Auslands-Organisation. He had created a liaison
-office for himself in the ministry to deal with economic questions which
-came to the ministry—to this department, which was the Export
-Department, the Foreign Department—via the Auslands-Organisation. This
-concerned Von Jagwitz only, who at the same time was active in the
-Auslands-Organisation and maintained a liaison office.
-
-MR. COUNSELLOR RAGINSKY: Then we are to understand that the Foreign
-Political Department had special economic functions abroad, and that it
-co-operated with your ministry in this sense? Is that correct?
-
-FUNK: No, that is not correct.
-
-MR. COUNSELLOR RAGINSKY: Then why did this department exist?
-
-FUNK: It was not a department, but the Under State Secretary, Von
-Jagwitz, was at the same time active in the Auslands-Organisation. I do
-not know in what position. He was active in the Auslands-Organisation
-before he was taken into the ministry by the Reich Marshal. Then he
-himself created a kind of liaison office between his department and the
-Auslands-Organisation. That is, frequently economists from abroad
-belonging to the Auslands-Organisation of the NSDAP came to Berlin, and
-these people came to Under State Secretary Von Jagwitz and discussed
-their business with him and they reported to him about their experience
-and knowledge of foreign countries. I do not know any more about it.
-
-MR. COUNSELLOR RAGINSKY: You wish to convince us that this was the
-personal initiative of Von Jagwitz, and that you as minister knew
-nothing at all about it?
-
-FUNK: Certainly, I knew about it. He did it with my knowledge, with my
-knowledge and approval...
-
-MR. COUNSELLOR RAGINSKY: Please follow the text and you had better
-listen to what I want to say. I read the last paragraph which states:
-
- “To the Main Department V is attached the office of the
- Auslands-Organisation with the Reich Ministry of Economics. This
- office secures the co-operation between the ministry and the
- Auslands-Organisation of the Nazi Party.”
-
-This means that no mention is made of any private initiative of Von
-Jagwitz, as you tried to persuade us, but this department really was a
-part of your ministry. Have you found the passage?
-
-FUNK: Yes. Herr Von Jagwitz had this liaison office and essentially it
-was limited to his person. It was a liaison office for collaboration
-with the Auslands-Organisation, which was a perfectly natural procedure
-in many cases. I do not see why this should be unusual or criminal.
-
-MR. COUNSELLOR RAGINSKY: We shall come back to the question at a later
-stage. Mr. President, I should like to pass over to another part. Would
-it be convenient to have a short recess now? I have a few more questions
-to ask.
-
-THE PRESIDENT: Very well; the Tribunal will recess.
-
- [_A recess was taken._]
-
-MR. COUNSELLOR RAGINSKY: You mentioned yesterday that you were the
-Plenipotentiary for Economy, but not a plenipotentiary in the full sense
-of the word. Schacht was the true plenipotentiary and you were merely a
-secondary one. Do you remember your article entitled “Economic and
-Financial Mobilization”? Do you remember what you wrote at that time?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: Well, we are not going to waste any time on
-that question. I shall remind you of it. I submit to the Tribunal in
-evidence Exhibit USSR-452 (Document Number USSR-452), an article by
-Funk, published in the monthly journal of the NSDAP and of the German
-Labor Front, entitled “Der Schulungsbrief,” in 1939.
-
-[_Turning to the defendant._] You wrote at that time:
-
- “As the Plenipotentiary for Economy appointed by the Führer, I
- must see to it that during the war all the forces of the nation
- should be secured also from the economic point of view.”
-
-Have you found this passage?
-
-FUNK: Yes, I have found it.
-
-MR. COUNSELLOR RAGINSKY: Further on you wrote:
-
- “The contribution of economy to the great political aims of the
- Führer demands not only a strong and unified direction of all
- the economic and political measures, but also above all careful
- co-ordination.... Industry; food, agriculture, forestry, timber
- industry, foreign trade, transport, manpower, the regulation of
- wages and prices, finance, credits must be coordinated, so that
- the entire economic potential should serve in the defense of the
- Reich. In order to fulfill this task, the authorities of the
- Reich in charge of these spheres are included in my authority in
- my capacity as Plenipotentiary for Economy.”
-
-Do you confirm that this is precisely what you wrote in 1939?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: Is that question not quite clear to you?
-
-THE PRESIDENT: He said, “Yes.”
-
-FUNK: I said, “Yes”; I certainly wrote that.
-
-MR. COUNSELLOR RAGINSKY: You confirm it. You know about the issue in
-June 1941 of the so-called “Green File” of Göring? It was read into the
-record here. These are directives for the control of economy or, rather,
-directives for the spoliation of the occupied territories of the
-U.S.S.R. How did you personally participate in the planning of these
-directives?
-
-FUNK: I do not know that. I do not know any more whether or not I
-participated at all.
-
-MR. COUNSELLOR RAGINSKY: You do not remember? How is it possible that
-these documents were planned without you, Reich Minister of Economics,
-the President of the Reichsbank, and Plenipotentiary for Economy and the
-armament industry?
-
-FUNK: First, at that time I was no longer Plenipotentiary for Economy. I
-was never plenipotentiary for the armament industry. The powers of the
-Plenipotentiary for Economy, shortly after the beginning of the war,
-were turned over to the Delegate for the Four Year Plan. That has been
-repeatedly confirmed and emphasized and what I did personally at that
-time concerning economy in the Occupied Eastern Territories can only
-have been very, very little. I do not remember it because the
-administration of economy in the Occupied Eastern Territories was in
-charge of the Economic Staff East and the Delegate of the Four Year
-Plan, and that office, of course, co-operated with the Rosenberg
-Ministry for the Occupied Eastern Territories. Personally I remember
-only that, as I mentioned yesterday, in the course of time the Ministry
-of Economics sent individual businessmen, merchants, from Hamburg and
-from Cologne, _et cetera_, to the East in order to secure private
-economic activities in the Eastern Occupied Territories.
-
-MR. COUNSELLOR RAGINSKY: Yes, we have already heard what “activities”
-you dealt with. Your name for spoliation is “private economic
-activities.” Do you remember the Prague Conference of December 1941—the
-meeting of the economic organization—or must I remind you of it?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: Not necessary?
-
-FUNK: During the interrogations my attention was called by General
-Alexandrov to this speech, and I told him at that time already that
-there was a wrong newspaper report about me which I had rectified later
-or after a short time.
-
-MR. COUNSELLOR RAGINSKY: Just a minute, Defendant Funk. You are slightly
-anticipating events. You do not yet know what I am going to ask you.
-First listen to me and then reply. You have informed the Tribunal that
-you never attended any meeting of Hitler’s at which the political and
-economic aims of the attack on the Soviet Union were discussed, that you
-did not know of any purpose and of any declared plans of Hitler for the
-territorial dismemberment of the Soviet Union, and yet you yourself
-declared in your statement that “the East will be the future colony of
-Germany,” Germany’s colonial territory. Did you say that the East would
-be the future colonial territory of Germany?
-
-FUNK: No; I denied that in my interrogation. I immediately said, after
-this was presented to me, that I was speaking of the old German colonial
-territories. General Alexandrov can confirm that. He questioned me at
-that time.
-
-MR. COUNSELLOR RAGINSKY: I have no intention of calling General
-Alexandrov as a witness. I am only asking you if you did say so; was it
-written as stated?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: You stated that you did not have to be
-reminded, but that is precisely what was mentioned in your speech, and I
-am going to quote verbatim from this speech:
-
- “The vast territories of the eastern European region, containing
- raw materials which have not yet been opened up to Europe, will
- become the promising colonial territory of Europe.”
-
-And exactly what Europe were you discussing in December 1941 and what
-former German territories did you wish to mention to the Tribunal? I am
-asking you.
-
-FUNK: I have not said that. I said that I did not speak about colonial
-territories, but of the old colonization areas of Germany.
-
-MR. COUNSELLOR RAGINSKY: Yes, but we are not speaking here of old
-territories; we are speaking here of new territories which you wished to
-conquer.
-
-FUNK: The area had been conquered already. We did not have to conquer
-that. That had been conquered by German troops.
-
-MR. COUNSELLOR RAGINSKY: No. It was not known that they were conquered,
-since you were already retreating from them.
-
-You said that you were the President of the Continental Oil Company.
-This company was organized for the exploitation of the oil fields of the
-Occupied Eastern Territories, especially in the districts of Grozny and
-Baku. Please answer me “yes” or “no.”
-
-FUNK: Not only of the Occupied Territories—this company was concerned
-with oil industries all over Europe. It had its beginnings in the
-Romanian oil interests and whenever German troops occupied territories
-where there were oil deposits, that company, which was a part of the
-Four Year Plan, was given the task by the various economic offices,
-later by the armament industry, of producing oil in these territories
-and of restoring the destroyed oil-producing districts. The company had
-a tremendous reconstruction program. I personally was the president of
-the supervisory board and I mainly had to do the financing of that
-company only.
-
-MR. COUNSELLOR RAGINSKY: That I have already heard. But you have not
-answered my question.
-
-I asked you if this company had as object the exploitation of the Grozny
-and Baku oil wells. Did the oil wells of the Caucasus form the basic
-capital of the Continental Oil Company?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: No? I am satisfied with your reply.
-
-FUNK: That is not right. We had not conquered the Caucasus and therefore
-the Continental Oil Company could not be active in the Caucasus.
-
-MR. COUNSELLOR RAGINSKY: All right. But Rosenberg at that time had
-already made a report on the conquest and exploitation of the Caucasus.
-Do you remember that here, before the Tribunal, a transcript of the
-minutes of a meeting held at Göring’s office on 6 August 1942 with the
-Reich Commissioners of the Occupied Territories was read into the
-record? Do you remember that meeting?
-
-FUNK: Yes.
-
-MR. COUNSELLOR RAGINSKY: Did you participate in this meeting?
-
-FUNK: That I do not know. Did they speak about the oil territories of
-the Caucasus in that meeting? That I do not know.
-
-MR. COUNSELLOR RAGINSKY: No, I do not wish to say anything as yet. I
-shall ask you a question and you will answer. I ask you: Did you
-participate in that meeting?
-
-FUNK: I cannot remember. It may very well be.
-
-MR. COUNSELLOR RAGINSKY: You do not remember?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: In that case you will be shown a document. It
-has already been submitted to the Tribunal, and was here read into the
-record. It is Exhibit Number USSR-170; it has already been presented. As
-stated at that meeting, the most effective measures for the economic
-spoliation of the Occupied Territories of the U.S.S.R., Poland,
-Czechoslovakia, Yugoslavia, and other countries were discussed. At this
-meeting Defendant Göring addressed himself to you. Do you remember
-whether you were present at that meeting or not?
-
-FUNK: Yes, indeed. I remember that. But what Göring told me then refers
-to the fact that, a long time after the Russian territories had been
-occupied, we sent businessmen there to bring into those territories any
-goods that might interest the population. For instance it says here:
-“Businessmen must be sent there.... We must send them to Venice to buy
-up these things in order to re-sell them in the occupied Russian
-territories.” That is what Göring told me on that occasion. At least,
-that is what can be read here.
-
-MR. COUNSELLOR RAGINSKY: I did not ask you about that, Defendant Funk.
-Were you present at that meeting or not? Could you answer that question?
-
-FUNK: Of course. Since Göring talked to me, I must have been there. It
-was on 7 August 1942.
-
-MR. COUNSELLOR RAGINSKY: Defendant Funk, you have replied here to
-certain questions asked by Mr. Dodd regarding the increase of the gold
-reserve of the Reichsbank; I should like to ask you the following
-question: You have stated that the gold reserves of the Reichsbank were
-increased only by the gold reserves of the Belgian Bank; but did you not
-know that 23,000 kilograms of gold were stolen from the National Bank of
-Czechoslovakia and transferred to the Reichsbank?
-
-FUNK: I did not know that it had been stolen.
-
-MR. COUNSELLOR RAGINSKY: Then what do you know?
-
-FUNK: I stated explicitly here yesterday that the gold deposits had been
-increased mostly by the taking over of the gold of the Czech National
-Bank and the Belgian Bank. I spoke especially of the Czech National Bank
-yesterday.
-
-MR. COUNSELLOR RAGINSKY: Yes, but I am not asking you about the Belgian
-Bank, but about the Bank of Czechoslovakia.
-
-FUNK: Yes, I mentioned it yesterday. I said so yesterday...
-
-THE PRESIDENT: He said that just now. He said that he had spoken about
-the Czechoslovakian gold deposits.
-
-MR. COUNSELLOR RAGINSKY: Mr. President, he did not mention
-Czechoslovakia yesterday and I am asking him this question today. But if
-he replies to this question in the affirmative, I shall not interrogate
-him any further on the matter, since he will have confirmed it.
-
-[_Turning to the defendant._] I now pass on to the next question, to the
-question of Yugoslavia. On 14 April 1941, that is, prior to the complete
-occupation of Yugoslavia, the Commander-in-Chief of the German Army
-issued a directive for the occupied Yugoslav territories. This is
-Exhibit USSR-140; it has already been submitted to the Tribunal.
-Subparagraph 9 of this directive determines the compulsory rate of
-Yugoslav exchange—20 Yugoslav dinars to the German mark. And the same
-compulsory rate of exchange, which had been applied to the Yugoslav
-dinar, was also applied to the Reich credit notes issued by the Reich
-Foreign Currency Institute.
-
-These currency operations permitted the German invaders to export from
-Yugoslavia at a very cheap rate various merchandise as well as other
-valuables. Similar operations were carried out in all the Occupied
-Eastern Territories, and I ask you: Do you admit that such operations
-were one of the means for the economic spoliation of the Occupied
-Eastern Territories?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: Very well.
-
-FUNK: That depends on the relation of the exchange rate. In some cases,
-in particular in the case of France, I protested against the
-underevaluation...
-
-MR. COUNSELLOR RAGINSKY: Excuse me just one minute, Defendant Funk. You
-have already spoken about France and I do not want to take up the time
-of the Tribunal unnecessarily. I think you ought to answer my question.
-
-FUNK: At the moment I do not know what the exchange rate between the
-dinar and the mark was at that time. In general, insofar as I had
-anything to do with it—I did not make the directive; that came from the
-Minister of Finance and from the Armed Forces—insofar as I had anything
-to do with it I always urged that the rate should not differ too greatly
-from the rate which existed and which was based on the purchasing power.
-At the moment I cannot say what the exchange rate for dinars was at that
-time. Of course, Reich credit notes had to be introduced with the troops
-because otherwise we would have had to issue special requisition
-vouchers, and that would have been much worse than introducing an
-official means of payment, as is now being done here in Germany by the
-Allies, because working with requisition vouchers is much more
-disadvantageous and harmful for the population and the entire country
-than working with a recognized means of payment. We invented the Reich
-credit notes ourselves.
-
-MR. COUNSELLOR RAGINSKY: In other words, you wish to state that you had
-nothing to do with it and that the entire matter rested with the
-Ministry of Finance. Then tell me please, are you aware of the testimony
-given by your assistant, Landfried, whose affidavit was submitted by
-your defense counsel? You will remember that Landfried stated and
-affirmed something totally different. He said that in the determination
-of exchange rates in the occupied territories yours was the final and
-determining voice. Do you not agree with this statement?
-
-FUNK: When these rates were determined, I, as President of the
-Reichsbank, was of course consulted and, as can be confirmed by every
-document, I always advocated that the new rates should be as close as
-possible to the old rates established on the basis of the purchasing
-power, that is to say, no underevaluation.
-
-MR. COUNSELLOR RAGINSKY: Consequently, the compulsory rate of exchange
-in the occupied countries was introduced with your knowledge and
-according to your instructions?
-
-FUNK: Not on the basis of my directives. I was only asked for advice.
-
-MR. COUNSELLOR RAGINSKY: Your advice?
-
-FUNK: I had to give my approval. That is, the Reichsbank Directorate
-formally gave the approval, but...
-
-MR. COUNSELLOR RAGINSKY: I am satisfied with your reply. I now go on to
-the next question. On 29 May 1941 the Commander-in-Chief in Serbia
-issued an order regarding the Serbian National Bank, which order has
-already been submitted as Exhibit USSR-135. This order liquidated the
-National Bank of Yugoslavia and divided the entire property of the bank
-between Germany and her satellites. Instead of the National Bank of
-Yugoslavia a fictitious so-called Serbian Bank was created, whose
-directors were appointed by the German Plenipotentiary for National
-Economy in Serbia. Tell me, do you know who was the Plenipotentiary for
-National Economy in Serbia?
-
-FUNK: It was probably the Consul General Franz Neuhausen, the
-representative of the Four Year Plan.
-
-MR. COUNSELLOR RAGINSKY: Yes. It was Franz Neuhausen. Was he a
-collaborator in the Ministry of Economics?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: He never worked in the Ministry of Economics?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: He never worked there?
-
-FUNK: Neuhausen? No, he never worked in the Ministry of Economics.
-
-MR. COUNSELLOR RAGINSKY: Was he a collaborator of Göring’s?
-
-FUNK: Yes, that is correct.
-
-MR. COUNSELLOR RAGINSKY: Well, he was a collaborator of Göring’s. Do you
-admit that such specific currency operations, as a result of which the
-Yugoslavian Government and its citizens were robbed of several million
-dinars, could not have been carried out without your participation and
-without the co-operation of the departments within your jurisdiction?
-
-FUNK: I do not know in detail the directives according to which the
-liquidation was carried out and by which the new Serbian National Bank
-was founded, but it goes without saying that the Reichsbank participated
-in such a transaction.
-
-MR. COUNSELLOR RAGINSKY: I want to ask you two more questions. Together
-with the unconcealed spoliation, consisting in the confiscations and
-requisitions which the German invaders carried out in the Occupied
-Territories of Eastern Europe, they also exploited these countries to
-the limit of their economic resources by applying various exchange and
-economic measures, such as depreciation of currency, seizure of the
-banks, artificial decrease of prices and wages, thus continuing the
-economic spoliation of the occupied territories. Do you admit that this
-was precisely the policy of Germany in the Occupied Territories of
-Eastern Europe?
-
-FUNK: No.
-
-MR. COUNSELLOR RAGINSKY: You do not admit this?
-
-FUNK: In no way whatsoever.
-
-MR. COUNSELLOR RAGINSKY: I now submit to the Tribunal Document USSR-453.
-This is a new document, consisting of notes on a conference held by the
-Reich Commissioner for the determination of prices on 22 April 1943.
-Price experts from all the occupied territories attended this
-conference. I shall now read into the record some excerpts from this
-document. It says on Page 2:
-
- “The 5½ million foreign workers are composed of: 1½ million
- prisoners of war, 4 million civilian workers.”
-
-The document further says:
-
- “1,200,000 from the East, 1,000,000 from the former Polish
- territories... 200,000 citizens of the Protectorate... 65,000
- Croatians, 50,000 remainder of Yugoslavia (Serbia)”—and so on.
-
-Further this document also says in connection with the equalization of
-prices:
-
- “Price equalization should be operated to the debit of the
- producer countries, that is, through the Central Clearing
- Office, which for the most part is to the advantage of the
- occupied countries.”
-
-On Page 14 it is stated:
-
- “These price deliberations were of no importance for the
- occupied territories, since the main interest did not lie in the
- welfare of the population but in the utilization of all the
- economic forces of the country.”
-
-On Page 16 we find the following, excerpt:
-
- “Concerning the Occupied Eastern Territories, Ministerial
- Counselor Roemer has stated that prices there are far below
- German prices, and so far the Reich has already reaped large
- import profits.”
-
-Mention is made, on Page 19, of Germany’s clearing debt, which amounted
-to 9,300,000 marks. At the same time the clearing balance for
-Czechoslovakia showed a deficit of 2,000,000; for the Ukraine of
-82,500,000; for Serbia of 219,000,000; for Croatia of 85,000,000; and
-for Slovakia of 301,000,000 marks.
-
-And finally, on Page 22 of the document, it says:
-
- “The prices in the Occupied Eastern Territories are kept at the
- lowest possible level. We have already realized import profits
- which are being used to cover Reich debts. Wages are generally
- only one-fifth of what they are in Germany.”
-
-You must admit that the planned robbery perpetrated by the German
-invaders on so gigantic a scale could never have been carried out
-without your active participation as Minister of Economics, President of
-the Reichsbank, and Plenipotentiary for Economy?
-
-FUNK: I must again stress that during the war I was no longer
-Plenipotentiary for Economy. But may I state my position to this
-document? First, there is the figure of the number of the workers which
-were brought from the occupied territories and other foreign countries
-into Germany. I have emphasized, myself, and it has been confirmed by
-other statements, that I was basically against bringing in foreign
-manpower from occupied territories to such an extent as to impair the
-economic order in those territories. I am not even speaking about
-recruitment of forced labor. I also opposed that. When an expert whom I
-do not know says that the deliberations about price policy were of no
-importance for the occupied territories, because the main interest did
-not lie with the welfare of the population but in the exploitation of
-economic forces, I must contradict that point of view. In any case, it
-is not my point of view. I do not know who the man was who said that,
-but it is a matter of course that a territory cannot produce well unless
-the economy is kept on a good footing and prices are fixed at a level
-which enables the people to exist and to maintain social order. So I
-have to oppose this point of view also. As far as the clearing debt is
-concerned, I explained yesterday in detail that the clearing system was
-in common usage for Germany, and that I have always recognized and
-confirmed that these clearing debts were genuine debts which, after the
-war, had to be repaid in the currency in which they were incurred, based
-on the purchasing power at that time. I do not see any spoliation here.
-
-Moreover, I must again stress the fact that I was not competent for the
-economy in the occupied territories, that I had no power to give a
-directive there and that I participated only insofar as I detailed
-officials to individual offices, just as all other departments did, and
-that, of course, there was co-operation between these offices and the
-department at home. But I cannot assume responsibility for the economy
-in the occupied territories. The Reich Marshal definitely admitted that
-as far as economic questions are concerned, it was his responsibility.
-
-MR. COUNSELLOR RAGINSKY: I understand. You collaborated, and now you do
-not wish to bear the responsibility. You say that the expert has made
-the statement. But do you remember your testimony which you gave on 22
-October 1945?
-
-FUNK: I do not know what interrogation...
-
-MR. COUNSELLOR RAGINSKY: When you were asked about the compulsory
-mobilization of foreign workers you were also asked if you knew about it
-and if you had ever protested against it. Is that correct? You replied,
-“No, why should I be the one to protest against it?”
-
-FUNK: That is not correct. I protested against the compulsory
-recruitment of workers and against so many workers having been taken out
-of occupied territory that the local economy could no longer produce.
-That is not correct.
-
-MR. COUNSELLOR RAGINSKY: I have one last question to ask you. Do you
-remember an article published in the newspaper Das Reich, dated 18
-August 1940, in connection with your 50th birthday? This article is
-entitled, “Walter Funk, Pioneer of National Socialist Economic Thought.”
-I shall read into the record a few excerpts from this article:
-
- “From 1931 on, Walter Funk, as personal economic adviser and
- Plenipotentiary of the Führer for Economics, and therefore the
- untiring middleman between the Party and German economy, was the
- man who paved the way to the new spiritual outlook of the German
- industrialists.
-
- “If in the outbreak of 1933 the differences which had existed
- for more than a decade in the public life of Germany between
- politics and economy, and especially between politics and the
- industrialists, disappeared overnight, if from the outset, the
- guiding rule of all labor has been an ever-increasing
- contribution towards a common end, this is due to the pioneering
- work of Funk, who since 1939 has directed his speeches and his
- writings to that end.”
-
-And in the last paragraph of this article:
-
- “Walter Funk remained true to himself because he was, and is,
- and will remain a National Socialist, a fighter who dedicates
- all his work to the idealistic aims of the Führer.”
-
-The whole world knows what the ideals of the Führer were.
-
-Do you admit that this article gives a correct appreciation of your
-personality and your activities?
-
-FUNK: Generally, yes.
-
-MR. COUNSELLOR RAGINSKY: I have no more questions to ask.
-
-[_Dr. Dix approached the lectern._]
-
-THE PRESIDENT: What is it you wish to say, Dr. Dix?
-
-DR. DIX: I have only one question for the witness, which was brought up
-by the cross-examination of Mr. Dodd. I could not put this question any
-sooner, since I am asking it only because of what Mr. Dodd said.
-
-THE PRESIDENT: Yes, go on.
-
-DR. DIX: Witness, Mr. Dodd has put to you a record of your
-interrogation, according to which Schacht, after leaving the Reichsbank,
-still had a room there. You have heard the testimony of Schacht here. He
-testified clearly that he did not have a room at the Reichsbank but that
-the Reich Government put a room in his apartment at his disposal and
-contributed to the rent, and that the Reich Government paid a secretary
-whom he took with him from the Reichsbank, but who was now paid by the
-Reich Government and not by the Reichsbank. That was the testimony of
-Schacht. By your answer given to Mr. Dodd it was not quite clear whether
-you have any doubt about the correctness of that statement by Schacht. I
-ask for your opinion.
-
-FUNK: I do not know anything about the apartment of Dr. Schacht. I was
-told at the time that he still came frequently to the Reichsbank and
-that a room was reserved for him. If that information was not correct,
-then it is not my fault. I do not doubt that what Dr. Schacht said is
-correct. He must know the arrangements concerning his apartment better
-than I do.
-
-THE PRESIDENT: Dr. Sauter, do you wish to re-examine?
-
-DR. SAUTER: Mr. President, we have found this final questioning of the
-Defendant Dr. Funk harder to follow than the other cases, because the
-translation caused serious difficulties. I have to admit, frankly, that
-I have been able to understand only part of what has been said here. The
-defendant may probably have had the same difficulty and therefore I
-should like to reserve the right Mr. President, after I receive the
-stenographic record, to make one or two corrections, if the transcript
-should show this to be necessary. It has also been made more difficult
-for us, Mr. President, because in the course of cross-examination a
-large number of extensive documents was submitted to the Defendant Dr.
-Funk. We are gradually becoming used to those surprises. Moreover, the
-Defendant Funk was supposed to give answers to questions concerning
-documents which he had not issued which had nothing to do with his
-activities, which he...
-
-THE PRESIDENT: Dr. Sauter, the Tribunal saw no sign at all of the
-Defendant Funk not being able to understand thoroughly every question
-put to him. And I think that therefore there is no reason for any
-protest on your behalf and you should go on to put any question you wish
-to put in re-examination—let us say, questions which arise out of the
-cross-examination.
-
-DR. SAUTER: Mr. President, on our earphones, at least on this side, we
-could not understand quite a number of questions. Whether it applied to
-these particular earphones or to the entire apparatus I do not know.
-
-THE PRESIDENT: Well, if the Defendant Funk did not understand any
-questions put to him, he could have said so. He did not say so. He
-answered all the questions from a logical point of view, perfectly
-accurately. You can ask him if you like, if he did not understand any of
-the questions put to him.
-
-DR. SAUTER: Now, Herr Funk, the Prosecution among other things has put
-to you that you participated in the exploitation, the spoliation of
-France. In this connection is it correct that the merchandise, the
-consumer goods which came from France, were in many cases manufactured
-from raw materials which had come from Germany?
-
-FUNK: Certainly. We continuously delivered coal, coke, iron, and other
-raw materials in France, so that they could produce goods—we delivered
-especially those raw materials which the French did not have in the
-country themselves. There was a very active exchange of production and a
-very close productive co-operation between the German and French
-economy. Even the same organizational methods were used.
-
-DR. SAUTER: Dr. Funk, excerpts from an article which appeared on the
-occasion of your birthday have been read before. Do you know the author
-of that article?
-
-FUNK: Yes, from the earlier years.
-
-DR. SAUTER: Did he receive any factual material from you for that
-article?
-
-FUNK: No.
-
-DR. SAUTER: Did he not ask for it?
-
-FUNK: No, I did not know anything about that article beforehand. I did
-not order a birthday article for myself.
-
-DR. SAUTER: Precisely. So you did not know anything about that article
-and therefore, if I understand you correctly, there is no guarantee that
-what is said in this article is completely true.
-
-FUNK: No. But I find that the tendency of the article is generally very
-good. The tendency...
-
-DR. SAUTER: Witness, the American prosecutor confronted you yesterday
-with the matter of your negotiations with Rosenberg in the spring of
-1941 and the fact that at that time, a few months before the march into
-Russia, you had these negotiations with Rosenberg. He apparently wanted
-to conclude that you had admitted, or wanted to admit, that you had
-known about the intention of Hitler to wage an aggressive war against
-Russia. You did not have a chance to say anything on this yesterday.
-Therefore I should like to give you another opportunity now to state
-very clearly what your belief was at that time concerning the intentions
-of Hitler in the spring of 1941, when you negotiated with Rosenberg, and
-what you knew about any possible causes for war before that time.
-
-FUNK: As to the question of the American prosecutor, I did not
-understand it to mean that I knew anything about an aggressive war
-against Russia. The prosecutor spoke explicitly about preparations for
-war with Russia. I myself had already made it quite clear that I was
-completely surprised when the task was assigned to Rosenberg, and I was
-informed by Dr. Lammers as well as by Herr Rosenberg, that the reason
-for the assignment was that the Führer was expecting a war against
-Russia, because Russia was deploying large numbers of troops along the
-entire eastern border, because Russia had entered Bessarabia and
-Bukovina and because his negotiations with Molotov brought proof that
-Russia maintained an aggressive policy in the Balkans and the Baltic
-area, whereby Germany felt herself threatened. Therefore preparations
-had to be made on the part of Germany for a possible conflict with
-Russia. Also, concerning the meeting which the American prosecutor has
-mentioned, I said explicitly that the measures concerning currency which
-were discussed there were approved by me, because we created thereby
-stable currency conditions in the Occupied Eastern Territory. I was
-therefore opposed to the idea that the German Reichsmark, which the
-Russian population would not have accepted because they could not even
-read it, should be introduced there.
-
-DR. SAUTER: Witness, the Soviet Russian prosecutor has pointed out again
-and again that you were not only Reichsbank President and Reichsminister
-of Economics, but also Plenipotentiary for Economy. You have corrected
-that already and pointed out that from the very beginning when you were
-appointed, your authority as Plenipotentiary for Economy was practically
-taken over by Göring, and that, I believe, in December of 1939, your
-authority as Plenipotentiary for Economy was also formally turned over
-to Göring.
-
-MR. DODD: I wish to enter an objection not only to the form this
-examination is taking, but as to its substance. Counsel is in effect
-testifying himself, and he is testifying about matters that the witness
-testified to on direct examination, and it seems clear to us that this
-cannot be helpful at all to the Tribunal as a matter of re-direct
-examination.
-
-THE PRESIDENT: Dr. Sauter, is it really proper for you to get the
-witness to go over again the evidence which he has already given? The
-only object of re-examination is to elucidate any questions which have
-not been properly answered in cross-examination. The witness has already
-dealt with the topics with which you are now dealing, in the same sense
-which you are now putting into it.
-
-DR. SAUTER: I have repeated the statements only because I want to put a
-question to the witness now concerning a document which was submitted
-only yesterday, which had not been submitted until then, and to which I
-could therefore not take any position; and because the Soviet Russian
-prosecutor has again made the assertion here that the defendant also
-during the war was Plenipotentiary for Economy, although that is not
-correct. Mr. President...
-
-THE PRESIDENT: I have heard myself the witness say over and over again
-that he was not the Plenipotentiary General for Economy during the war.
-He has repeatedly said that.
-
-DR. SAUTER: But it has been repeated from this side. Mr. President,
-yesterday a document was submitted which bears the Document Number
-EC-488.
-
-THE PRESIDENT: What is the document you want to deal with?
-
-DR. SAUTER: Number EC-488. It was presented yesterday, and is a letter
-dated 28 January 1939. On the front page it is marked in large letters
-“Secret.” Here in the original is the heading, which is in capital
-letters, and it reads, “The Plenipotentiary for War Economy.” So much
-for the heading of the letter paper. Then the word “War” is crossed out,
-so that you can read only, “The Plenipotentiary for Economy.”
-
-Therefore, before 28 January 1939 the title of Plenipotentiary for War
-Economy must have been changed to a new title, “Plenipotentiary for
-Economy.” I now ask that the defendant...
-
-THE PRESIDENT: Yes, I see. The copy that we have before us has not got
-the word “War” in it at all.
-
-DR. SAUTER: It can be seen on the photostat.
-
-THE PRESIDENT: I see it. But what is the question you want to put?
-
-DR. SAUTER: At the time when this letter was written, the
-Plenipotentiary was the Defendant Funk. I should like to ask to be
-permitted to put the question to him, how it can be explained that the
-title of his office—that is, Plenipotentiary for War Economy—was
-changed. The question would be how it could be explained that the title
-of his office, “Plenipotentiary for War Economy” had been changed to the
-new title, “Plenipotentiary for Economy.”
-
-FUNK: The reason is...
-
-DR. SAUTER: One moment, Dr. Funk, please.
-
-THE PRESIDENT: I did not ask you to stop putting your question. You can
-put your question. Go on. What is the question?
-
-DR. SAUTER: Go on, Dr. Funk.
-
-FUNK: The reason was that according to the old Reich Defense Law,
-Schacht had been appointed Plenipotentiary for War Economy, and on the
-basis of this second Reich Defense Law, which appointed me, I was
-appointed Plenipotentiary for Economy, because at that time it was quite
-clear that the special tasks concerning war economy—that is to say,
-armament industry, war economy proper—could no longer remain with the
-Plenipotentiary for Economy, but that he had essentially to co-ordinate
-the civilian economic departments.
-
-DR. SAUTER: In connection with that, Mr. President, may I call your
-attention to another document which was submitted yesterday. That is
-Number 3562-PS. Here the heading already has the correct new title,
-“Plenipotentiary for Economy.” That is no more “Plenipotentiary for War
-Economy,” and that is also a new document which was submitted only
-yesterday. Mr. President...
-
-MR. DODD: Just to keep the record straight, Mr. President, that Document
-3562-PS is in evidence, and it was submitted by Lieutenant Meltzer at
-the time he presented the case against the individual Defendant Funk.
-
-THE PRESIDENT: Mr. Dodd, am I not right in thinking that the Defendant
-Funk stated from the outset in his examination in chief that he was
-appointed Plenipotentiary General for Economy?
-
-MR. DODD: Yes, indeed, Sir. That is as I thoroughly understand it.
-
-THE PRESIDENT: And you have not challenged that?
-
-MR. DODD: We have not challenged the fact that he said so. But we do
-challenge the fact that he, in fact, was only for economy. We do
-maintain that he, in fact, had much to do with the war effort as the
-Plenipotentiary.
-
-THE PRESIDENT: Yes. But he was not to be named that?
-
-MR. DODD: No. And that Document EC-488 was not offered, anyway, for that
-purpose, but rather to show that the defendant was engaged in talking
-about what prisoners of war would do after an attack.
-
-DR. SAUTER: Yesterday a document was produced about the interrogation of
-a certain Hans Posse. It is Document 3894-PS. The witness Hans Posse was
-formerly State Secretary in the Ministry of Economics and as such Deputy
-Plenipotentiary for Economy. That record has been submitted by the
-Prosecution in order to show that allegedly there was a struggle for
-power, as it says here, between Funk and Göring.
-
-However, I should like to quote to the witness a few other points from
-that record so that several other points can also be used as evidence:
-
-Witness, State Secretary Hans Posse says, for instance—and I should
-like to ask whether this is still your opinion today—that is Document
-3894-PS, Page 2 of the German translation, at the bottom of the page—he
-was asked, “How often did you report to Funk in connection with your
-duties as Deputy to the Plenipotentiary?”
-
-The witness answered then, “The Plenipotentiary for Economy never really
-went into action.”
-
-FUNK: I must repeat what I said again and again, and what has been
-confirmed by everybody who has been heard on that question. That was a
-post which was merely on paper.
-
-DR. SAUTER: Then the witness was asked to what final end you, Dr. Funk,
-had worked.
-
-It says, “Dr. Posse, is it correct that the office of Plenipotentiary
-for Economy was established to the final end of uniting all economic
-functions with a view to the preparation for war?”
-
-Then the witness answered, “The purpose was what I have just said—to
-co-ordinate the various conflicting economic interests. But there was no
-talk about the preparation for war.”
-
-And on the same page, on Page 4, at the bottom, the witness says, I
-quote:
-
- “It is correct that the aim was to co-ordinate all economic
- questions, but the purpose was not to prepare for war. Of
- course, if war preparation should become necessary, it was the
- task of the Plenipotentiary for Economy to concern himself with
- these questions and to act as a co-ordinator.”
-
-FUNK: Herr Posse was an old, sick man, whom I had put in this post. He
-was formerly State Secretary under Schacht, and when I took over the
-ministry, I received a new State Secretary through Göring who,
-unfortunately, later became insane. And then State Secretary Dr.
-Landfried came to me, and Posse, who formally was still in the Ministry
-of Economics as State Secretary, was without a job. Therefore I made him
-an executive officer attached to the Plenipotentiary for Economy.
-
-Here, of course, he had constant difficulties from the very beginning.
-The High Command of the Armed Forces or the War Economy Staff wanted to
-reduce the authority of the Plenipotentiary, as can be seen from the
-letter which was presented yesterday. And the civilian economy
-department did not want to follow his directives because they already
-had been subordinated to and had to follow the directives of the
-Delegate for the Four Year Plan. Therefore, as a matter of fact, that
-unhappy Plenipotentiary for Economy held a post which to all intents and
-purposes existed only on paper.
-
-THE PRESIDENT: Would this not be a convenient time to break off now?
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-DR. SAUTER: Mr. President, I have two more questions which I wish to put
-to the Defendant Dr. Funk.
-
-[_Turning to the defendant._] Dr. Funk, before the recess we stopped at
-Document 3894-PS, the testimony of your State Secretary Posse. I should
-like to read one passage on Page 7 of the German text and ask you
-whether you agree with it. The witness Posse was asked by the
-Prosecution whether he, as Deputy Plenipotentiary for Economy, knew
-about the international relations, especially about the war situation
-and so forth, and he says, on Page 7, in the middle:
-
- “We never knew anything about the international situation and we
- never heard anything about it, and if the international
- situation was mentioned in our discussions we could always voice
- merely our personal opinions.”
-
-And a few lines further down:
-
- “We”—he means apparently himself and you, Dr. Funk—“We always
- hoped that there would be no war.”
-
-Do you agree with this opinion of your former State Secretary Posse?
-
-FUNK: Yes. I have said repeatedly that until the end I did not believe
-that there would be a war, and the same is true of my colleagues, and
-everyone who spoke to me at that time will corroborate this. Herr Posse
-was, of course, still less informed about political and military events
-than I was. Consequently, that also applies to him.
-
-DR. SAUTER: Then I have a final question to put, Witness. You have seen
-the film which the Prosecution has presented. Now, you were the
-President of the Reichsbank. Consequently you are familiar, possibly
-only superficially with the conditions in the vaults of the Reichsbank,
-at least, I assume, in Berlin, if not in Frankfurt, where the film was
-taken; and you also know how, especially during the war, these items
-which had been deposited with the bank in trunks or packages and the
-like were safeguarded. Possibly, Dr. Funk, on the basis of your own
-knowledge of the conditions you can make a statement regarding this
-short film which we have seen.
-
-FUNK: I was completely confused by this film and most deeply shocked.
-Photography and especially films are always very dangerous documents
-because they show many things in a light different from what they really
-are. I personally have the impression, and I believe the Prosecution
-will probably corroborate this, that all these deposits of valuables and
-this entire collection of valuable items came from the potassium mines
-where, at my instigation, all gold, foreign currency and other valuables
-of the Reichsbank had been stored away when, because of a terrific
-bombing attack on Berlin, we were no longer able to work in the
-Reichsbank. The Reichsbank building alone in this one raid on 3 February
-1945 was hit by 21 high explosive bombs; and it was only by a miracle
-that I was able to reach the surface from this deep cellar together with
-5,000 other people. Gold, foreign currency, and all other deposits of
-valuables were then taken to a potassium mine in Thuringia and from
-there apparently to Frankfurt, I assume. So this concerns, to a large
-extent, normal deposits by customers who had placed their valuables,
-their property, in these safe deposits which could not be got at by the
-Reichsbank. Consequently I cannot tell from this film which of these
-items were deliveries by the SS and which were genuine deposits. The
-Prosecutor certainly is correct when he says that no one would deposit
-gold teeth in a bank. It is, however, quite possible that certain
-functionaries of concentration camps made genuine deposits in the
-Reichsbank which contained such articles, to safeguard them for future
-use. I think that is possible. However, in conclusion I must say once
-more that I had no knowledge whatsoever of these things and of the fact
-that jewelry, diamonds, pearls, and other objects were delivered from
-concentration camps to the Reichsbank to such an extent. I knew nothing
-about it; it was unknown to me, and I personally am of the opinion that
-the Reichsbank was not authorized to do this kind of business. It is
-certainly clear from one document, which contains an account for the
-Minister of Finance, that most likely everything from the concentration
-camps was first brought to the Reichsbank and then the unfortunate
-officials of the Reichsbank had to sort it, send it on to the Minister
-of Finance—or rather to the pawnbroker who was under the Minister of
-Finance—and prepare a statement of account. Therefore, I must request
-that someone be examined on these matters—first of all Herr Puhl
-himself, and perhaps someone else who was concerned with these
-things—in order to explain what actually took place and above all, to
-show that I personally had no knowledge whatsoever of these matters
-except for the few facts which I myself have described to the Court.
-
-DR. SAUTER: Mr. President, I have finished my interrogation of the
-Defendant Funk, and I should now like to ask permission to examine the
-only witness whom I can call at this time, the witness Dr. Hayler.
-
-THE PRESIDENT: Very well.
-
-MR. DODD: [_Interposing._] Mr. President, may I raise one matter before
-the witness is excused? This Document 3894-PS, that we have quoted from
-and that the defendant has quoted from, contains a number of other
-quotations and I think it would be well if we submitted the whole
-document in the four languages; and I shall be prepared to do that so
-the Tribunal will have the benefit of the whole text. So far we have
-both been quoting from it, but I think it would be most helpful to the
-Court if it had the whole text.
-
-And may we ask, Mr. President, shall we make arrangements or should I do
-anything about getting the witness Puhl here?
-
-THE PRESIDENT: Dr. Sauter, have you any request to make with reference
-to the witness Puhl, who made an affidavit?
-
-DR. SAUTER: Regarding the witness Emil Puhl I beg to request, Mr.
-President, that he be brought here for cross-examination. I was going to
-make that request in any case.
-
-THE PRESIDENT: Yes, certainly, Dr. Sauter, the witness Puhl should be
-brought here. He will be brought here as soon as possible.
-
-DR. SAUTER: Thank you.
-
-THE PRESIDENT: Now the defendant can return to the dock.
-
-[_The witness Dr. Hayler took the stand._]
-
-THE PRESIDENT: Will you state your full name?
-
-HAYLER (Witness): Franz Hayler.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The witness repeated the oath._]
-
-THE PRESIDENT: You may sit down.
-
-DR. SAUTER: Dr. Hayler, how old are you?
-
-HAYLER: 46 years.
-
-DR. SAUTER: Are you a professional civil servant, or how did you get
-into the Ministry of Economics under Dr. Funk?
-
-HAYLER: I was an independent business man and merchant and as such first
-became the head of the “Economic Group Retail Trade” within the
-organization of industrial economy. In this capacity I had very close
-contact with the Ministry of Economics. After Minister Funk had been
-appointed Minister for Economics I reported to him regarding the scope
-of my work, and on that occasion I made his acquaintance. When I was
-then put in charge of the “Reich Group Trade,” the working relations
-between the organization directed by me and the Ministry, especially
-between the then State Secretary Landfried and the Minister himself,
-became very friendly.
-
-After the separation of the ministries in the autumn of 1943, the main
-task of the Ministry of Economics was to provide for the German people,
-that is, the civilian population. As head of the trade organization I
-was the person responsible for the sale of merchandise, that is, for the
-procurement of supplies, and during a conference with Minister Funk
-regarding the co-operation between trade and the Ministry, Herr
-Landfried, who was then State Secretary, made the suggestion that
-Minister Funk call me into his Ministry and make me his deputy. Herr
-Landfried believed that under the existing conditions he himself was not
-strong enough to carry out this difficult task since the Ministry had
-been deprived of its influence on production. Then, when Minister Funk
-told him in reply to his suggestion that he, Landfried, was the deputy
-of the Minister, Landfried replied that he could not continue to carry
-out these tasks and that he asked to be permitted to retire and proposed
-that I be his successor. About two or three weeks later I was put in
-charge of the affairs of the State Secretary.
-
-DR. SAUTER: When was this conference?
-
-HAYLER: This conference took place in October 1943; my appointment came
-on 20 November 1943.
-
-DR. SAUTER: So that until the autumn of 1943, Dr. Hayler, you were
-employed in your organizations only in an honorary capacity?
-
-HAYLER: Yes.
-
-DR. SAUTER: That was, I think, retail trade?
-
-HAYLER: Yes, trade.
-
-DR. SAUTER: And as from 1943 you became official in the Reich Ministry
-of Economics in the capacity of State Secretary?
-
-HAYLER: I became an official with this position of State Secretary on 30
-January 1944.
-
-DR. SAUTER: In this position you were one of the closest collaborators
-of Dr. Funk?
-
-HAYLER: I was his deputy.
-
-DR. SAUTER: Dr. Hayler, during a conference that we had on the day
-before yesterday, I discussed with you the question of whether the
-Defendant Dr. Funk was a particularly radical man or whether, on the
-contrary, he acted with moderation and consideration toward others. What
-do you have to say to this question which may have certain importance in
-forming an opinion on the personality of the Defendant Funk?
-
-HAYLER: Funk is above all very human, and always has been. Radicalism is
-quite foreign to his entire character and being. He is more of an
-artist, a man of very fine artistic feeling and scholarly ideas. I
-believe one can say that at no time was he a doctrinaire or dogmatic. On
-the contrary, he was conciliatory and anxious to settle disputes. For
-this reason, in Party circles in particular, he was considered too soft,
-too indulgent, in fact he was accused many times of being too weak. He
-tried to protect domestic economy from political encroachment and from
-unnecessary severity; and because of his respect and his regard for
-enterprising endeavor and out of his own responsibility to economy and
-to the people, he fought against unnecessary intervention in various
-enterprises even during the war. He protected industry against mergers
-and closures. This finally led to his being deprived of the
-responsibility for production in the decisive phase of the war.
-
-I recall from the time of my collaboration with him, when I was still in
-charge of the trade organization, that Funk on various occasions
-interceded for men in the industrial world who were in political
-difficulties. I believe, however, that because of these individual
-cases, such as his intervention on behalf of Consul General Hollaender
-or of Herr Pietsch, and because of his attempts to promote peace, he at
-that time had to expect grave consequences; also because of his
-intervention in the case of Richard Strauss, as is surely known, and in
-similar cases. I do not think these individual cases are of such
-importance as perhaps the following: After the catastrophe of 9 November
-1938 the process of Aryanization was to be intensified in the Ministry
-of Economics; and at that time a few political men were forced upon the
-Ministry, especially Herr Schmeer. I remember distinctly that at that
-time Landfried in particular, as well as Funk, slowed down considerably
-this radicalization of the Ministry; and Funk and the Ministry were
-blamed for doing so.
-
-After 8 and 9 November I once had a conference regarding the events of
-that date with Himmler, in which I voiced my complaints. Himmler on that
-occasion finally reproached both Funk and myself by saying, among other
-things:
-
- “Finally, you people on the economic side and connected with the
- economic management are also to blame that things have gone too
- far. People like Herr Schacht cannot be expected to do anything
- except go slow all the time and oppose the will of the Party;
- but if you and Funk and all you people on the economic side had
- not slowed things down so much, these excesses would not have
- happened.”
-
-DR. SAUTER: Yes, Dr. Hayler; another question. You also worked with Dr.
-Funk in matters concerning the economy of the occupied territories. Dr.
-Funk is accused of having played a criminal part in despoiling the
-occupied territories as well as in destroying their currency and
-economic systems. Could you enlighten the Court as briefly as possible
-on the Defendant Funk’s attitude and activities? As briefly as possible.
-
-HAYLER: I believe two facts must be stated first of all: First, the
-influence of the Ministry of Economy on the occupied territories was
-relatively limited. Secondly, during the year in which I was in the
-Ministry these questions were no longer particularly important.
-
-Generally speaking, the position was as follows: Funk was constantly
-accused of thinking more of peace than of war. The opinions he
-proclaimed both in his speeches and in print referred to a European
-economic policy; and I assume that these talks and publications or
-articles are before the Court.
-
-DR. SAUTER: Yes, they are here.
-
-HAYLER: Funk looked at the occupied territories from exactly the same
-point of view. He raised repeated objections to the over-exploitation of
-the occupied territories and expressed the view that wartime
-co-operation should form the basis of later co-operation in peace. His
-view was that confidence and willingness to co-operate should be
-fostered in the occupied territories during the war. He expressed the
-view that the black market cannot be combated by the black market and
-that, since we were responsible for the occupied territories, we must
-avoid anything likely to disturb the currency and economic system of
-these territories.
-
-I think I remember that he also discussed the question with the Reich
-Marshal and defended his own point of view. He also repeatedly opposed
-unduly heavy occupation expenses, and always favored the reduction of
-our own expenditure, that is, of German expenditure in the occupied
-territories. In other words, he regarded the occupied territories in
-exactly the same way as other European countries; and this attitude is
-best illustrated by the speech he made in Vienna, I believe, in which he
-publicly acknowledged as genuine debts the clearing debts, the high
-totals of which were due mainly to differences in price, that is,
-inflationist tendencies, in the countries which delivered the goods.
-
-DR. SAUTER: Dr. Hayler, the Defendant Funk is furthermore accused of
-playing a criminal part in the enslavement of foreign workers. This
-accusation applies particularly to the period during which you were a
-co-worker of Dr. Funk. Can you tell us briefly how Funk thought and
-acted in regard to this point?
-
-HAYLER: There can be no question of Funk’s co-operation in questions
-regarding the employment of foreign labor at this time, but only within
-the scope of his responsibility in the Central Planning Board. But it
-remains to be seen whether the Central Planning Board was at all
-responsible for the employment of workers or whether the Central
-Planning Board did nothing more than ascertain the manpower needs of the
-various production spheres. However, regardless of what the tasks of the
-Central Planning Board may have been, Funk’s position in the Central
-Planning Board was the following:
-
-Funk, as Minister of Economy, was responsible for the supplies for the
-civilian population and for export. In the period following the
-separation of the ministries, no additional foreign worker I believe was
-employed in the production of supplies for civilians or for export. On
-the contrary, Funk was constantly confronted with the fact that during
-that time German and foreign workers were continually being removed from
-the production of consumer goods and put into armament production.
-Consequently, I cannot imagine that an accusation of this sort can be
-made against Funk with reference to this period of time.
-
-On this occasion I should like to emphasize another point which seems
-important to me. Provisioning the foreign workers was a very serious
-question. I believe that even Herr Sauckel will corroborate the fact
-that, when this question came up, Funk was at once ready—even though
-there was already a great scarcity of provisions for the German people
-due to many air raids and destructions—to release large quantities of
-supplies and put them at the disposal of the foreign workers.
-
-DR. SAUTER: If I understand you correctly, he tried to see to it that
-the foreign workers who had to work in Germany were supplied as well as
-was possible with consumer articles: food, shoes, clothes, and so on.
-
-HAYLER: Particularly shoes and clothing; Funk was not the competent
-authority for food.
-
-DR. SAUTER: Shoes and clothing?
-
-HAYLER: Yes, I have specific knowledge of this. And as a result Funk had
-considerable difficulty; for the Gauleiter, in view of the great
-scarcity of goods, did their best to secure supplies for the inhabitants
-of their own Gaue for whom they were responsible, and in so doing used
-every means which came to hand. Funk constantly had to oppose the
-arbitrary acts of the Gauleiter, who broke into the supply stores in
-their Gaue and appropriated stocks intended for the general use.
-
-DR. SAUTER: Dr. Hayler, do you know whether Dr. Funk—I am still
-referring to the time when you worked with him—represented the
-viewpoint that the foreign worker should not be brought to Germany to
-work here but that rather the work itself should be taken from Germany
-into the foreign countries so that the foreign worker could perform his
-work in his home country and remain at home? Please answer that.
-
-HAYLER: I know very well that Funk represented that viewpoint; and it is
-in accordance with his general attitude, for the political disquiet and
-dissatisfaction which accompany the displacement of such large masses of
-human beings temporarily uprooted was in opposition to the policy of
-appeasement and reconstruction which was definitely Funk’s goal.
-
-DR. SAUTER: I now come to the last question which I wish to put to you,
-Dr. Hayler. When the German armies retreated and when German territories
-were occupied by enemy armies, difficulties arose regarding the
-supplying of these territories with money. At that time Hitler is
-supposed to have planned a law according to which the acceptance and
-passing on of foreign occupation money was to be punished even by death.
-I am not interested now, Dr. Hayler, in finding out why Hitler planned
-to do this; but I am interested in finding out, if you can tell me, how
-the Defendant Funk reacted to this demand by Hitler and what success he
-had.
-
-HAYLER: Two facts can be established in regard to this point, which
-should be of interest to the Tribunal. I have rarely seen Funk as
-depressed as at that time, after he had received information about the
-so-called “scorched earth decree.” I believe he was the first minister
-to issue at that time two very clear decrees, one from the Ministry of
-Economics, in which he gave definite instructions that wherever German
-people were an administration of economy in some sort of form must
-remain; where it is necessary that people be provided for, the State
-must continue to provide for these people.
-
-The second decree was issued at the same time by the President of the
-Reichsbank, in which he decreed that the money market had to be cared
-for by the remaining offices of the Reichsbank in the same way that
-economy was to be cared for.
-
-Regarding your question itself, I recall very distinctly that the Führer
-himself, it was said, had demanded of the Ministry of Economics the
-issuing of a legal regulation according to which the acceptance of
-occupation money was forbidden to every German on pain of death. Herr
-Funk opposed this demand very energetically, I believe with the help of
-Herr Lammers. He himself telephoned headquarters repeatedly and finally
-succeeded in having the Führer’s directive withdrawn.
-
-DR. SAUTER: Have you finished, Dr. Hayler?
-
-HAYLER: Yes.
-
-DR. SAUTER: Mr. President, I have no further questions to put to the
-witness.
-
-THE PRESIDENT: Do the other Defendants’ Counsel wish to ask any
-questions?
-
-[_No response._]
-
-Does the Prosecution wish to cross-examine?
-
-MR. DODD: When did you join the Nazi Party, Mr. Witness?
-
-HAYLER: Did I understand you correctly—when did I become a member of
-the NSDAP?
-
-MR. DODD: That is right.
-
-HAYLER: December 1931.
-
-MR. DODD: Did you hold any offices in the Party at any time?
-
-HAYLER: No; I never held office in the Party.
-
-MR. DODD: You were the head of a trade group in 1938, the Reichsgruppe
-“Handel”?
-
-HAYLER: I was the head of the Economic Group “Retail Trade” from 1934
-on, and from 1938 on, head of the Reich Group “Trade.” This organization
-was a part of the organization of industrial economy and was under the
-Reich Ministry of Economics.
-
-MR. DODD: Membership in the group that you were the head of was
-compulsory, wasn’t it?
-
-HAYLER: Yes.
-
-MR. DODD: When did you join the SS?
-
-HAYLER: I joined the SS in 1933, in the summer.
-
-MR. DODD: That was a kind of Party office, wasn’t it, of a sort?
-
-HAYLER: No, it was not an office. I became connected with the SS because
-of the fact that in Munich 165 businessmen were locked up and because I
-knew Himmler from my student days—I had not seen him again until
-then—the businessmen in Munich asked me to intercede for them in the
-summer of 1933. But I had no office in the Party or in the SS.
-
-MR. DODD: When did you become a general in the SS?
-
-HAYLER: I never was a general in the SS. After I had been appointed
-State Secretary, the Reichsführer bestowed on me the rank of a
-Gruppenführer in the SS.
-
-MR. DODD: A Gruppenführer—isn’t that the equivalent of a general in the
-SS?
-
-HAYLER: Yes and no. In the SS there was the rank of Gruppenführer and
-there was the rank of Gruppenführer and general of the Police or of the
-Waffen-SS; but the Gruppenführer was not a general if it was only an
-honorary rank. This could easily be seen from our uniforms, because we
-did not wear a general’s epaulets or a general’s uniform.
-
-MR. DODD: You know Ohlendorf pretty well, don’t you?
-
-HAYLER: Yes.
-
-MR. DODD: He worked for you at one time. He was under your supervision.
-Isn’t that so?
-
-HAYLER: I worked with Ohlendorf from 1938 on.
-
-MR. DODD: You know, he has testified before this Tribunal that he
-supervised the murdering of 90,000 people; did you know that?
-
-HAYLER: I heard about that.
-
-MR. DODD: Did you know about it at the time that it was going on?
-
-HAYLER: No.
-
-MR. DODD: Did you know Pohl, the SS man—P-o-h-l?
-
-HAYLER: May I ask you for that name again?
-
-MR. DODD: Pohl—P-o-h-l?
-
-HAYLER: I do not remember knowing an SS man Pohl.
-
-MR. DODD: Do you know a man called Obergruppenführer Pohl of the SS?
-
-HAYLER: No—Yes, I know an Obergruppenführer Pohl. Obergruppenführer
-Pohl was the chief of the administrative office of the SS.
-
-MR. DODD: Did you have conversations and meetings with him from time to
-time?
-
-HAYLER: Officially I had a few conversations with Pohl. Usually they
-were very unpleasant.
-
-MR. DODD: Well, that’s another matter. How often would you say, between
-1943 and the end, the time of your surrender, that you met with Pohl to
-discuss matters of mutual interest between the SS and your own Ministry
-of Economics? Approximately, because I don’t expect you to give an
-accurate account, but about how many times, would you say?
-
-HAYLER: I must give a short explanation about this. Between the...
-
-MR. DODD: Give that afterwards. Give me the figure first.
-
-HAYLER: Yes. Perhaps three or four times, perhaps only twice. I do not
-know exactly.
-
-MR. DODD: Are you telling us three or four times a year or three or four
-times during the whole period between 1943 and 1945?
-
-HAYLER: During my time in office, yes, three or four times; it was only
-one year.
-
-MR. DODD: Did you talk to him about the Reichsbank’s or the Ministry of
-Economics’ co-operating in the financing of the building of factories
-near the concentration camps?
-
-HAYLER: No.
-
-MR. DODD: You know about that, do you?
-
-HAYLER: No. This question was never discussed with me.
-
-MR. DODD: What did you talk to him about?
-
-HAYLER: A great controversy had arisen between the Ministry of Economics
-and the SS because after I had taken over the State Secretariat in the
-Ministry of Economics, Himmler had instructed me to turn over to the SS
-a factory which belonged to the Gau Berlin. I fought against this and
-did not obey Himmler’s instructions. The files about this must surely
-still be in existence. I then was instructed to discuss this matter with
-Pohl. In these conferences and in a personal conversation which Himmler
-requested and ordered, I still fought against Himmler’s instructions,
-because I was fundamentally against the SS having industrial enterprises
-of its own.
-
-MR. DODD: Did you talk to the Defendant Funk about this difficulty with
-Himmler and Pohl?
-
-HAYLER: Yes, because these difficulties resulted in Himmler’s writing me
-a letter in December in which he told me that he ceased to have
-confidence in me and that he had no desire to work with me any more. I
-reported this to the Defendant Funk in December.
-
-MR. DODD: Did Funk tell you that his bank was helping Himmler out in the
-building of factories near the concentration camps?
-
-HAYLER: I know nothing about that.
-
-MR. DODD: You never heard of that before now?
-
-HAYLER: Up until now I have never heard anything about Funk’s or the
-Ministry of Economics’ co-operation in the financing of such buildings
-or about anything of the sort.
-
-MR. DODD: It is perfectly clear, I think, but I want to make certain,
-that from 1943 to 1945, while you were the deputy to Funk in the
-Ministry of Economics, the questions of purchasing on the black market,
-and so on, in the occupied countries ceased to be of any real
-importance, didn’t they? You said that; I understood you to say that a
-few minutes ago yourself.
-
-HAYLER: In 1944—and my time in office virtually did not start until
-1944, since in December I had a Ministry which was totally bombed out
-and we did not get started working again until January 1944—these
-questions were no longer of decisive importance, since a process of
-retrogression had already set in.
-
-MR. DODD: All right. You also were, Mr. Witness, at the Vienna speech to
-which you referred, which was made in 1944; and it had nothing to do
-with the occupied countries but was directed only at the satellite
-states. Are you aware of that or not?
-
-HAYLER: The speech in Vienna?
-
-MR. DODD: Yes, the speech in Vienna in 1944.
-
-HAYLER: Yes, it is true; I have already said that. Both the speech in
-Königsberg and the speech in Vienna did not deal directly with the
-occupied territories, but with Europe as a whole. I...
-
-MR. DODD: Did it deal with the occupied territories directly or
-indirectly? Now, have you read that speech?
-
-HAYLER: I heard the speech. Quite definitely it had nothing to do with
-them directly.
-
-MR. DODD: Finally, in view of your testimony concerning Funk and what he
-thought about forced labor, you know, don’t you, that he took an
-attitude of unconcern about the forcing of people to come to Germany? Do
-you know that?
-
-HAYLER: No.
-
-MR. DODD: Well, you know he has said on interrogation that he didn’t
-bother his head about it, although he knew that people were being forced
-to go to Germany against their will. Are you aware of that?
-
-HAYLER: No, I am not aware of that. I had with Funk...
-
-MR. DODD: All right. If you did know it, would that make some difference
-to you; and would you change your testimony some?
-
-HAYLER: I am not aware of the fact that Funk is supposed to have had
-this attitude or...
-
-MR. DODD: Very well. Perhaps I can help you by reading to you from his
-interrogation of 22 October 1945, made here in Nuremberg. Among other
-things, he was asked these few questions and made a few answers:
-
- “As a matter of fact, you were present at many meetings of the
- Central Planning Board, were you not?”
-
-Funk answered and said:
-
- “I was present at the meetings of the Central Planning Board
- only when something was required for my small sector; that is to
- say, something which had to do with the export and consumer
- goods industries as, for example, iron. I had to put up a fight
- on each occasion to get just a few thousand tons for my consumer
- goods industry.”
-
-The next question was:
-
- “Yes, but during those meetings you attended, you heard, did you
- not, discussions concerning forced labor?”
-
-Funk answered: “Yes.”
-
- “Question: ‘And you knew from those meetings that the policy was
- to bring in more and more foreign workers to the Reich against
- their will?’”
-
-Funk answered: “Yes, certainly.”
-
- “Question: ‘And you never objected to that, I take it?’”
-
-Funk answered:
-
- “No, why should I have objected? It was somebody else’s task to
- bring these foreign workers into the Reich.
-
- “Did you believe it was legal to take people against their will
- from their homes and bring them into Germany?” was the last
- question that I want to quote to you. He answered: “Well, many
- things happen in wartime which aren’t strictly legal. I have
- never racked my brains about that.”
-
-Now, if you know that to be his attitude from his statements made under
-oath on an interrogation here, would that change your view about Funk
-and would it cause you to change the testimony which you have given
-before the Tribunal here today?
-
-HAYLER: I can testify only to those things which I myself know. I cannot
-remember any such statements by Funk. I do know and I remember
-distinctly that we frequently spoke about the occupied territories,
-about the later development in Europe which was to, and could, result
-from co-operation. We also spoke about the procuring of workers and that
-Funk fundamentally had a viewpoint different from the one that prevailed
-and that he was not in agreement with these things. I can merely repeat
-this and if you question me here as a witness, I can say only what I
-know.
-
-MR. DODD: Did you go over all of your questions and answers with Dr.
-Sauter before you took the stand? You knew what you were going to be
-asked when you came here, didn’t you?
-
-HAYLER: Dr. Sauter gave me an idea what he would question me about and
-what he was interested in.
-
-MR. DODD: I have no further questions.
-
-THE PRESIDENT: Do any other members of the Prosecution wish to
-cross-examine? Dr. Sauter, do you want to re-examine?
-
-DR. SAUTER: No.
-
-THE PRESIDENT: The witness can retire.
-
-[_The witness left the stand._]
-
-DR. SAUTER: Mr. President, there are a few interrogatories missing, some
-of which have already arrived and are being translated. I request that
-at a later occasion, perhaps after the case against Defendant Schirach,
-I be permitted to read these interrogatories. And then, Mr. President, I
-should like to say something of a general nature. I have already read
-extracts from various documents and requested that all of them be
-admitted as evidence and I should like to repeat this request for all
-these documents. With that I shall have finished my case for Funk.
-
-Mr. President, may I make another request of you at this moment, namely,
-that during the next few days the Defendant Von Schirach be excused from
-being present at the sessions in Court so that he can prepare his case.
-In his absence I shall look after his interests or else, when I am not
-here, my colleague Dr. Nelte will. Thank you very much.
-
-THE PRESIDENT: Who is appearing for the Defendant Schirach?
-
-DR. SAUTER: I am; and when I cannot be present, then Dr. Nelte will. One
-of us will always be in Court and look after his interests.
-
-THE PRESIDENT: Yes, very well, Dr. Sauter. Now the Tribunal will adjourn
-for 10 minutes.
-
- [_A recess was taken._]
-
-THE PRESIDENT: Dr. Sauter, there was a document which you didn’t refer
-to. I think it was an affidavit of a witness called Kallus. Were you
-offering that in evidence? It was an interrogatory of Heinz Karl Kallus.
-
-DR. SAUTER: The Kallus interrogatory, Mr. President, has already arrived
-and at the moment it is in the process of translation, I shall submit it
-as soon as the translation has been received by the Prosecution.
-
-THE PRESIDENT: Well, we have got a translation into English.
-
-DR. SAUTER: I believe, Mr. President, that what you have is an affidavit
-by Kallus, and in addition there is a Kallus interrogatory, which is in
-process of translation and which I shall submit later.
-
-THE PRESIDENT: This takes the form of an interrogatory, questions and
-answers, what I have in my hand. I am only asking whether you want to
-offer that.
-
-DR. SAUTER: Yes, I offer that in evidence. I request that judicial
-notice be taken of it.
-
-THE PRESIDENT: Very well; you gave it a number then, did you? What
-number will it be?
-
-DR. SAUTER: Exhibit Number 5, if you please.
-
-THE PRESIDENT: Very well.
-
-DR. SAUTER: Thank you very much.
-
-THE PRESIDENT: Now, Dr. Kranzbühler.
-
-FLOTTENRICHTER OTTO KRANZBÜHLER (Counsel for Defendant Dönitz): Mr.
-President, first I should like to ask the permission to have a
-secretary, in addition to my assistant, in the courtroom, in order to
-facilitate the submission of documents.
-
-With the permission of the Tribunal, I shall first submit a number of
-documents; and I shall use the document book of the Prosecution and the
-document books which I have submitted. These document books consist of
-four volumes. The table of contents is in Volume I and in Volume III.
-
-In the first document of the document book of the Prosecution, Exhibit
-USA-12 (Document Number 2887-PS), I should like to correct an error in
-translation which may be of significance. It says there, in the German
-text, under “1939,” “Konteradmiral, Befehlshaber der Unterseeboote,” and
-that in the English text has been translated by “Commander-in-Chief.”
-The correct translation should be “Flag Officer of Submarines.” That
-point is of importance in regard to the fact that Admiral Dönitz, until
-his appointment as Commander-in-Chief of the Navy in 1943, was not a
-member of the group which the Prosecution terms criminal.
-
-I should like to call the attention of the Tribunal back to Exhibit
-GB-190 (Document Number D-652 (a-b)). That is a sea-chart which the
-Prosecution has submitted. This chart shows the position of the German
-submarines to the west of England on 3 September 1939, and the
-Prosecution uses that chart as evidence for the question of aggressive
-war.
-
-The Prosecution says, rightly, that these U-boats must have left their
-home bases at an earlier date. The first document, which I offer as
-Dönitz-1, is to prove, first, that this belongs in the category of
-measures resorted to in times of crisis such as were taken by every
-nation in Europe at this time, and that they were in no way preparatory
-measures for an aggressive war against England, because such a war was
-not planned.
-
-I shall read from this document—document book, Page 1. It is an excerpt
-from the War Diary of the Naval Operations Staff of September 1939, and
-I read the entry of 15 August:
-
- “Prepared (for Case White) the following measures:”
-
-THE PRESIDENT: What page?
-
-FLOTTENRICHTER KRANZBÜHLER: Page 1 of the document book, Volume I.
-
-THE PRESIDENT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER:
-
- “15. 8. Prepared (for Case White) the following measures:
-
- “On 15. 8. _Spee_ and all Atlantic submarines ready to sail.
-
- “On 22. 8. Transport _Westerwald_ ready to sail.
-
- “On 25. 8. _Deutschland_ ready to sail.”
-
-And then we find the list of these ships:
-
- “21. 8. Report B-service about emergency measures of French
- fleet.
-
- “23. 8. Report B-service: Continuation of French emergency
- measures of fleet to 3rd grade. English and French blockade
- measures off ports.
-
- “25. 8. B-service reports: German and Italian steamers are being
- watched and reported by France.”
-
-And then the instructions:
-
- “31. 8. Arrival Order I of OKW for conduct of war: Forcible
- solution in the East, attack against Poland 1 September, 0445
- hours. In the West responsibility for starting hostilities
- unequivocally to be left to England and France. Strictly respect
- neutrality of Holland, Belgium, Luxembourg, Switzerland. The
- western border not to be crossed. At sea no hostile actions or
- such that could be interpreted as hostile. Air Force only in
- defense.
-
- “In case of opening of hostilities by Western Powers: Defense
- only, economical use of forces. Reserve start of aggressive
- operations. The army to hold the ‘Westwall.’ Naval economic war
- concentrated against England. To augment effect probable
- declaration of zones of danger. Prepare these and submit them.
- The Baltic to be safeguarded against enemy invasion.”
-
-So far this document. With the next document, Dönitz-2, I should like to
-prove that the British submarines, too, were active before the start of
-the war and appeared in the Bay of Helgoland at the very beginning of
-the war. It is on Page 2 of the document book. I probably need only
-point out that as early as 1 September electric motor noises were heard
-in the Bay of Helgoland and that on 4 September several reports arrived
-concerning English submarines sighted in the Bay of Helgoland.
-
-I come now to the document with reference to which Admiral Dönitz is
-accused of participating in the planning of the attack against Norway.
-That is Exhibit GB-83 (Document Number C-5). The Prosecution has
-submitted it as proof of the fact that Admiral Dönitz played a decisive
-part in the occupation of Norway. I shall refer to this document in more
-detail when examining the witness. I merely want to establish certain
-dates now. On the document—and I am about to submit the original to the
-Tribunal—there is a stamp which establishes when the document was
-received at the High Command. This stamp shows the date 11 October 1939.
-
-THE PRESIDENT: You are speaking of GB-83?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes. And I refer now to Exhibit GB-81
-(Document Number C-66), Page 6 of my document book. According to this
-the decisive report by Grossadmiral Raeder to the Führer had already
-been made on 10 October 1939, that is, a day before GB-83 was received
-at the High Command.
-
-With the next document I should like to prove that considerations as to
-bases had nothing to do with the question of an aggressive war, as far
-as the Flag Officer of Submarines, Admiral Dönitz, was concerned. I am
-submitting Documents Dönitz-3 and Dönitz-4. They are on Page 3 and 5 of
-the Document Book. Dönitz-3 is a war diary of the Flag Officer of
-Submarines of 3 November 1939, and I read from the second paragraph, the
-10th line from the top:
-
- “At the same time Naval Operations Staff reports that there are
- possibilities for the establishment of a ‘Base North’ which seem
- to be very promising. In my opinion the immediate introduction
- of all possible steps in order to arrive at a clear judgment of
- the existing possibilities is of the greatest importance.”
-
-And then there follows a discussion of the advantages and disadvantages
-of such a base, which is absolutely identical with the considerations
-mentioned in GB-83. It is a question of Murmansk in connection with Base
-North, as can be seen from Document Dönitz-4; and it is known that these
-considerations were in full accord with the Soviet Union.
-
-Furthermore, I should like to show that the question of bases
-continuously comes up in enemy navies without reference to...
-
-THE PRESIDENT: Dr. Kranzbühler, you are going a little bit fast over
-these documents and I am not quite sure that I am quite following what
-use you are making of them. This base mentioned in the report is
-Murmansk?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes; Murmansk. And I want to use it as
-proof, Mr. President, that the question of bases has nothing to do with
-the question of whether one wants to wage aggressive war with the
-country in which these bases are situated. The considerations as to
-Murmansk were taken in full accord with the Soviet Union, and in the
-same manner Admiral Dönitz took the question of Norwegian bases into
-consideration. That is the subject of my proof.
-
-THE PRESIDENT: But the fact that Murmansk was suggested as a base, to be
-taken with the consent of the Soviet Union—if it was the case—doesn’t
-have any relevance, does it, to taking a base in Norway without the
-consent of Norway.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, the relevancy seems to me to
-exist in the fact that Admiral Dönitz, as Commander of U-boats, in both
-cases received merely the order to state his opinion about bases in a
-certain country but that in the last analysis he had as little to say in
-the case of Narvik and Trondheim as in the case of Murmansk.
-
-COLONEL Y. V. POKROVSKY (Deputy Chief Prosecutor for the U. S. S. R.):
-In Document Number 3, the one just being referred to by the defense
-counsel for the Defendant Dönitz, mention is definitely made of the
-northern bases; but nothing is said in this document of any plans of the
-Soviet Union. And to discuss, here and now, some plan or other of the
-Soviet Union is in my opinion quite out of order, since there are no
-plans of the Soviet Union in connection with the northern bases, and
-there never have been.
-
-FLOTTENRICHTER KRANZBÜHLER: If the representative of the Soviet Union
-has any doubts that these bases were considered in full accord with the
-Soviet Union, then I shall prove that by calling a witness.
-
-THE PRESIDENT: Anyhow, the document doesn’t say anything about it.
-
-FLOTTENRICHTER KRANZBÜHLER: The document says nothing about it.
-
-THE PRESIDENT: The Tribunal doesn’t think you ought to make statements
-of that sort without any evidence; and at the moment you are dealing
-with a document which doesn’t contain any evidence of the fact.
-
-FLOTTENRICHTER KRANZBÜHLER: May I perhaps read Document Number Dönitz-4?
-
-THE PRESIDENT: It is Dönitz-3, isn’t it?
-
-FLOTTENRICHTER KRANZBÜHLER: I have already come to Dönitz-4. I had read
-from Dönitz-3. I shall now read from Dönitz-4 the entries for 17 April
-1939:
-
- “Commander of U-boats receives instructions from Naval
- Operations Staff to try out Base North. Naval Operations Staff
- considers the trying out of the base by _U-36_ due to sail
- within the next days, highly desirable. Supply goods for tanker
- _Phoenizia_ in Murmansk going with fishing steamer to Murmansk
- on 22 November.”
-
-It seems to me that this entry very clearly shows that that could have
-happened only in accord with the Soviet Union. Furthermore, I want to
-show that considerations as to bases...
-
-THE PRESIDENT: Wait a minute. Dr. Kranzbühler, the Tribunal thinks you
-oughtn’t to make these observations on these documents which really
-don’t support what you are saying. Document Number 3, for instance,
-doesn’t bear any such interpretation, because it refers to attacks which
-it was suggested should be made against ships coming from Russian ports,
-in Paragraph 2. And equally the other document you referred to,
-Dönitz-4, on Page 5, doesn’t bear the interpretation which you are
-putting upon it.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I am afraid that the contents
-of both documents have been presented too quickly by me. For anyone who
-is familiar with such war diaries, many things are self-evident which
-otherwise are not so easy to understand.
-
-Document Dönitz-3 states in that part which I have read that
-possibilities for the establishment of a Base North exist. These
-possibilities can be only political possibilities, because one can
-establish a base in a foreign country only if that country agrees.
-Document Dönitz-4 shows that the base in question is Murmansk and that
-this base is being tried out with a supply ship, a fishing steamer, and
-a U-boat. That convincingly shows in my opinion...
-
-THE PRESIDENT: The objection the Tribunal was raising was to the
-statement by you that the Soviet Union had agreed, and these documents
-do not bear out any such statement.
-
-FLOTTENRICHTER KRANZBÜHLER: I am of the opinion that in Document
-Dönitz-4 that can clearly be seen. It is not possible...
-
-COL. POKROVSKY: I definitely protest against the fact that, apart from
-what has been stated in the documents, certain unfounded conjectures or
-assertions have been made with a view to interpreting the documents in
-the manner in which Dr. Kranzbühler has endeavored to interpret them
-from the initial stages of his defense. I do not belong to the category
-of fortune tellers and palmists. I cannot conjecture what hypothetical
-conclusions may be drawn from one or another of the documents. I am a
-lawyer and I am accustomed to operate with documents such as they
-appear, and I am accustomed to operate with the contents of a document
-such as they are expressed.
-
-I consider that the Tribunal has quite correctly expressed to the
-defense counsel the absolute impossibility of drawing the conclusions he
-is attempting to reach, and I would ask that counsel for the defense be
-reminded of his duty to limit himself exclusively to such
-interpretations as may be deduced from the document.
-
-SIR DAVID MAXWELL-FYFE (Deputy Chief Prosecutor for the United Kingdom):
-Your Honor, I would be grateful if the Tribunal would consider a general
-point of procedure. We have a number of objections to a considerable
-number of Dr. Kranzbühler’s documents. I have got out a short list
-grouping, as far as is possible, our objections, which I can hand to the
-Tribunal and, of course, to Dr. Kranzbühler, now. It is a matter for
-consideration by the Tribunal whether it would be useful to see that
-list before the Tribunal adjourns tonight, and maybe here tender certain
-observations of Dr. Kranzbühler upon them. Then the Tribunal might be
-able to give a decision with regard to certain of the documents before
-sitting again tomorrow and thereby save some time. I suggest that to the
-Tribunal for their consideration as perhaps the most profitable
-procedure under the circumstances.
-
-THE PRESIDENT: Are you suggesting that at a certain point of time we
-should adjourn for the consideration of your list and then hear Dr.
-Kranzbühler on it?
-
-SIR DAVID MAXWELL-FYFE: Yes.
-
-THE PRESIDENT: That is what you suggest?
-
-SIR DAVID MAXWELL-FYFE: Yes, Sir. I was going to explain my list, put my
-list to the Tribunal, and explain it; and then the Tribunal could hear
-Dr. Kranzbühler upon it and adjourn at whatever time it is suitable.
-
-FLOTTENRICHTER KRANZBÜHLER: May I make a statement in that regard, Mr.
-President?
-
-THE PRESIDENT: Certainly.
-
-FLOTTENRICHTER KRANZBÜHLER: I do not agree with such a proceeding, Mr.
-President. Before this Tribunal I have said very little as defense
-counsel so far; but I am of the opinion that it is my turn now and that
-I have to be granted permission to submit my documents in that order in
-which I plan to and which I consider correct for my defense.
-
-I ask the Tribunal just to imagine what would have happened if, before
-the presentation of their case by the Prosecution, I had said that I
-should like to speak about the relevancy of the documents of the
-Prosecution. I believe that this comparison shows that I should not have
-thought of proceeding in this way. I shall try, before submitting my
-documents, to explain their relevancy to a greater extent than I have
-thought necessary until now. But I ask the Tribunal to grant that I
-present my case now and to limit the Prosecution to making their
-suggestions when I submit my documents individually.
-
-SIR DAVID MAXWELL-FYFE: The inconvenience of that course, My Lord, is
-that I shall then be interrupting Dr. Kranzbühler every two or three
-documents and making a specific objection to an individual document,
-which will take a great deal of time. I thought it would be more
-convenient if I indicated to the Tribunal my objections to the documents
-in the usual way by classes rather than individually.
-
-I put it to the Tribunal to rule on whatever method they think would be
-most convenient for them. The last thing I want is to interfere with Dr.
-Kranzbühler’s presentation; but, on the other hand, the method that he
-suggests will mean individual objections, because, of course, an
-objection is useless if it is put in after Dr. Kranzbühler has developed
-the document. Or, if it is not useless, it is at any rate of very much
-less weight.
-
-THE PRESIDENT: Dr. Kranzbühler, supposing that Sir David presents his
-objections to the documents now, whether in groups or in whatever way he
-likes, and you then answer him individually upon each document, pointing
-out the relevance in your view of each document; how does it harm you?
-The Tribunal will then consider your arguments and will rule upon them,
-and then you will know what documents the Tribunal has ruled out, and
-you can then refer to any of the other documents in any way you please.
-
-The only object of it and the only effect of it is to prevent the
-Prosecution’s having to get up and interrupt, put on the earphones, and
-take the time for an individual objection to each document to which they
-wish to object as it turns up. I cannot see that it can interfere with
-you in the least.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have no objection to the
-Prosecution’s stating their objections now. I merely wish to avoid my
-having to reply to each individual objection. If I am permitted to state
-my views when each individual document comes up, then I have no
-objection to the Prosecution’s stating their objections now to
-individual documents.
-
-THE PRESIDENT: Sir David, the Tribunal would like you to state now your
-objections to these documents. They will then allow Dr. Kranzbühler to
-proceed with his discussion of the documents, answering your argument as
-to the admissibility of each document that you object to when he comes
-to it.
-
-SIR DAVID MAXWELL-FYFE: If Your Lordship please. Will Your Lordship just
-allow me a moment to get my papers? I am afraid I have only the
-Prosecution’s objections in English, but it may help those of the
-Tribunal who do not understand English to have the numbers, at any rate,
-in front of them.
-
-My Lord, the first group are documents which the Prosecution submits
-have no probative value. These are D-53. My Lord, the “D” in this case
-stands for Dönitz Document Book 53, Page 99; and D-49, Pages 130 and
-131; D-51 and D-69.
-
-My Lord, the first of these, D-53, is a letter from a prisoner-of-war
-camp, purporting to be signed by 67 U-boat commanders and in purely
-general terms. The Prosecution submits that that is not helpful, either
-from its form or from its material.
-
-My Lord, D-49, which is at Pages 130 to 131, is again in entirely
-general terms and contains no indication of the moral or legal basis for
-the opinion expressed.
-
-D-51 and D-69 are both newspaper reports.
-
-THE PRESIDENT: Wait a minute, Sir David. 130? I have not got a Page 131.
-Is it an affidavit, or was it called an affidavit?
-
-SIR DAVID MAXWELL-FYFE: Yes, My Lord.
-
-THE PRESIDENT: “On the basis of the documents of the Navy Court archives
-at...”
-
-Oh yes, I think the Document Book has got a bit out of order.
-
-SIR DAVID MAXWELL-FYFE: Yes, My Lord, maybe so.
-
-THE PRESIDENT: Is it a sworn affidavit by somebody or other?
-
-SIR DAVID MAXWELL-FYFE: Yes, My Lord. 130 comes immediately before.
-
-THE PRESIDENT: I have got it now, yes, 131 comes somewhere before 130.
-
-SIR DAVID MAXWELL-FYFE: That is it, My Lord. It is an affidavit by a
-former fleet judge, and Your Lordship sees that the description which
-the Prosecution gives of it as being in entirely general terms is, I
-submit, justified by the wording of the document, and it is difficult to
-see the basis which the learned opponent seems to profess for his
-statements.
-
-My Lord, D-51, Page 134, is an extract from the _Völkischer Beobachter_
-of March 1945, and the Prosecution submits that the topic on which it is
-is irrelevant to the matters developed against the Defendant Dönitz.
-Number 69 is another newspaper report from the same paper of 14 November
-1939, giving a list of armed British and French passenger ships. Now, My
-Lord, the second group which we developed are those irrelevant
-documents, D-5, D-9, D-10, D-12, D-13, D-29, D-48, D-60, D-74.
-
-Now, My Lord, the first of these, D-5, on the subject of Norway, seeks
-to introduce by way of a footnote a summary of the documents which the
-Tribunal dealt with when considering the documents in the case of the
-Defendant Raeder, with regard to which the Tribunal expressed its
-doubts, although it allowed them to be translated. The Tribunal will
-remember that with regard to the Dönitz documents it was thought
-convenient to have them translated without a preliminary argument. Now,
-My Lord, the same argument applies to a footnote, to a speech of the
-Defendant Von Ribbentrop, a summary of documents which came into German
-possession long after the speech of the Defendant Ribbentrop was made.
-The Prosecution submits it is irrelevant.
-
-And the documents 9, 10, 12, and 13 deal with the rescue of Allied
-survivors in the years 1939 to 1941 inclusive.
-
-THE PRESIDENT: Oh, yes.
-
-SIR DAVID MAXWELL-FYFE: My Lord, that last statement, “and all
-apparently unsworn,” is an error. It ought to be that D-13 is apparently
-unsworn.
-
-Now, My Lord, with regard to that the position is that whereas it is
-quite true that a nonrescue order was issued by the defendant before 27
-May 1940, the really important period is round about 17 September 1942.
-It seemed to the Prosecution unnecessary to go into these details for
-the earlier period. There is no real doubt that there were some rescues.
-The only point which the Prosecution is putting against the defendant is
-that he did issue an order, which the Prosecution has proved, forbidding
-rescue when there was any danger.
-
-THE PRESIDENT: What was the date you gave us, 17 November 1942?
-
-SIR DAVID MAXWELL-FYFE: My Lord, the nonrescue order is before 27 May
-1940. We cannot give the exact date, but we know from a reference in
-another order that it must have been before 27 May 1940. And the order
-with regard to the destruction of the crews of merchant ships is 17
-September 1942.
-
-Now, My Lord, the Document Number 29 contains four documents dealing
-with the evidence of the witness Heisig. The first purports to be an
-affidavit by a witness who speaks to the sort of statements the
-Defendant Dönitz usually made and does not remember what was said on the
-particular occasion referred to by the witness Heisig; and it contains a
-good deal of argument.
-
-The second is a letter sent to counsel for the Defendant Dönitz, and,
-with the exception of one sentence, denying that the defendant spoke in
-the sense alleged by Heisig; the remainder of the statement which, of
-course, is unsworn, is either argument or is vague or irrelevant. The
-remaining two documents, both apparently unsworn, contain allegations
-against the character of the witness Heisig. The Tribunal will remember
-that no allegations were made against him; that there was no
-cross-examination in regard to his character when he gave his evidence.
-And the second deals with other lectures which are not those in
-question.
-
-Now, My Lord, the next document, D-48, deals with the alleged good
-treatment of Allied prisoners in German Naval prisoner-of-war camps, on
-which subject no issue has been raised with this defendant. D-60, Page
-209 deals with Italian- and French-declared danger zones, which, the
-Prosecution submits, has no relevance to those declared by the Germans.
-D-74 and D-60, Page 256, deal with the relationship between the British
-and French merchant marines and their respective navies; and the
-Prosecution submits that they are irrelevant as far as the British Navy
-is concerned, if they have any relevance cumulative of D-67.
-
-Now, My Lord, the third group are details of the Contraband Control
-System and they are D-60, Pages 173 to 198; D-72; D-60, Pages 204 and
-205 and Pages 219 to 225. My Lord, these documents deal with the details
-of the contraband control, what articles were contraband, declarations
-of different governments; and it is submitted that details of the
-contraband control are remote from the issues raised and entirely
-irrelevant. I do not think in the presentation against either of the
-Naval defendants questions of declarations of contraband were mentioned
-at all, certainly not in regard to the Defendant Dönitz; and, in the
-submission of the Prosecution, it’s really introducing matters which
-are, I am sure, not helpful to the problems of this case.
-
-The fourth group, which can only be described in very general terms, are
-allegations against the Allies. My Lord, the general objection I set out
-in the first paragraph is this: Those documents consist of various
-allegations against the Allies; they appear to have little or no
-relevance to the issues and, if submitted, might necessitate the
-Prosecution’s seeking the facilities to rebut the allegations; in which
-case a large volume of evidence in rebuttal might be entailed.
-
-Then I have isolated those which deal with allegations that the Allies
-did not pick up survivors; there are two: 43, 67; Pages 96 and 90. 31
-and 32 deal with Allied attacks on German air-sea rescue planes; 33
-accuses a Soviet submarine of sinking a hospital ship.
-
-And three, Numbers 37, 38, and 40, the last being a newspaper report,
-allege that the Allies shot survivors. My Lord, the question of Allied
-treatment of survivors is dealt with exhaustively by extract from the
-German Naval Diary and, My Lord, that we are not objecting to because
-there it is important not as evidence of the facts stated but as
-evidence of the matters that had an effect on the German Naval Command.
-For that purpose I am quite ready that Dr. Kranzbühler should put them
-in and the Tribunal should consider them. And there is another document
-which deals with that point quite fully, and I am quite prepared to let
-that go in.
-
-Then, My Lord, the remainder allege either ruthless actions or breaches
-of International Law by the Allies; and these are Number 19, Page 24,
-the Göring exhibit; Numbers 7 and C-21, Page 91; 47, Pages 120, 121,
-which is also a newspaper report; 52, 60, Pages 152 and 208; D-75, 81,
-82, 85, and 89.
-
-Now, as I understand the defense that is developed here—the allegation
-with regard to the order which we say sets out the destruction of
-survivors—it is not that it was a reprisal, but the defense is that the
-order did not mean destruction but merely meant nonrescue. On that basis
-it seems difficult, indeed impossible, to appreciate how these matters
-become relevant at all.
-
-And similarly with regard to the order for shooting Commandos. The
-justification alleged for the order is set out in the order itself. I
-haven’t heard any defendant develop any justification of that order in
-giving evidence before the Tribunal. Every one of the defendants so far
-has said this order was given by Hitler and “whether we approved of it
-or not we had to carry it out.”
-
-So that, in my submission, there isn’t even the argument which is
-foreshadowed, that breaches of the laws and usages of war can be in
-certain occasions properly committed as reprisals. It is not put forward
-from that point of view; there is no admission here, as I understand the
-Defense, of breaches for which reprisal is the answer. Therefore, the
-Prosecution submits that these documents are also irrelevant.
-
-My Lord, again I tried to put it as shortly as possible because I didn’t
-want to occupy too much time, but I tried to correct them and describe
-those which seemed of greatest importance.
-
-THE PRESIDENT: The Tribunal would like to know why this matter of the
-admissibility of these documents hasn’t been argued before. In the other
-cases with which we have dealt, the question of the admissibility has
-been dealt with first of all by your offering your criticisms and
-objections, and then the defendant’s counsel’s being heard in reply.
-Then the Tribunal has ruled.
-
-SIR DAVID MAXWELL-FYFE: My Lord, as I understand the position, we did
-put in objections to the documents and Dr. Kranzbühler suggested that he
-would very much prefer the documents to be translated and the objections
-taken at a later stage. And I was certainly informed that the Tribunal
-agreed with that and ordered the document to be translated.
-
-THE PRESIDENT: That may be, for the purposes of translation. But that
-doesn’t mean that they are necessarily admissible. And in most of the
-other cases, if not all, as you will remember, we have had an argument
-in open session in which you, or one other member of the Prosecution,
-have made your objections, and then the defendant’s counsel has replied
-to those objections.
-
-SIR DAVID MAXWELL-FYFE: My Lord, Dr. Kranzbühler has just handed—yes...
-
-The ruling is:
-
- “The Tribunal has ruled that the documents mentioned in your
- application may be translated, but that the question of their
- admissibility is to be decided later.”
-
-My Lord, I am afraid I am at fault there. It didn’t occur to me, if I
-may be quite frank with the Tribunal, that I should have come before the
-beginning of the case Dönitz to make this argument. I am very sorry, and
-I must accept responsibility. I assumed, without real justification,
-that that meant the argument of admissibility would come at the
-beginning, or at some convenient time, in the case of Dönitz. I am very
-sorry, My Lord, and I can only express my regret.
-
-My Lord, there is this excuse: We had three of the books on Saturday,
-and we only got the last one yesterday. Therefore, we really couldn’t
-have done it before today, even if I had thought of it.
-
-THE PRESIDENT: Dr. Kranzbühler, the Tribunal considers that in view of
-the large number of documents to which the Prosecution objects, it will
-be highly inconvenient to have you answer Sir David Maxwell-Fyfe’s
-argument as you go through your documents; and therefore that you must
-answer now and deal with them in the way in which the other counsel have
-dealt with these objections to the admissibility of documents. Then the
-Tribunal will be able to consider the arguments that Sir David
-Maxwell-Fyfe has put forward and the arguments that you put forward in
-support of the documents.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I should like to point out
-that just because of the many objections which the Prosecution makes
-against the documents, I have for practical purposes to present all my
-documents, for the line of thought pursued in presenting documentary
-evidence implies a definite order of presentation and I cannot take out
-one document or another without disturbing this line of thought.
-Therefore, I believe it would save considerable time if the Tribunal
-would permit me to answer the objections when I come to the particular
-document.
-
-THE PRESIDENT: What difference could it make, assuming that the decision
-of the Tribunal is the same, whether you argue the matter now or whether
-you argue the matter afterwards? The documents which will remain, which
-will have been held to be admissible, will be the same. Therefore, there
-is no difference. I can’t see any argument in favor of what you are
-saying.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, my documentary material,
-exactly like that of the Prosecution, is organized with a definite
-purpose in mind and according to a definite idea. If, of the 50
-documents which are contained in my documentary material, I have to
-argue about 40, then 10 are lacking. Therefore, it seems to me proper
-for me to discuss all 50, in the order in which I intended to submit
-them to the Tribunal.
-
-If the Tribunal is of the opinion that the reasons given for the
-relevancy of the different documents are not sufficient, then the
-objectionable document can be withdrawn or refused. However, it seems
-expedient to me that I present my arguments in the order which I have
-been intending to follow, and not in the order in which the Prosecution
-is now making its objections. That defeats my purpose and disturbs my
-line of thought and, as defense counsel, I believe it is my task to
-present my own line of thought and not to reply to the line of thought
-pursued by the Prosecution or to their objections.
-
-THE PRESIDENT: Well, if that is so, then you can present your argument
-upon the relevancy of the documents in the order in which they come.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: But you have to do it now.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President.
-
-THE PRESIDENT: You can begin with D-5, which is the first, and then go
-on with D-9 and D-10; take them in the order in which they stand.
-
-Dr. Kranzbühler, the Tribunal doesn’t see any reason why you should be
-dealt with in a different way from which the other defendants have been
-treated. Therefore, they think that you ought to be prepared to deal
-with these documents in the way in which they are grouped here. They
-would prefer that you should deal with them now, if you can deal with
-them in a reasonably short space of time. Then they will be able to
-determine the question of which documents shall be admitted during the
-adjournment. Otherwise, they will have to adjourn tomorrow for a
-consideration of that matter, which will still further hold up the
-trial.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, of course, I can make general
-statements as to the groups which the Prosecution has referred to, but I
-cannot refer to the individual documents with the necessary detail to
-establish their relevancy unequivocally. That is impossible for me,
-confronted as I am by a list which I have not seen before. Therefore I
-should like to ask, if I am to give reasons for each individual document
-now, that I be given an opportunity to do that tomorrow morning.
-However, if the Tribunal wishes only to hear general remarks about the
-groups, I can do that right now.
-
-THE PRESIDENT: Very well, Dr. Kranzbühler. The Tribunal will adjourn
-now, and we will hear you upon these documents at 9:30 tomorrow morning.
-
-FLOTTENRICHTER KRANZBÜHLER: In open session, Mr. President?
-
-THE PRESIDENT: In open session, certainly, yes.
-
- [_The Tribunal adjourned until 8 May 1946, at 0930 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-FOURTH DAY
- Wednesday, 8 May 1946
-
-
- _Morning Session_
-
-MARSHAL: May it please the Tribunal, the report is made that Defendant
-Schirach is absent.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, with the permission of the
-Tribunal, I shall now state my opinion on the documents to which the
-Prosecution has objected.
-
-Before I refer to the individual documents, I should like to say two
-things concerning the groups.
-
-First: I ask the Tribunal to recall that in general questions on naval
-warfare I also defend Admiral Raeder. I already mentioned, when I first
-applied for documents, that all the charges against naval warfare cannot
-be dealt with separately as concerning Dönitz or Raeder; therefore Dr.
-Siemers and I agreed that I should deal with these charges together. I
-ask the Tribunal in evaluating the question to take into consideration
-whether the charges are relevant.
-
-Second: A large number of the objections which the Prosecution has made
-are directed against the fact that the war measures of the Allies are
-mentioned in the documents. I believe that I have been completely
-misunderstood especially in this field. I am not interested and it is
-not my intention to disparage any war methods, and I shall demonstrate
-later in detail that the documents are not suitable for this. But I
-should like to state from the beginning that I want to show with these
-documents what naval warfare was really like. I could not demonstrate
-this by showing only the German methods; but I also have to submit to
-this Tribunal the methods of the Allies in order to prove that the
-German methods, which are similar to the Allies’ methods, were legal.
-The Tribunal has even recognized this to be correct by approving the use
-of British Admiralty orders and an interrogatory of the
-Commander-in-Chief of the American Navy, Admiral Nimitz.
-
-I am very grateful that these documents were approved; and my own
-documents in this field are along the same line.
-
-I shall now refer to the individual documents against which objections
-have been raised; first to the Document Dönitz-5, which is in Document
-Book 1, Page 7.
-
-THE PRESIDENT: Dr. Kranzbühler, the Tribunal has examined all these
-documents; so I think you can deal with them as far as possible in
-groups.
-
-FLOTTENRICHTER KRANZBÜHLER: Very well.
-
-THE PRESIDENT: If possible, follow the order of Sir David Maxwell-Fyfe.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, it will not be possible for
-me to follow the order of Sir David, because then I shall have to return
-repeatedly to the line of ideas which I have already mentioned. I
-believe it will facilitate and speed up the proceedings if I form groups
-according to the order in which I intended to present them; and I should
-like to remind the Tribunal that that was expressly approved for me
-yesterday.
-
-THE PRESIDENT: Dr. Kranzbühler, it would be very much more convenient to
-the Tribunal if you followed the order in the groups. But if you find
-that impossible, the Tribunal would not make it a matter of an order.
-
-FLOTTENRICHTER KRANZBÜHLER: I should be very grateful, Mr. President, if
-I could keep the order which I had prepared. It corresponds to the order
-of Sir David.
-
-THE PRESIDENT: Very well.
-
-FLOTTENRICHTER KRANZBÜHLER: Concerning the question of aggressive war, I
-have another document to submit which is Dönitz-5. It is an excerpt from
-_Documente der Deutschen Politik_, and concerns the question of bases in
-Norway. I consider this document relevant because it shows that on the
-part of the British Admiralty an interrogatory was prepared on the
-question of the necessity of such a base, which corresponds exactly to
-the one with which the Prosecution has charged Admiral Dönitz in
-Document GB-83 as proof for aggressive war.
-
-Thereby I wish to say that the answers on such interrogatories have
-nothing to do with any considerations concerning an aggressive war,
-which a subordinate office could not even make. The document is in Group
-2 of Sir David’s classification.
-
-THE PRESIDENT: Are you saying that the footnote stands on the same
-footing as the other part of the document?
-
-FLOTTENRICHTER KRANZBÜHLER: The footnote is the essential part for me,
-Mr. President. I had the other part copied only to keep the connection
-with the footnote.
-
-THE PRESIDENT: Well, who wrote the footnote? Doesn’t the footnote
-represent information which was not before the German Admiralty at the
-time?
-
-FLOTTENRICHTER KRANZBÜHLER: No, no.
-
-THE PRESIDENT: Well, does the footnote state that it was before the
-German Admiralty at the time?
-
-FLOTTENRICHTER KRANZBÜHLER: No, Mr. President. The footnote was not
-known to the German Admiralty at the time.
-
-THE PRESIDENT: That is what I said; the footnote was not known to the
-German Admiralty. Who wrote it?
-
-FLOTTENRICHTER KRANZBÜHLER: The footnote is part of this document, which
-can be found in the collection _Dokumente der Deutschen Politik_...
-
-THE PRESIDENT: Is the Defendant Ribbentrop the author of it?
-
-FLOTTENRICHTER KRANZBÜHLER: No, Mr. President. The _Dokumente der
-Deutschen Politik_ are an official collection, and the footnotes have
-been written by the editor of that collection on the basis of official
-material.
-
-THE PRESIDENT: Yes, I see.
-
-FLOTTENRICHTER KRANZBÜHLER: Now I come to the documents concerning naval
-warfare in general. A large part of those are in Sir David’s Group 3.
-The first document is Dönitz-60, on Page 152. It concerns an American
-note of 6 October 1939, and is in connection with the Document
-Dönitz-61, to which the Prosecution has not objected. It is in Volume
-III of the document book, Mr. President. Volume III, Page 152. This
-document is an American reply to the document which you will find two
-pages before this, on Page 150. Both documents deal with the warning of
-neutral nations against suspicious actions of their merchant vessels.
-The question is relevant in respect to Exhibit GB-193 of the
-Prosecution. In this document a charge is made against an order that
-ships which act suspiciously—that is, proceed without lights—should be
-sunk.
-
-The next document is from Sir David’s Group 1, Dönitz-69, on Page 170,
-in Book 3. It is an excerpt from several copies of the _Völkischer
-Beobachter_ of November and December 1939. In these copies are published
-lists of armed British and French passenger ships. This document also is
-in connection with a preceding document and the one following. All these
-documents deal with the question of treatment of passenger ships by the
-naval warfare command.
-
-THE PRESIDENT: I think you had better give the numbers of the documents.
-You said the next document and the one before it. I think you had better
-give the numbers of the documents.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes. That is Document 69, Mr. President,
-Dönitz-69, and it is on Page 170, in Book 3.
-
-THE PRESIDENT: Yes, I know it is, but you said something about documents
-that were akin, or some words to that effect, to the documents next to
-it.
-
-FLOTTENRICHTER KRANZBÜHLER: It is in relation to Dönitz-68, on Page 169
-of the document book.
-
-THE PRESIDENT: Was that objected to?
-
-FLOTTENRICHTER KRANZBÜHLER: No.
-
-THE PRESIDENT: Very well, then, you need not bother with it.
-
-FLOTTENRICHTER KRANZBÜHLER: I only wanted to show, Mr. President, that
-this document is only part of the proof about the treatment of passenger
-ships, and should prove that the German press had warned against the
-using of armed passenger ships. The next documents objected to by the
-Prosecution concern Group 3, “The Contraband and Control System.” These
-are the documents Dönitz-60, from Page 173 to Page 197 of the document
-book, and I should like to form three groups of these.
-
-The first group, from Page 173 to Page 181, concerns the question of
-contraband. I consider this question relevant because Document GB-191
-has stated that the German U-boats sank a large number of Allied ships
-while these ships were on a legal merchant trip. The development of
-rules against contraband will show the Tribunal that from 12 December
-1939 on, a legal import to England no longer existed but actually only
-contraband. These documents concerning contraband are important,
-furthermore, for the German point of view, which became known under the
-slogan of “Hunger Blockade” and which played an important part in all
-German deliberations about the conduct and the intensification of naval
-warfare. The documents contain in detail the German contraband
-regulations, the British regulations, and two German statements
-concerning these contraband regulations.
-
-The next group is Dönitz-60, from Page 183 to Page 191. That concerns
-the regulations about putting into control ports; that is to say, the
-British Admiralty removed the control over neutral merchant shipping
-from the high seas into certain British ports. This group is also
-relevant in connection with Exhibit GB-191 because in this document the
-German Naval Operations Staff is accused of carrying out war measures
-against England without consideration of the danger to neutrals. The
-group which I have dealt with shows that it was not possible for the
-British Admiralty either to take war measures without endangering the
-neutrals, because, by the establishment of control ports, the neutrals
-were forced into German zones of operations and thereby, of course,
-endangered. This danger was confirmed by the neutrals themselves, and
-the documents on Pages 186 to 189 will prove this.
-
-An excerpt from the document of the Prosecution GB-194 on Page 198
-belongs to that same group. It contains a renewed American protest
-against the control ports.
-
-The third group goes from Page 192 to 197, also Dönitz-60, and is
-concerned with the question of an export embargo. This export blockade
-was declared against Germany in an Order in Council of 27 November 1939.
-This measure is important in the question of legal trade because thereby
-legal export was no longer possible either. The export blockade
-therefore is a basis for the total blockade which was later declared by
-Germany against England. Since the Exhibit GB-191 disputes the legality
-of a total blockade I must prove the basic grounds and also the export
-blockade.
-
-The next document objected to is Dönitz-72 on Page 185. It deals with a
-note by Great Britain to Belgium of 22 September. In this note the
-British Government states that they will not tolerate any increase of
-trade between Belgium and Germany. I use it as evidence for the fact
-that the economic pressure which can be seen from this note was a
-natural and accepted means of warfare. This question is relevant
-concerning the document of the Prosecution, Exhibit GB-224. There on
-Page 6 under heading (c) it is stated that Germany would necessarily
-have to exert economic pressure on the neutrals, and these statements
-were submitted by the Prosecution as measures contrary to international
-law.
-
-The next group contains the following documents: Dönitz-60, Page 204;
-Dönitz-72, Page 207; Dönitz-60, Page 208; Dönitz-60, Page 209; and
-Dönitz-75, Page 218. All of these documents concern the development of
-German zones of operation and the recognition of the zones of operation
-which were declared by the opponents. These documents are relevant for
-the question of the treatment of neutrals. In Exhibit GB-191 the charge
-was made against the Naval Operations Staff that without any
-consideration it had given the order to torpedo neutral ships. My
-evidence shall prove that that happened only in those areas which the
-neutrals had been warned against using and that this is a permissible
-measure of warfare, as shown also by the practices of the enemy.
-
-I should like to refer individually to two documents which concern the
-practices of the opposing side. Dönitz-60, Page 208, concerns the
-statement by Mr. Churchill of 8 May 1940 regarding the torpedoing of
-ships in the Jutland area. This document and the next one, Dönitz-60,
-Page 209, I wanted to put to a witness. Dönitz-60, Page 209, concerns a
-French statement about a danger zone near Italy. I am using both
-documents as evidence for the practical state of naval warfare and
-should like to discuss them with a witness. It goes without saying that
-the methods of the enemy also had some influence on German practices.
-
-The next group contains documents Dönitz-60, Pages 219, 222, and 224.
-They deal with the British system of navicerts. The navicerts, as can be
-seen from these documents, were certificates which all neutral ships had
-to get from the British Consulate before they could put to sea. Ships
-which refused to use navicerts were confiscated. The navicert system is
-relevant in two respects.
-
-First, it is mentioned in the German statement concerning the total
-blockade against England on 17 August 1940 as one reason for that
-blockade. Secondly, from the German point of view it was a nonneutral
-act on the part of the neutrals if they submitted to that system. This
-question plays a considerable part in determining to what extent Germany
-herself from that time on took consideration of neutrals in the zones of
-operations. Finally, the navicert system shows the development of an
-entirely new naval warfare law, and that is a very important subject for
-me.
-
-The next document is Dönitz-60, Page 256. It is a French decree of 11
-November 1939 concerning the creation of insignia for the crews of
-merchant ships who could be mobilized. This document is relevant for the
-question of whether the crews of merchant ships at that stage of the war
-should be considered combatants or noncombatants. The details of the
-decree seem to me to show that they would have to be considered
-combatants.
-
-With the two following documents I should like to object to the
-probative value of the document of the Prosecution, Exhibit GB-191. This
-concerns my Documents Dönitz-81, Page 233, and Dönitz-82, Page 234. I
-had said that these two documents would dispute the probative value of
-the Document GB-191. That is the report of the British Foreign Office
-about German naval warfare. On Page 1 this report attacks Article 72 of
-the German Prize Regulations in which it states that ships can be sunk
-if they cannot be brought into port. Document GB-191 says that this is
-contrary to the traditional British conception.
-
-My Document Dönitz-81 shows the sinking of the German freighter Olinda
-by the British cruiser _Ajax_ on the first day of the war. It is only
-one example to show that the statement made in the report of the British
-Foreign Office, according to which the British fleet had not sunk ships
-if they could not or would not bring them to port, is incorrect.
-
-In the same report of the British Foreign Office, German U-boats are
-accused of never differentiating between armed and unarmed merchant
-ships. Later I shall submit to the Court the orders concerning armed and
-unarmed merchant ships.
-
-By my next document I merely wish to defend the U-boats against having
-each mistake interpreted as bad intent. Therefore, in Dönitz-82, I
-submit a statement by the British Foreign Office which confirms that it
-is extremely difficult, if not impossible, in some cases to distinguish
-between armed merchant ships and unarmed merchant ships.
-
-The next document, Dönitz-85, Page 242, contains a statement by the
-American Secretary of the Navy, Mr. Knox, concerning the question of
-keeping secret the sinking of German U-boats by American naval forces.
-For me it is essential in connection with the document of the
-Prosecution, Exhibit GB-194. In this document the measures which the
-naval war staff took to keep secret the sinkings by U-boats, that is,
-using as a pretense the fiction of sinking through mines, are presented
-as fraudulent. I should like to give this as an example that during a
-war military measures can naturally be kept secret, but that that is no
-proof for or against their legality.
-
-The next document is Dönitz-89, on Page 246. It is a list drawn up by
-the Naval Operations Staff of violations of neutrality committed by the
-United States from September 1939 to 29 September 1941. The document is
-essential to counter the document of the Prosecution, Exhibit GB-195,
-which contains an order from Adolf Hitler of July 1941 in which it is
-stated that in the future even the merchant ships of the United States
-must be treated within the German zone of blockade in the same manner as
-all other neutral ships, that is to say, they should be sunk.
-
-The Prosecution has interpreted this order as proof of a cynical and
-opportunistic conduct of U-boat warfare by Admiral Dönitz. I wish to
-show, by submitting this list, that from the German point of view it was
-completely understandable and is justifiable if in the summer of 1941
-one did not grant the United States a better position than any other
-neutral.
-
-Now I come to the subject of the treatment of shipwrecked survivors.
-These documents are in Volume I of the document book. The first
-document, Dönitz-9, on Page 11, offers a description of over-scrupulous
-measures taken by German U-boats to save survivors in September and
-October 1939. This is essential for Admiral Dönitz...
-
-THE PRESIDENT: There must surely be a group of these, is there not?
-Haven’t you got a number of documents which deal with shipwrecks?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, there are a number of documents.
-
-THE PRESIDENT: Can you not deal with them all together?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President, I can assemble them.
-They are Documents Dönitz-9, Page 11, Dönitz-10, Page 12, Dönitz-12,
-Page 18, and Dönitz-13, Pages 19 to 26, and Page 49, and Dönitz-19 on
-Page 34. All these documents are related to Exhibit GB-196 of the
-Prosecution. That is an order from the winter of 1939-1940 in which the
-rescue measures of U-boats are limited. Sir David objected to that group
-that it was not important if, after this order of the winter 1939-1940,
-rescues were still carried out. I cannot share this opinion. If the
-Prosecution accuses Admiral Dönitz of having given an order about the
-limitation of rescue measures in the winter of 1939-1940, then it is
-essential to point out for what reasons such an order was issued and
-what practical consequences it had in fact. It is my assertion that that
-order can be traced, first, to the fighting conditions of the U-boats
-along the British coasts, and second, to over-scrupulous rescue measures
-taken by the commanders. The order did not prohibit measures of rescue
-generally, and that will be shown by the statements made by the
-commanders, which I have submitted under Dönitz-13.
-
-THE PRESIDENT: Is it possible for you to give us a page where we can
-find these GB documents? For instance, GB-196.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes. It is in the British document book on
-Page 33. In the document book of the Prosecution, Mr. President.
-
-THE PRESIDENT: GB-195?
-
-FLOTTENRICHTER KRANZBÜHLER: Page 32, Mr. President.
-
-THE PRESIDENT: Thank you.
-
-FLOTTENRICHTER KRANZBÜHLER: I should like to state my position on a
-formal objection. Some of these statements are not sworn statements. I
-refer to Article 19 of the Charter, according to which the Tribunal is
-to use all matters of evidence which have probative value. I believe
-that a written report by an officer about his activity as commanding
-officer has probative value, even if it is not sworn to. A report of
-this kind before a German naval court would be accepted in evidence
-without question.
-
-The last document in this group, Dönitz-19, Page 34, concerns the
-document of the Prosecution, Exhibit GB-199. It is a radio message on
-Page 36 of the British document book of the Prosecution. It concerns a
-radio message which the U-boat commanded by Kapitänleutnant Schacht
-received from Admiral Dönitz, and deals with the rescue or nonrescue of
-Englishmen and Italians.
-
-Document Dönitz-19 is a log book of Schacht’s U-boat and shows, first,
-the armament and crew of the _Laconia_, whose crew is the one in
-question, and second, it explains why comparatively few of the numerous
-Italians and comparatively many of the less numerous Englishmen were
-rescued. The events were known to Admiral Dönitz from radio messages.
-
-Document Dönitz-29...
-
-THE PRESIDENT: Dr. Kranzbühler, as I told you, the Tribunal has read all
-of these documents and examined them, and therefore it isn’t necessary
-for you to go into them as a small group, and it isn’t necessary for you
-to go into each document, if you will indicate the nature of the groups.
-
-FLOTTENRICHTER KRANZBÜHLER: Then I should like to mention the Documents
-Dönitz-29 on Pages 54 to 59 of the document book; Dönitz-31, Page 64;
-Dönitz-32 on Page 65; Dönitz-33 on Page 66; Dönitz-37 on Page 78;
-Dönitz-38 on Page 80 and Dönitz-40 on Page 86; these documents are also
-concerned with the subject of survivors. Dönitz-29 is concerned with a
-statement of the witness Heisig.
-
-The Prosecution has declared that I could not question the character of
-the witness Heisig because I had not made that point during the
-cross-examination of Heisig. In this connection I wish to state that in
-my opinion I attacked the credibility of Heisig during the
-cross-examination as far as it was possible at the time. I knew of the
-existence of that witness only three days before he appeared here.
-
-THE PRESIDENT: Dr. Kranzbühler, you are now proceeding to deal with each
-document. You have given us quite a number of documents which all fall
-in this group, of the treatment of shipwrecks and we have already seen
-those documents and therefore, we can consider them as a group. We do
-not need to have these details about the question of the credibility of
-Heisig, which is already before us.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I believe it is very
-difficult to judge the relevancy of documents if I am not permitted to
-say what the connection is. For instance, the next three documents,
-Dönitz-31, 32 and 33, are related to GB-200. That is an order by the
-Flag Officer of the U-boats dealing with the treatment of so-called
-rescue ships. The Tribunal will recall that the Prosecution has stated
-it did not object to the order as such with reference to the sinking of
-rescue ships, but only to the tendency to kill the survivors also by
-sinking rescue ships.
-
-My documents pertaining to this issue are to show that thus they apply
-moral standards which do not exist in wartime. I wish to show this
-comparison with the sea rescue planes. The sea rescue planes were
-rightfully shot down by the British Air Force, because there was no
-agreement which prohibited that. The British Air Force was therefore
-naturally not kept from shooting down rescue planes by moral
-consideration, if international law permitted it; and we have exactly
-the same point of view concerning the rescue ships.
-
-In the case of the sinking of the steamer _Steuben_, I should like to
-correct an error. That is Document Dönitz-33. It does not deal, as Sir
-David mentioned yesterday, with the sinking of a hospital ship by a
-Russian U-boat, but it concerns the sinking of a German transport ship
-which carried wounded. This sinking was, therefore, completely justified
-and I would like to show with this document that the Naval Operations
-Staff did not for a moment consider it unjustified. I believe, Mr.
-President, that I shall have to speak in more detail about the Documents
-Dönitz-37, 38, and 40, for it is precisely these documents which have
-been objected to by the Prosecution, because they show the conduct of
-the Allies in certain war measures.
-
-THE PRESIDENT: Dr. Kranzbühler, as I have told you more than once, the
-Tribunal does not wish to hear you on each individual document. We have
-already considered the documents and we want you to deal with them in
-groups. You have already given us the documents in a group and have
-indicated to what subject they relate.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, may I at least mention the
-documents of the Prosecution to which my documents refer?
-
-THE PRESIDENT: Yes, certainly.
-
-FLOTTENRICHTER KRANZBÜHLER: Dönitz-37 refers to a document of the
-Prosecution, Exhibit GB-638. That is the statement by Admiral Dönitz
-concerning the case of the _Athenia_. At the end of that statement the
-question of the punishment of the U-boat commander is mentioned and the
-Prosecution apparently accuses Admiral Dönitz of not punishing the
-commander except in a disciplinary manner. I want to prove with this
-Document Dönitz-37 that a commanding officer will tolerate certain war
-measures once even if they were not correct or at least partly not
-correct.
-
-Dönitz-38 is in connection with Document Dönitz-39, which has not been
-objected to by the Prosecution. It brings out only one detail from the
-Document Dönitz-39. This document states the attitude of the Naval
-Operations Staff to alleged reports about the Allies’ firing on
-survivors and similar incidents. By Dönitz-38 I only intend to show that
-the very careful attitude of the Naval Operations Staff was not based on
-lack of proof for they even had affidavits to prove it, and in spite of
-that rejected any possibility of reprisals.
-
-Dönitz-40 is in connection with Document Dönitz-42 which I submitted and
-against which no objection has been raised. In this document quite sober
-considerations are raised as to whether survivors could be fired on or
-not. I should like to show that such considerations perhaps appear
-inhumane and impossible after a war, but that during war such questions
-are examined and in certain cases are answered in the affirmative,
-according to military necessity.
-
-The next two documents, Göring-7, on Page 89, and C-21, on Page 91, deal
-with the document of the Prosecution, Exhibit GB-205. That was a radio
-message concerning the sinking of an Allied sailing cutter. GB-205 is on
-Page 53 of the Prosecution’s document book. The Prosecution in
-connection with this document has accused our naval warfare command of
-trying to terrorize the crews of neutral ships. Both my documents,
-Göring-7 and C-21, give only a few examples to the effect that that
-terrorizing is nothing illegal but that naturally each belligerent in
-taking military measures considers the psychological effect of these
-measures on the enemy.
-
-The next group is Document Dönitz-43, on Page 95; Dönitz-90, on Page
-258, and Dönitz-67, on Page 96. They all deal with the subject of
-whether a ship is obliged to carry out rescues if this would endanger
-the ship itself, and relates to the document of the Prosecution, GB-196
-on Page 33 of the document book of the Prosecution and GB-199 on Page 36
-of the Prosecution’s book. They show first the methods of the British
-navy...
-
-THE PRESIDENT: Dr. Kranzbühler, you have told us the subject they relate
-to. That is to say, they relate to the subject whether a ship is obliged
-to rescue if in danger, and that, you say, is an answer to GB-196 and
-199. Why should you tell us anything more than that?
-
-FLOTTENRICHTER KRANZBÜHLER: If that is sufficient, then I shall proceed,
-Mr. President. The last document in this group is Dönitz-53, Page 99. It
-is a statement signed by some 60 U-boat commanders from an English
-prisoner-of-war camp, and it deals with the fact that they never
-received an order to kill survivors. The Prosecution objected to it
-because it was considered too general and was not sworn to. I believe
-that it contains a very concrete statement concerning the alleged order
-for destruction. Furthermore, it is an official report by the German
-commanders as prisoners of war to their superior, the English camp
-commandant; and I received it through the British War Office. I request
-the Tribunal particularly to approve this document, because it has a
-high probative and moral value for myself and for my client.
-
-The last group of the documents objected to comes under the heading
-“Conspiracy.” It is in the document book, Volume II, Mr. President,
-Dönitz-47, and relates to Exhibit GB-212. Dönitz-47 is on Page 120. The
-document of the Prosecution is Exhibit GB-212. On Page 75 an incident is
-mentioned, namely, that Admiral Dönitz approved the fact that a traitor
-in a prisoner-of-war camp was done away with. Dönitz-47 will show that
-the removal of traitors is an emergency measure which is approved by all
-governments in time of war.
-
-Dönitz-48 deals with the subject of the treatment of prisoners of war.
-It is related to the document of the Prosecution, Exhibit GB-209.
-Dönitz-48 is on Page 122 in my document book, and GB-209 is on Page 68
-of the document book of the Prosecution. In connection with GB-209,
-which deals with the possibility of abandoning the Geneva Convention,
-the Prosecution accuses Dönitz of wanting to risk the lives of 150,000
-American and over 50,000 British prisoners of war without scruple. In my
-opinion, it is not sufficient merely to dispute such a statement which
-is made by the Prosecution, but I must prove that those prisoners of war
-for whom Admiral Dönitz himself was responsible were not only treated
-according to international law but in an exemplary manner and as can be
-seen from a British statement, which is contained in evidence, “with
-fairness and consideration.”
-
-The next document Dönitz-49 deals with the treatment of native
-populations. It is on Page 130. It is relevant to the documents of the
-Prosecution GB-210, Prosecution document book Page 69, and GB-211,
-Prosecution document book Page 72. According to these two documents of
-the Prosecution Admiral Dönitz is connected with the conspiracy for
-committing crimes against the native populations of occupied
-territories. Here again, I would like to show that in that sector for
-which he was personally responsible, he did everything necessary to
-protect the inhabitants of the occupied territories. Therefore I have
-submitted evidence concerning the sentences imposed by the naval courts
-for the protection of the inhabitants, which have been confirmed by
-Admiral Dönitz even in the case of death sentences against German
-soldiers.
-
-The Prosecution states that this document is also very general. The
-document has an appendix with about 80 individual examples of sentences.
-I have not included these examples, in order to save the translators
-this work; but if the Tribunal considers it necessary, I will certainly
-have that appendix translated.
-
-The last group contains Dönitz-51, on Page 134, and Dönitz-52, on Page
-135. They are in connection with the Prosecution’s Document GB-188, on
-Page 10 of the British document book. That is the speech made by Admiral
-Dönitz on the occasion of Adolf Hitler’s death. In connection with that
-document and another, the Prosecution has accused him of being a
-fanatical Nazi and, as such, of prolonging the war at the expense of the
-men, women, and children of his country. The very documents of the
-Prosecution, however, show that he considered a delay of capitulation
-necessary in order to make it possible to get as many people as possible
-from the East to the West and thus bring them to safety.
-
-The Documents Dönitz-51 and Dönitz-52 will prove that in fact many
-hundreds of thousands, if not millions, of German people were brought to
-safety during these last weeks of the war.
-
-THE PRESIDENT: We shall see that from the documents presumably. That is
-part of the details in the documents, isn’t it, what you say?
-
-FLOTTENRICHTER KRANZBÜHLER: I do not need to say anything further about
-it, Mr. President.
-
-THE PRESIDENT: Are these all the documents? Dr. Kranzbühler, the
-Tribunal is inclined to think that it would save time after the Tribunal
-has ruled upon these documents, if you called the Defendant Dönitz
-first. Would you be willing to do that?
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I was not prepared for it,
-but I am in a position to do so.
-
-THE PRESIDENT: Well, the object of it of course is to try and save time,
-and the Tribunal thinks that in the course of the examination of the
-defendant a considerable number of these documents might possibly be
-dealt with in the course of direct and cross-examination.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. The difficulty, however,
-is that during the examination of Admiral Dönitz I should like to count
-on the knowledge of the contents of the documents; and I should also
-like to discuss some documents with him. But I do not know whether the
-Tribunal will approve these documents now or not.
-
-THE PRESIDENT: But what I am suggesting is that the Tribunal should
-consider now the relevance of these documents, the admissibility of
-these documents, and then tell you—make a rule—as to what documents
-are admitted. You will then know what documents are admitted. Then you
-can call Admiral Dönitz and of course examine him with reference to the
-documents which are admitted; and as I have told you, the Tribunal has
-already looked at these documents. They will now reconsider them, in
-order to see whether they are admissible, and the Tribunal will in that
-way, to a large extent, be fully acquainted with the documents.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, I agree to that, Mr. President. I will
-call Admiral Dönitz if the Tribunal deems it proper.
-
-THE PRESIDENT: Dr. Kranzbühler, you have been dealing with a Document
-Dönitz-60, which contains a great number of pages to which you wish to
-refer. When we have ruled upon them you will have to give separate
-exhibit numbers to each one of the documents—to each one of the pages
-which we will rule are admissible and which you wish to offer in
-evidence.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, may I point out that this is
-one book. Dönitz-60 is one book. That is why I have not given it an
-exhibit number, because I submit it as one.
-
-THE PRESIDENT: Yes, but it contains so many pages that it will be more
-convenient, will it not, to give each separate page a separate exhibit
-number?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: It seems to relate to a great variety of subjects.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, a collection of documents.
-
-THE PRESIDENT: Now as you dealt with the various subjects in entirely
-different order than the way in which Sir David Maxwell-Fyfe dealt with
-them, I think it would be convenient if we heard anything he wants to
-say about it. Only if you do wish to say something, Sir David.
-
-SIR DAVID MAXWELL-FYFE: Certainly, My Lord. My Lord, I have heard the
-Tribunal say that they have had an opportunity of examining the
-documents and therefore I propose to be extremely brief in any remarks I
-have to make: and may I make one explanation before I deal with the very
-few points?
-
-My friend, Colonel Pokrovsky, wanted to make it clear—as I think it was
-clear to the Tribunal yesterday—that there had been no objection to
-Documents 3 and 4 because in these they deal with a secret base in the
-North which is only of importance for the attacks against wood
-transports from the North Russian ports. The objectionable matter, as I
-think the Tribunal pointed out, was introduced in a statement of Dr.
-Kranzbühler which has no foundation in the documents. Colonel Pokrovsky
-was very anxious that I should make that clear on behalf of the
-Prosecution.
-
-My Lord, I think there are really only two points which I need emphasize
-in reply to the Tribunal. The first is on my Group 3, the details of the
-Contraband Control System. My Lord, I submit that on this there is an
-essential _non sequitur_ in Dr. Kranzbühler’s argument. He says that,
-first of all, the carrying of contraband by merchant ships, to carry his
-argument to its logical conclusion, would entitle a belligerent to
-sinking at sight. That, I submit, with great respect to him, is
-completely wrong; and it does not follow that because you establish
-certain rules and lists of contraband that the right to sink at sight is
-affected at all.
-
-Similarly, his second point with regard to the British navicert system.
-That system was used in World War I and is a well-known system. But
-again, the essential _non sequitur_ or absence of connection is this,
-that if a neutral goes to one of the control ports and gets a navicert,
-that does not put that neutral into so un-neutral an act as to make it
-the equivalent of a ship of war, which is the position that my
-friend—that Dr. Kranzbühler—would have to take if that argument were
-to succeed.
-
-His third division wishes to put in documents showing economic pressures
-on, for example, Belgium, with regard to the import of goods. The naval
-defendants are not being charged with economic pressure; they are
-charged with killing people on the high seas. Now again, I have dealt
-with it very shortly, and the Prosecution submits and takes the view
-very strongly that the whole of that documentary evidence is several
-steps removed from the issues in the case.
-
-Now the second group of matters which I wanted to refer to. I can take
-as an example the document making several score of allegations of
-un-neutral acts against the United States. The case for the Prosecution
-on sinking at sight is that sinking at sight against various groups of
-neutrals was adopted as a purely political matter, according to the
-advantage or, when it was abstained from, the disadvantage which Germany
-might get from her relations with these neutrals. And it does not help
-in answering that allegation of the Prosecution. That is a matter of
-fact which can be judged, whether the Prosecution is right. It does not
-help on that to say that the United States committed certain nonneutral
-acts. If anything, it would be supporting the contention of the
-Prosecution that sinking on sight was applied arbitrarily according to
-the political advantages which could be obtained from it.
-
-And the only other point—and again my friend, Colonel Pokrovsky, wishes
-me to emphasize it—is that these, the collection of unsworn statements,
-are of course in a very different position, from any legal standard,
-from reports made by officers in the course of their duty. Those are
-admissible in all military courts, probably in every country in the
-world. These are an _ad hoc_ collection. They are not only unsworn but
-they are vague, indefinite, and insufficiently related to the order
-which is adhered to in the case of the Prosecution.
-
-My Lord, I have tried to cut it very short, but I did want the Tribunal
-to appreciate that on all these groups and especially, if I may say so,
-on Groups 3 and 4, the Prosecution feels very strongly on this matter in
-the case. I am grateful to the Tribunal for giving me the opportunity of
-saying this.
-
-THE PRESIDENT: The Tribunal will adjourn.
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-MARSHAL: If it please the Tribunal, the Defendant Streicher is absent
-from this session.
-
-THE PRESIDENT: I will deal with the documents in the order in which they
-were dealt with by Fleet Judge Kranzbühler.
-
-The Tribunal rejects Dönitz-5, Page 7 of the document book.
-
-The Tribunal rejects Dönitz-60, Page 152.
-
-The Tribunal allows Dönitz-69, Page 170.
-
-The Tribunal rejects Dönitz-60, Pages 173 to 197.
-
-The Tribunal rejects Dönitz-72, Page 185.
-
-The Tribunal rejects Dönitz-60, Page 204.
-
-It rejects Dönitz-74, Page 207.
-
-It allows Dönitz-60, Page 208.
-
-It rejects Dönitz-60, Page 209.
-
-It rejects Dönitz-75, Page 218.
-
-It rejects Dönitz-60, Page 219, Page 222 and Page 224.
-
-It allows Dönitz-60, Page 256.
-
-It rejects Dönitz-81, Page 233 and 234; 234 being Dönitz-82.
-
-It rejects Dönitz-85, Page 242.
-
-It rejects Dönitz-89, Page 246.
-
-It allows Dönitz-9, Page 11, and Dönitz-10, Page 12.
-
-It rejects Dönitz-12, Page 18.
-
-It allows Dönitz-13, Pages 19 to 26, and Page 49.
-
-It allows Dönitz-19, Page 34.
-
-It allows Dönitz-29, Pages 54 to 59, leaving out—that is to say, not
-allowing—Page 58.
-
-It rejects Dönitz-31, Page 64.
-
-It rejects Dönitz-32, Page 65.
-
-It rejects Dönitz-33, Page 66.
-
-It allows Dönitz-37, Page 78.
-
-It rejects Dönitz-38, Page 80.
-
-It rejects Dönitz-40, Page 86.
-
-It rejects Göring Number 7, Page 89.
-
-With reference to the next exhibit, Page 91, the Tribunal would like to
-know from Fleet Judge Kranzbühler whether that is already in evidence or
-not. It is Page 91 in the Dönitz Document Book in English, Volume II,
-Page 91.
-
-It is headed “C-21, GB-194.”
-
-FLOTTENRICHTER KRANZBÜHLER: That is an excerpt from a document which the
-Prosecution has submitted here and which is therefore already in
-evidence.
-
-THE PRESIDENT: Very well, then; we need not be troubled about it.
-
-The Tribunal rejects Dönitz-43, Page 95.
-
-It allows Dönitz-90, Page 258.
-
-It allows Dönitz-67, Page 96.
-
-It allows Dönitz-53, Page 99.
-
-It rejects Dönitz-47, Page 120.
-
-It allows Dönitz-48, Page 122.
-
-It rejects Dönitz-49, Page 131.
-
-It rejects Dönitz-51 and 52, Pages 134 and 135.
-
-That is all.
-
-The Tribunal will adjourn today at a quarter to five and it will be
-sitting in closed session thereafter.
-
-FLOTTENRICHTER KRANZBÜHLER: With the permission of the Tribunal, I call
-Admiral Dönitz as witness.
-
-[_The Defendant Dönitz took the stand._]
-
-THE PRESIDENT: Will you state your full name?
-
-KARL DÖNITZ (Defendant): Karl Dönitz.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The defendant repeated the oath in German._]
-
-THE PRESIDENT: You may sit down.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, since 1910 you have been a
-professional officer; is that correct?
-
-DÖNITZ: Since 1910 I have been a professional soldier, and an officer
-since 1913.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes. During the World War, the first World
-War, were you with the U-boat service?
-
-DÖNITZ: Yes, from 1916.
-
-FLOTTENRICHTER KRANZBÜHLER: Until the end?
-
-DÖNITZ: Until the end of the war.
-
-FLOTTENRICHTER KRANZBÜHLER: After the first World War, when did you
-again have contact with the U-boat service?
-
-DÖNITZ: On 27 September 1935 I became the commanding officer of the
-U-boat Flotilla Weddigen, the first German U-boat flotilla after 1918.
-As an introduction to taking up that command, that is, in September
-1935, I spent a few days in Turkey, in order to go there in a U-boat and
-to bridge the gap from 1918.
-
-FLOTTENRICHTER KRANZBÜHLER: Thus from 1918 to 1935 you had nothing to do
-with U-boats?
-
-DÖNITZ: No, nothing at all.
-
-FLOTTENRICHTER KRANZBÜHLER: What was your rank when you went to the
-U-boat service in 1935?
-
-DÖNITZ: I was a Fregattenkapitän.
-
-FLOTTENRICHTER KRANZBÜHLER: What did the German U-boat service at that
-time consist of?
-
-DÖNITZ: The U-boat Flotilla Weddigen, of which I became the commanding
-officer, consisted of three small boats of 250 tons each, the so-called
-“Einbäume.” Besides, there were six somewhat smaller boats which were in
-a U-boat school, which was not under my command, for the purpose of
-training. Then there were afloat and in service perhaps another six of
-these small boats.
-
-FLOTTENRICHTER KRANZBÜHLER: Who informed you of that command as C. O. of
-the U-boat flotilla?
-
-DÖNITZ: Admiral Raeder.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Admiral Raeder on that occasion issue
-the order that the U-boat arm should be prepared for a specific war?
-
-DÖNITZ: No. I merely received the order to fill in that gap from 1918,
-to train the U-boats for the first time in cruising, submersion, and
-firing.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you prepare the U-boats for war against
-merchant shipping?
-
-DÖNITZ: Yes. I instructed the commanders as to how they should behave if
-they stopped a merchantman and I also issued an appropriate tactical
-order for each commander.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you mean to say that the preparation for
-war against merchantmen was a preparation for war according to Prize
-Regulations?
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: That is to say, the preparations were
-concerned with the stopping of ships on the surface?
-
-DÖNITZ: The only instruction which I gave concerning the war against
-merchantmen was an instruction on how the U-boat should behave in the
-stopping and examining, the establishing of the destination and so on,
-of a merchantman. Later, I believe in the year 1938, when the draft of
-the German Prize Regulations came, I passed this on to the flotillas for
-the instruction of the commanders.
-
-FLOTTENRICHTER KRANZBÜHLER: You developed a new tactic for U-boats which
-became known under the name “wolf pack tactics.” What was there to these
-pack tactics, and did that mean anything in connection with the warfare
-against merchantmen according to the Prize Regulations?
-
-DÖNITZ: The U-boats of all navies had so far operated singly, contrary
-to all other categories of ships which, by tactical co-operation, tried
-to get better results. The development of the “wolf pack tactics” was
-nothing further than breaking with that principle of individual action
-for each U-boat and attempting to use U-boats exactly in the same manner
-as other categories of warships, collectively. Such a method of
-collective action was naturally necessary when a formation was to be
-attacked, be it a formation of warships, that is, several warships
-together, or a convoy. These “wolf pack tactics,” therefore, have
-nothing to do with war against merchantmen according to Prize
-Regulations. They are a tactical measure to fight formations of ships,
-and, of course, convoys, where procedure according to Prize Regulations
-cannot be followed.
-
-FLOTTENRICHTER KRANZBÜHLER: Were you given the mission, or even obliged
-to prepare for war, against a definite enemy?
-
-DÖNITZ: I did not receive such a general mission. I had the mission of
-developing the U-boat service as well as possible, as it is the duty of
-every front-line officer of all armed forces of all nations, in order to
-be prepared against all war emergencies. Once, in the year 1937 or 1938,
-in the mobilization plan of the Navy, my order read that, in case France
-should try to interrupt the rearmament by an attack on Germany, it would
-be the task of the German U-boats to attack the transports in the
-Mediterranean which would leave North Africa for France. I then carried
-out maneuvers in the North Sea with this task in mind. If you are asking
-me about a definite aim or line of action, that, so far as I remember,
-was the only mission which I received in that respect from the Naval
-Operations Staff. That occurred in the year 1936 or 1937. According to
-my recollection, that plan had been issued lest the rearmament of
-Germany, at that time unarmed, might be interrupted by some measure or
-other.
-
-FLOTTENRICHTER KRANZBÜHLER: In the year 1939, then, was the German
-U-boat service prepared technically and tactically for a naval war
-against England?
-
-DÖNITZ: No. The German U-boat service, in the fall of 1939, consisted of
-about thirty to forty operational boats. That meant that at any time
-about one-third could be used for operations. In view of the harsh
-reality the situation seemed much worse later. There was one month, for
-instance, when we had only two boats out at sea. With this small number
-of U-boats it was, of course, only possible to give pinpricks to a great
-naval power such as England. That we were not prepared for war against
-England in the Navy, is, in my opinion, best and most clearly to be seen
-from the fact that the armament of the Navy had to be radically changed
-at the beginning of the war. It had been the intention to create a
-homogeneous fleet which, of course, since it was in proportion much
-smaller than the British fleet, was not capable of waging a war against
-England. This program for building a homogeneous fleet had to be
-discontinued when the war with England started; only these large ships
-which were close to completion were finished. Everything else was
-abandoned or scrapped. That was necessary in order to free the building
-capacity for building U-boats. And that, also, explains why the German
-U-boat war, in this last war, actually only started in the year 1942,
-that is to say, when the U-boats which had been ordered for building at
-the beginning of the war were ready for action. Since peacetime, that is
-in 1940, the replacement of U-boats hardly covered the losses.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution has repeatedly termed the
-U-boat arm an aggressive weapon. What do you say to this?
-
-DÖNITZ: Yes, that is correct. The U-boat has, of course, the assignment
-of approaching an enemy and attacking him with torpedoes. Therefore, in
-that respect, the U-boat is an aggressive weapon.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you mean to say by that that it is a
-weapon for an aggressive war?
-
-DÖNITZ: Aggressive or defensive war is a political decision and,
-therefore, it has nothing to do with military considerations. I can
-certainly use a U-boat in a defensive war because, in defensive war
-also, the enemy’s ships must be attacked. Of course, I can use a U-boat
-in exactly the same way in a politically aggressive war. If one should
-conclude that the navies which have U-boats are planning an aggressive
-war, then all nations—for all the navies of these nations had U-boats,
-in fact many had more than Germany, twice and three times as
-many—planned aggressive war.
-
-FLOTTENRICHTER KRANZBÜHLER: In your capacity as Flag Officer of U-boats,
-did you yourself have anything to do with the planning of the war as
-such?
-
-DÖNITZ: No, nothing at all. My task was to develop U-boats militarily
-and tactically for action, and to train my officers and men.
-
-FLOTTENRICHTER KRANZBÜHLER: Before the beginning of this war did you
-give any suggestions or make any proposals concerning a war against a
-definite enemy?
-
-DÖNITZ: No, in no instance.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you do so after this war had started
-concerning a new enemy?
-
-DÖNITZ: No, not in that case either.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution has submitted some documents
-which contain orders from you to the U-boats and which date from before
-the beginning of this war. An order for the placing of certain U-boats
-in the Baltic and west of England, and an order before the Norway action
-for the disposition of U-boats along the Norwegian coast. I ask you,
-therefore, when, at what time, were you as Flag Officer of U-boats, or
-from 1939 on as Commander of U-boats, informed about existing plans?
-
-DÖNITZ: I received information on plans from the Naval Operations Staff
-only after these plans had been completed; that is to say, only if I was
-to participate in some way in the carrying out of a plan, and then only
-at a time necessary for the prompt execution of my military task.
-
-FLOTTENRICHTER KRANZBÜHLER: Let us take the case of the Norway action,
-Admiral. When did you find out about the intention to occupy Norway, and
-in what connection did you receive that information?
-
-DÖNITZ: On 5 March 1940 I was called from Wilhelmshaven, where I had my
-command, to Berlin, to the Naval Operations Staff, and at that meeting I
-was instructed on the plan and on my task.
-
-FLOTTENRICHTER KRANZBÜHLER: I present you now with an entry from the War
-Diary of the Naval Operations Staff, which I will submit to the Tribunal
-as Dönitz Exhibit Number 6. It is on Page 8 of Document Book 1.
-
- “5 March 1940: The Flag Officer of U-boats participates in a
- conference with the Chief of Staff of the Naval Operations Staff
- in Berlin.
-
- “Object of the conference: Preparation of the occupation of
- Norway and Denmark by the German Wehrmacht.”
-
-Is that the meeting which you have mentioned?
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: In the case of Norway, or in the previous
-case of the outbreak of war with Poland, did you have the opportunity to
-examine whether the tactical instructions which you had to give to your
-U-boats led or were to lead to the waging of an aggressive war?
-
-DÖNITZ: No, I had neither the opportunity nor indeed the authority to do
-that. I should like to ask what soldier of what nation, who receives any
-military task whatsoever, has the right to approach his general staff
-and ask for examination or justification as to whether an aggressive war
-can evolve from this task. That would mean that the soldiers...
-
-THE PRESIDENT: Dr. Kranzbühler, the Tribunal has itself to decide as a
-matter of law whether the war was an aggressive war. It does not want to
-hear from this witness, who is a professional sailor, what his view is
-on the question of law.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I believe my question has
-been misunderstood. I did not ask Admiral Dönitz whether he considered
-the war an aggressive war or not; but I asked him whether he had the
-opportunity or the task, as a soldier, of examining whether his orders
-could become the means for an aggressive war. He, therefore, should
-state his conception of the task which he had as a soldier, and not of
-the question of whether it was or was not an aggressive war.
-
-THE PRESIDENT: He can tell us what his task was as a matter of fact, but
-he is not here to argue the case to us. He can state the facts—what he
-did.
-
-FLOTTENRICHTER KRANZBÜHLER: Does one not also, Mr. President, have to
-allow a defendant to say what considerations he had or what
-considerations he did not have? What I mean is that the accusations of
-the Prosecution arise from this, and the defendant must have the
-opportunity of stating his position regarding these accusations.
-
-THE PRESIDENT: We want to hear the evidence. You will argue his case on
-his behalf on the evidence that he gives. He is not here to argue the
-law before us. That is not the subject of evidence.
-
-FLOTTENRICHTER KRANZBÜHLER: I shall question him on his considerations,
-Mr. President.
-
-Admiral, in connection with the orders which you issued to the U-boats
-before the war or in connection with the orders which you issued before
-the beginning of the Norway action—did you ever have any considerations
-as to whether it would lead to aggressive war?
-
-DÖNITZ: I received military orders as a soldier, and my purpose
-naturally was to carry out these military tasks. Whether the leadership
-of the State was thereby politically waging an aggressive war or not, or
-whether they were protective measures, was not for me to decide; it was
-none of my business.
-
-FLOTTENRICHTER KRANZBÜHLER: As Commander of U-boats, from whom did you
-receive your orders about the waging of U-boat warfare?
-
-DÖNITZ: From the Chief of the SKL, the Naval Operations Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: Who was that?
-
-DÖNITZ: Grossadmiral Raeder.
-
-FLOTTENRICHTER KRANZBÜHLER: What were the orders which you received at
-the beginning of the war, that is, the beginning of September 1939, for
-the conduct of U-boat warfare?
-
-DÖNITZ: War against merchantmen according to the Prize Regulations, that
-is to say, according to the London Pact.
-
-FLOTTENRICHTER KRANZBÜHLER: What ships, according to that order, could
-you attack without previous warning?
-
-DÖNITZ: At that time I could attack without warning all ships which were
-guarded either by naval vessels or which were under air cover.
-Furthermore, I was permitted to exercise armed force against any ship
-which, when stopped, sent radio messages, or resisted the order to stop,
-or did not obey the order to stop.
-
-FLOTTENRICHTER KRANZBÜHLER: Now, there is no doubt that, a few weeks
-after the beginning of the war, the war against merchantmen was
-intensified. Did you know whether such an intensification was planned,
-and if you do, why it was planned?
-
-DÖNITZ: I knew that the Naval Operations Staff intended, according to
-events, according to the development of the enemy’s tactics, to
-retaliate blow for blow, as it says or said in the order, by intensified
-action.
-
-FLOTTENRICHTER KRANZBÜHLER: What were the measures of the enemy and, on
-the other hand, what were your own experiences with the measures taken
-by the enemy which led to an intensification of action?
-
-DÖNITZ: Right at the beginning of the war it was our experience that all
-merchantmen not only took advantage of their radio installations when an
-attempt was made to stop them, but that they immediately sent messages
-as soon as they saw any U-boat on the horizon. It was absolutely clear,
-therefore, that all merchantmen were co-operating in the military
-intelligence service. Furthermore, only a few days after the beginning
-of the war we found out that merchantmen were armed and made use of
-their weapons.
-
-FLOTTENRICHTER KRANZBÜHLER: What orders on the part of Germany resulted
-from these experiences?
-
-DÖNITZ: They first brought about the order that merchantmen which sent
-radio messages on being stopped could be attacked without warning. They
-also brought about the order that merchantmen whose armament had been
-recognized beyond doubt, that is, whose armament one knew from British
-publication, could be attacked without warning.
-
-FLOTTENRICHTER KRANZBÜHLER: This order concerning attacks on armed
-merchantmen was issued on 4 October 1939; is that right?
-
-DÖNITZ: I believe so.
-
-FLOTTENRICHTER KRANZBÜHLER: Was there a second order, soon after that,
-according to which all enemy merchantmen could be attacked, and why was
-that order issued?
-
-DÖNITZ: I believe that the Naval Operations Staff decided on this order
-on the basis of the British publication which said that now the arming
-of merchantmen was completed. In addition, there was a broadcast by the
-British Admiralty on 1 October to the effect that the merchantmen had
-been directed to ram German U-boats and furthermore—as stated at the
-beginning—it was clear beyond doubt that every merchantman was part of
-the intelligence service of the enemy, and its radio messages at sight
-of a U-boat determined the use of surface or air forces.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you have reports about that from
-U-boats, according to which U-boats were actually endangered by these
-tactics of enemy merchantmen and were attacked by enemy surface or air
-forces?
-
-DÖNITZ: Yes. I had received quite a number of reports in this
-connection, and since the German measures were always taken about 4
-weeks after it had been recognized that the enemy employed these
-tactics, I had very serious losses in the meantime—in the period when I
-still had to keep to the one-sided and, for me, dangerous obligations.
-
-FLOTTENRICHTER KRANZBÜHLER: By these obligations, are you referring to
-the obligation to wage war against merchantmen according to the Prize
-Regulations during a period when the enemy’s merchant ships had
-abandoned their peaceful character?
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you protest later against the directives
-of the Naval Operations Staff which led to an intensification of the war
-on merchantmen, or did you approve these directives?
-
-DÖNITZ: No, I did not protest against them. On the contrary, I
-considered them justified, because, as I said before, otherwise I would
-have had to remain bound to an obligation which was one-sided and meant
-serious losses for me.
-
-FLOTTENRICHTER KRANZBÜHLER: Was this intensification of the war against
-merchantmen by the order to fire on armed merchantmen, and later the
-order to attack all enemy merchantmen, based on the free judgment of the
-Naval Operations Staff, or was it a forced development?
-
-DÖNITZ: This development, as I have said before, was entirely forced. If
-merchantmen are armed and make use of their arms, and if they send
-messages which summon protection, they force the U-boat to submerge and
-attack without warning.
-
-That same forced development, in the areas which we patrolled, was also
-the case with the British submarines, and applied in exactly the same
-way to American and Russian submarines.
-
-FLOTTENRICHTER KRANZBÜHLER: If, on one side, a merchantman sends a
-message and opens fire, and on the other side the submarine, for that
-reason, attacks without warning, which side has the advantage of this
-development, according to your experience? The side of the merchantman
-or the side of the submarine?
-
-DÖNITZ: In an ocean area where there is no constant patrolling by the
-enemy, by naval forces of any kind or by aircraft, as along the coast,
-the submarine has the advantage. But in all other areas the ship
-acquires the main attack weapons against a submarine, and the submarine
-is therefore compelled to treat that ship as a battleship, which means
-that it is forced to submerge and loses its speed. Therefore, in all
-ocean areas, with the exception of coastal waters which can be
-constantly controlled, the advantage of arms lies with the merchantman.
-
-FLOTTENRICHTER KRANZBÜHLER: Are you of the opinion that the orders of
-the Naval Operations Staff actually remained within the limits of what
-was militarily necessary due to enemy measures, or did these orders go
-beyond military necessity?
-
-DÖNITZ: They remained absolutely within the bounds of what was
-necessary. I have explained already that the resulting steps were always
-taken gradually and after very careful study by the Naval Operations
-Staff. This very careful study may also have been motivated by the fact
-that for political reasons any unnecessary intensification in the West
-was to be avoided.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, these orders we have mentioned were
-based at that time only on German experiences and without an accurate
-knowledge of the orders which had been issued on the British side. Now,
-I should like to put these orders to you; we now have information on
-them through a ruling of the Tribunal, and I should like to ask you
-whether these individual orders coincide with your experiences or
-whether they are somewhat different. I submit the orders of the British
-Admiralty as Exhibit Dönitz-67. It is on Page 163 in Document Book 3. As
-you know, this is the Handbook of the British Navy of 1938, and I draw
-your attention to Page 164, to the paragraph on reporting the enemy.
-
-DÖNITZ: There is no pagination here.
-
-FLOTTENRICHTER KRANZBÜHLER: It is D. M. S. 3-1-55, the paragraph on
-radio. The heading is “Reporting the Enemy.”
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: I will read the paragraph to you:
-
- “As soon as the master of a merchant ship realizes that a ship
- or aircraft in sight is an enemy, it is his first and most
- important duty to report the nature and position of the enemy by
- wireless telegraph. Such a report promptly made may be the means
- of saving not only the ship herself but many others; for it may
- give an opportunity for the destruction of her assailant by our
- warships or aircraft, an opportunity which might not recur.”
-
-Then there are more details which I do not wish to read, on the manner
-and method, when and how these radio signals are to be given. Is this
-order in accordance with your experience?
-
-DÖNITZ: Yes. In this order, there is not only a directive to send
-wireless signals if the ship is stopped by a U-boat—that alone would,
-according to international law, justify the U-boat in employing armed
-force against the ship—but beyond that it is stated that as soon as an
-enemy ship is in sight this signal is to be transmitted in order that
-the naval forces may attack in time.
-
-FLOTTENRICHTER KRANZBÜHLER: So this order is in accord with the
-experiences which our U-boats reported?
-
-DÖNITZ: Entirely.
-
-FLOTTENRICHTER KRANZBÜHLER: I shall draw your attention now to the
-Paragraph D. M. S. 2-VII, on Page 165, that is the paragraph on opening
-fire: “Conditions under which fire may be opened.”
-
- “(a) Against enemy acting in accordance with international
- law.—As the armament is solely for the purpose of self-defense,
- it must only be used against an enemy who is clearly attempting
- to capture or sink the merchant ship. On the outbreak of war it
- should be assumed that the enemy will act in accordance with
- international law, and fire should therefore not be opened until
- he has made it plain that he intends to attempt capture. Once it
- is clear that resistance will be necessary if capture is to be
- averted, fire should be opened immediately.
-
- “(b) Against enemy acting in defiance of international law.—If,
- as the war progresses, it unfortunately becomes clear that in
- defiance of international law the enemy has adopted a policy of
- attacking merchant ships without warning, it will then be
- permissible to open fire on an enemy vessel, submarine, or
- aircraft, even before she has attacked or demanded surrender, if
- to do so will tend to prevent her gaining a favorable position
- for attacking.”
-
-Is this order, that is to say, the order “(a)” and “(b),” in accord with
-the experiences made?
-
-DÖNITZ: In practice no difference can be established between “(a)” and
-“(b).” I should like to draw attention in this connection to D. M. S.
-3-III, Page 167, under IV; that is the last paragraph of “(b)” of the
-number mentioned.
-
-FLOTTENRICHTER KRANZBÜHLER: One moment, do you mean “(b)-V”?
-
-DÖNITZ: It says here “(b)-IV”. There...
-
-FLOTTENRICHTER KRANZBÜHLER: That is not printed, Mr. President.
-
- DÖNITZ: “In ships fitted with a defensive armament, open fire to
- keep the enemy at a distance”—that is (b)-IV—“if you consider
- that he is clearly intending to effect a capture and that he is
- approaching so close as to endanger your chances of escape.”
-
-That means therefore that as soon as the ship sights a U-boat, which
-during war must be assumed to be there for a reason to effect a
-capture—the ship will, in its own defense, open fire as soon as it
-comes within range; that is when the submarine has come within range of
-its guns. The ship, in using its guns for an offensive action, can act
-in no other way.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, did the armed enemy vessels act
-then in the manner which you have described; that is, did they really
-fire as soon as a submarine came within range?
-
-DÖNITZ: Yes. As early as—according to my recollection, the first report
-came from a U-boat about that on 6 September 1939.
-
-FLOTTENRICHTER KRANZBÜHLER: With this order, however, we find a further
-supplement under AMS 1-118, dated 13 June 1940, on Page 165, and here we
-read:
-
- “With reference to D.M.S. Part 1, Article 53, it is now
- considered clear that in submarine and aerial operations the
- enemy has adopted a policy of attacking merchant ships without
- warning. Subparagraph (b) of this article should therefore be
- regarded as being in force.”
-
-That means, then, that the order which we read before, “(b)” was to be
-considered in effect only from 13 June 1940. Do you mean to say that
-actually before that, from the very beginning, you acted according to
-the order “(b)”?
-
-DÖNITZ: I have already stated that between an offensive and defensive
-use of armament on the part of a ship against a submarine, there is
-practically no difference at all, that it is a purely theoretical
-differentiation. But even if one did differentiate between them, then
-beyond doubt the Reuter report—I believe dated 9 September—which said
-incorrectly that we were conducting unlimited submarine warfare was
-designated to inform ships’ captains that now case “(b)” was valid.
-
-FLOTTENRICHTER KRANZBÜHLER: I put to you now a directive on the handling
-of depth charges on merchant ships. It is on Page 168, the reference
-list. The heading is “Reference List (D),” the date is “14 September
-1939.” I read:
-
- “The following instructions have been sent out to all W.P.S.’s:
- It has now been decided to fit a single depth charge chute, with
- hand release gear and supplied with 3 charges, in all armed
- merchant vessels of 12 knots or over.”
-
-Then there are more details and at the end a remark about the training
-of the crews in the use of depth charges. The distribution list shows
-numerous naval officers.
-
-Did you experience this use of depth charges by merchant vessels and
-were such depth charge attacks by merchant ships observed?
-
-DÖNITZ: Yes, repeatedly.
-
-FLOTTENRICHTER KRANZBÜHLER: Speaking of a ship with a speed of 12 knots
-or more, can one say that a depth charge attack against a U-boat is a
-defensive measure?
-
-DÖNITZ: No. Each depth charge attack against a submarine is definitely
-and absolutely an offensive action; for the submarine submerges and is
-harmless under water, while the surface vessel which wants to carry out
-the depth charge attack approaches as closely as possible to the
-position where it assumes the U-boat to be, in order to drop the depth
-charge as accurately as possible on top of the U-boat. A destroyer, that
-is, a warship, does not attack a submarine in any different way.
-
-FLOTTENRICHTER KRANZBÜHLER: You are therefore basing the manner in which
-you attacked enemy ships on these tactics employed by enemy merchantmen.
-However, neutral ships also suffered, and the Prosecution charges the
-German U-boat command expressly with this. What do you have to say to
-that?
-
-DÖNITZ: Neutral merchantmen, according to the political orders, the
-orders of the Naval Operations Staff, were only attacked without warning
-when they were found in operational zones which had been definitely
-designated as such, or naturally only when they did not act as neutrals
-should, but like ships which were participating in the war.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution has offered a document in
-evidence, according to which, in certain ocean areas, attack without
-warning against neutrals was authorized, beginning January 1940. I am
-referring to Prosecution Document GB-194. I will read to you the
-sentence which the Prosecution is holding against you.
-
-THE PRESIDENT: Can you tell us where it is?
-
-FLOTTENRICHTER KRANZBÜHLER: It is in the British document book, Page 30,
-Mr. President. In the document book of the Prosecution, Page 30.
-
-[_Turning to the defendant._] I will read you the sentence which is held
-against you:
-
- “In the Bristol Channel, attack without warning has been
- authorized against all ships where it is possible to claim that
- mine hits have taken place.”
-
-This order is dated 1 January 1940. Can you tell me whether at that time
-neutrals had already actually been warned against using this shipping
-lane?
-
-DÖNITZ: Yes. Germany had sent a note to the neutrals on 24 November
-1939, warning them against using these lanes and advising neutrals to
-use the methods of the United States, whereby American ships—in order
-to avoid any incidents—had been forbidden to enter the waters around
-England.
-
-FLOTTENRICHTER KRANZBÜHLER: I will hand you the note of which you speak,
-and I will at the same time submit it to the Tribunal as Exhibit
-Dönitz-73, to be found on Page 206 of the document book. It is in
-Document Book 4, Page 206.
-
-This is an excerpt from the War Diary of the Naval Operations Staff,
-dated 24 November 1939. It has the following text:
-
- “To the Missions, according to enclosed list.
-
- “Telegram.
-
- “Supplement to wire release of 22 October.
-
- “Please inform the Government there of the following:
-
- “Since the warning issued on (date to be inserted here)
- regarding the use of English and French ships, the following two
- new facts are to be recorded:
-
- “a) The United States has forbidden its ships to sail in a
- definitely defined area.
-
- “b) Numerous enemy merchant ships have been armed. It is known
- that these armed ships have instructions to use their weapons
- aggressively and to ram U-boats.
-
- “These two new facts give the Reich Government occasion to renew
- and emphasize its warning, that in view of the increasingly
- frequent engagements, waged with all means of modern war
- technique, in waters around the British Isles and in the
- vicinity of the French coast, the safety of neutral ships in
- this area can no longer be taken for granted.
-
- “Therefore the German Government urgently recommends the choice
- of the route south and east of the German-proclaimed danger
- zone, when crossing the North Sea.
-
- “In order to maintain peaceful shipping for neutral states and
- in order to avoid loss of life and property for the neutrals,
- the Reich Government furthermore feels obliged to recommend
- urgently legislative measures following the pattern of the U.S.
- Government, which in apprehension of the dangers of modern
- warfare, forbade its ships to sail in an exactly defined area,
- in which, according to the words of the President of the United
- States, the traffic of American ships may seem imperiled by
- belligerent action.
-
- “The Reich Government must point out that it rejects any
- responsibility for consequences brought about by disregarding
- recommendations and warnings.”
-
-This is the note to which you referred, Admiral?
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: In other words, in your opinion, these
-sinkings in the Bristol Channel could be carried out lawfully as from 1
-January?
-
-DÖNITZ: Yes; these ocean areas were clearly limited areas in which
-hostilities took place continuously on both sides. The neutrals had been
-warned expressly against using these areas. If they entered this war
-area, they had to run the risk of being damaged. England proceeded
-likewise in its operational areas in our waters.
-
-FLOTTENRICHTER KRANZBÜHLER: Since you considered these sinkings legal,
-why was the order given to attack without being sighted, if possible, in
-order to maintain the fiction that mine hits had taken place? Doesn’t
-that indicate a bad conscience?
-
-DÖNITZ: No. During a war there is no basic obligation to inform the
-enemy with what means one does one’s fighting. In other words, this is
-not a question of legality, but a question of military or political
-expediency.
-
-England in her operational areas did not inform us either as to the
-means of fighting she uses or did use; and I know how many headaches
-this caused me when I was Commander-in-Chief of the Navy, later, in
-endeavoring to employ economically the small means we had.
-
-That is the principle. At that time when, as Commander of U-boats, I
-received this order to simulate mine hits where possible, I considered
-this as militarily expedient, because the counterintelligence were left
-in doubt as to whether mine sweepers or U-boat defense means were to be
-employed.
-
-In other words, it was a military advantage for the nation conducting
-the war, and today I am of the opinion that political reasons also may
-have influenced this decision, with the object of avoiding complications
-with neutral countries.
-
-FLOTTENRICHTER KRANZBÜHLER: How could complications with neutral
-countries come into being, in your opinion, if this naval warfare
-measure was a legal one?
-
-DÖNITZ: During the first World War we had experienced what part is
-played by propaganda. Therefore I think it possible that our Government,
-our political leaders, for this reason, too, may have issued this order.
-
-FLOTTENRICHTER KRANZBÜHLER: From your own experience you know nothing
-about these political reasons?
-
-DÖNITZ: Nothing at all.
-
-FLOTTENRICHTER KRANZBÜHLER: Up to now you have spoken about the orders
-which were received by the U-boats, first for combating enemy ships, and
-secondly for combating or searching neutral ships. Were these orders
-then actually executed? That was primarily your responsibility, was it
-not?
-
-DÖNITZ: No U-boat commander purposely transgressed an order, or failed
-to execute it. Of course, considering the large number of naval actions,
-which ran into several thousands within the 5½ years of war, a very few
-individual cases occurred in which, by mistake, such an order was not
-followed.
-
-FLOTTENRICHTER KRANZBÜHLER: How could such a mistake occur?
-
-DÖNITZ: Every sailor knows how easily mistakes in identification can
-occur at sea; not only during a war, but also in peacetime, due to
-visibility, weather conditions, and other factors.
-
-FLOTTENRICHTER KRANZBÜHLER: Is it also possible that submarines operated
-on the borders of the operational areas, although they were already
-outside these borders?
-
-DÖNITZ: That is, of course, also possible. For again every sailor knows
-that after a few days of bad weather, for instance, inaccuracy in the
-ship’s course happens very easily. This occurs, however, not only in the
-case of the submarine, but also of the ship, which perhaps is under the
-impression of having been outside the operational area when torpedoed.
-It is very difficult to establish the fact in such cases.
-
-FLOTTENRICHTER KRANZBÜHLER: What steps did you, as Commander of U-boats,
-take when you heard of such a case, a case in which a U-boat had
-transgressed its orders, even if by mistake?
-
-DÖNITZ: The main thing was the preventive measures, and that was done
-through training them to be thorough and to investigate quietly and
-carefully before the commander took action. Moreover, this training had
-already been carried on in peacetime, so that our U-boat organization
-bore the motto: “We are a respectable firm.”
-
-The second measure was that during the war every commander, before
-leaving port, and after returning from his mission, had to report to me
-personally. That is, before leaving port he had to be briefed by me.
-
-FLOTTENRICHTER KRANZBÜHLER: I beg your pardon, Admiral. That did not
-continue when you were Commander-in-Chief of the Navy, did it?
-
-DÖNITZ: That was limited after 1943, after I had become
-Commander-in-Chief. Even then it did continue. In any case, it was the
-definite rule during my time as Commander of U-boats, so that a
-commander’s mission was considered completed and satisfactory only after
-he had reported to me in full detail. If, on such an occasion, I could
-establish negligence, then I made my decision according to the nature of
-the case, as to whether disciplinary action or court-martial proceedings
-and punishment had to take place.
-
-FLOTTENRICHTER KRANZBÜHLER: I have found here an entry GB-198, on Page
-230, in Document Book 4 of the Prosecution, which I would like to read
-to you. This is a war diary of the Commander of U-boats, that is,
-yourself.
-
-I read the entry of 25 September 1942:
-
- “_U-512_ reports that the _Monte Corbea_ was recognized as a
- neutral ship before being torpedoed. Assumed suspicions of being
- a camouflaged English ship are insufficient and do not justify
- the sinking. The commander will have to stand court-martial for
- his conduct. All boats at sea will be informed.”
-
-Two days later, on 27 September 1942, a radio signal was sent to all. I
-read:
-
- “Radio signal to all:
-
- “The Commander-in-Chief of the Navy has personally and expressly
- ordered anew that all U-boat commanders are to comply exactly
- with the orders concerning the treatment of neutral ships.
- Violations of these orders will have incalculable political
- consequences. This order is to be disseminated at once to all
- commanders.”
-
-Will you please tell me what resulted from the court-martial which you
-ordered here?
-
-DÖNITZ: I had sent my radio signal to the commander stating that after
-his return he would have to be answerable before a court-martial,
-because of the sinking. The commander did not return from this mission
-with his boat. Therefore this court-martial did not take place.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you, in any other case, have experience
-as to how the courts-martial treated the difficult task of the U-boat
-commanders when you had ordered a court-martial?
-
-DÖNITZ: Yes. I remember a case against Kapitänleutnant Kraemer, who had
-to be acquitted by the court-martial because it was proven that, before
-the attack, before firing the shot, he had taken note once more through
-the periscope of the identification of the ship—it was a German
-blockade-runner—and, in spite of that, was of the opinion that it was a
-different ship, an enemy ship, and that he was justified in sinking it.
-In other words, it was not a case of negligence, and therefore in this
-case he was acquitted.
-
-FLOTTENRICHTER KRANZBÜHLER: Taking into consideration all the results of
-your measures for training and punishing personnel, do you have the
-impression that enough was done to make the U-boat commanders obey your
-orders, or did the U-boat commanders in the long run disobey your
-orders?
-
-DÖNITZ: I do not think it is necessary to discuss this question at all.
-The simple facts speak for themselves. During the 5½ years, several
-thousand naval actions were engaged in by submarines. The number of
-incidents is an extremely small fraction and I know that this result is
-only due to the unified leadership of all submarine commanders, to
-co-ordination and also to their proper training and their
-responsibility.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution has offered a document,
-GB-195 on Page 32 of the Prosecution’s document book. In this document
-is entered an order of the Führer, dated 18 July 1941, and it reads as
-follows:
-
- “In the original operational area, which corresponds in extent
- with the U.S. prohibited zone for U.S. ships and which is not
- touched by the U.S.-Iceland route, attacks on ships under
- American or British escort or U.S. merchantmen sailing without
- escort are authorized.”
-
-In connection with this order by the Führer, the Prosecution, Admiral,
-termed your attitude cynical and opportunistic. Will you please explain
-to the Tribunal what the meaning of this order actually is?
-
-DÖNITZ: In August 1940 Germany had declared this operational area in
-English waters. U.S. ships were, however, expressly excluded from attack
-without warning in this operational area because, as I believe, the
-political leaders wanted to avoid any possibility of an incident with
-the U.S.A. I said the political leaders. The Prosecution has accused me,
-in my treatment and attitude, my differing attitude toward the neutrals,
-of having a masterful agility in adapting myself, that is guided by
-cynicism and opportunism. It is clear that the attitude of a state
-toward neutrals is a purely political affair, and that this relation is
-decided exclusively by the political leadership, particularly in a
-nation that is at war.
-
-FLOTTENRICHTER KRANZBÜHLER: You mean to say, in other words, that you
-had nothing to do with the handling of this question?
-
-DÖNITZ: As a soldier I had not the slightest influence on the question
-of how the political leadership believed they had to treat this or that
-neutral. Regarding this particular case, however, from knowledge of the
-orders I received through the Chief of the Naval Operations Staff from
-the political leadership, I should like to say the following: I believe
-that the political leadership did everything to avoid any incident on
-the high seas with the United States. First, I have already stated that
-the U-boats were actually forbidden even to stop American ships.
-Second...
-
-FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral. To stop them where, in
-the operational area or outside the operational area?
-
-DÖNITZ: At first, everywhere.
-
-Second, that the American 300-mile safety zone was recognized without
-any question by Germany, although according to the existing
-international law only a three-mile zone was authorized.
-
-Third, that...
-
-THE PRESIDENT: Dr. Kranzbühler, an interesting distinction which may be
-drawn between the United States and other neutrals is not relevant to
-this Trial, is it? What difference does it make?
-
-FLOTTENRICHTER KRANZBÜHLER: In connection with the document cited by me,
-GB-195, the Prosecution has made the accusation that Admiral Dönitz
-conducted his U-boat warfare cynically and opportunistically: that is,
-in that he treated one neutral well and the other one badly. This
-accusation has been made expressly, and I want to give Admiral Dönitz
-the opportunity to make a statement in reply to this accusation. He has
-already said that he had nothing to do with the handling of this
-question.
-
-THE PRESIDENT: What more can he say than that?
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, according to the principles
-of the Statute, a soldier is also made responsible for the orders which
-he executed. For this reason it is my opinion that he must be able to
-state whether on his side he had the impression that he received cynical
-and opportunistic orders or whether on the contrary he did not have the
-impression that everything was done to avoid a conflict and that the
-orders which were given actually were necessary and right.
-
-THE PRESIDENT: You have dealt with this order about the United States
-ships, now.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, I have almost finished.
-
-[_Turning to the defendant._] Did you want to say something more about
-the third point, Admiral?
-
-DÖNITZ: I wanted to mention two or three more points on this subject.
-
-FLOTTENRICHTER KRANZBÜHLER: I think that is possible.
-
-THE PRESIDENT: You may go on, but we hope that you will deal with this
-point shortly. It appears to the Tribunal to be very unimportant.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Sir.
-
-DÖNITZ: For instance, I had suggested that mines be laid before Halifax,
-the British port of Nova Scotia, and before Reykjavik, both bases being
-important for warships and merchant shipping. The political leaders, the
-Führer, rejected this because he wanted to avoid every possibility of
-friction with the United States.
-
-FLOTTENRICHTER KRANZBÜHLER: May I formulate the question this way, that
-you, from the orders for the treatment of U.S. ships, in no way had the
-impression that opportunism or cynicism prevailed here, but that
-everything was done with the greatest restraint in order to avoid a
-conflict with the United States?
-
-DÖNITZ: Yes. This went so far, in fact, that when the American
-destroyers in the summer of 1941 received orders to attack German
-submarines, that is, before war started, when they were still neutral
-and I was forbidden to fight back, I was then forced to forbid the
-submarines in this area to attack even British destroyers, in order to
-avoid having a submarine mistake an American for a British ship.
-
-THE PRESIDENT: We will adjourn.
-
- [_The Tribunal adjourned until 9 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-FIFTH DAY
- Thursday, 9 May 1946
-
-
- _Morning Session_
-
-[_The Defendant Dönitz resumed the stand._]
-
-FLOTTENRICHTER KRANZBÜHLER: With the permission of the Tribunal, I will
-continue my examination of the witness.
-
-[_Turning to the defendant._] Admiral, how many merchant ships were sunk
-by German U-boats in the course of the war?
-
-DÖNITZ: According to the Allied figures, 2,472.
-
-FLOTTENRICHTER KRANZBÜHLER: How many combat actions, according to your
-estimate, were necessary to do this?
-
-DÖNITZ: I believe the torpedoed ships are not included in this figure of
-2,472 sunk ships; and, of course, not every attack leads to a success. I
-would estimate that in 5½ years perhaps 5,000 or 6,000 actions actually
-took place.
-
-FLOTTENRICHTER KRANZBÜHLER: In the course of all these actions did any
-of the U-boat commanders who were subordinate to you voice objections to
-the manner in which the U-boats operated?
-
-DÖNITZ: No, never.
-
-FLOTTENRICHTER KRANZBÜHLER: What would you have done with a commander
-who refused to carry out the instructions for U-boat warfare?
-
-DÖNITZ: First, I would have had him examined; if he proved to be normal
-I would have put him before a court-martial.
-
-FLOTTENRICHTER KRANZBÜHLER: You could only have done that with a clear
-conscience if you yourself assumed full responsibility for the orders
-which you either issued or which you transmitted?
-
-DÖNITZ: Naturally.
-
-FLOTTENRICHTER KRANZBÜHLER: In battle engagements with U-boats, crews of
-merchant ships no doubt lost their lives. Did you consider crews of
-enemy merchantmen as soldiers or as civilians, and for what reasons?
-
-DÖNITZ: Germany considered the crews of merchantmen as combatants,
-because they fought with the weapons which had been mounted aboard the
-merchant ships in large numbers. According to our knowledge one or two
-men of the Royal Navy were on board for the servicing of these weapons,
-but where guns were concerned the rest of the gunners were part of the
-crew of the ship.
-
-FLOTTENRICHTER KRANZBÜHLER: How many were there for one gun?
-
-DÖNITZ: That varied according to the size of the weapon, probably
-between five and ten. Then, in addition, there were munitions men. The
-same applied to the servicing of depth charge chutes and depth charge
-throwers.
-
-The members of the crew did, in fact, fight with the weapons like the
-few soldiers who were on board. It was also a matter of course that the
-crew was considered as a unit, for in a battleship we cannot distinguish
-either between the man who is down at the engine in the boiler room and
-the man who services the gun up on deck.
-
-FLOTTENRICHTER KRANZBÜHLER: Did this view, that the members of the crews
-of hostile merchant ships were combatants, have any influence on the
-question of whether they could or should be rescued? Or did it not have
-any influence?
-
-DÖNITZ: No, in no way. Of course, every soldier has a right to be
-rescued if the circumstances of his opponent permit it. But this fact
-should have an influence upon the right to attack the crew as well.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you mean that they could be fought as
-long as they were on board the ship?
-
-DÖNITZ: Yes, there can be no question of anything else—that means
-fought with weapons used for an attack against a ship as part of naval
-warfare.
-
-FLOTTENRICHTER KRANZBÜHLER: You know that the Prosecution has submitted
-a document about a discussion between Adolf Hitler and the Japanese
-Ambassador, Oshima. This discussion took place on 3 January 1942. It is
-Exhibit Number GB-197, on Page 34 of the document book of the
-Prosecution. In this document Hitler promises the Japanese Ambassador
-that he will issue an order for the killing of the shipwrecked, and the
-Prosecution concludes from this document that Hitler actually gave such
-an order and that this order was carried out by you.
-
-Did you, directly or through the Naval Operations Staff, receive a
-written order of this nature?
-
-DÖNITZ: I first heard about this discussion and its contents when the
-record of it was submitted here.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, may I ask you to answer my
-question? I asked, did you receive a written order?
-
-DÖNITZ: No, I received neither a written nor a verbal order. I knew
-nothing at all about this discussion; I learned about it through the
-document which I saw here.
-
-FLOTTENRICHTER KRANZBÜHLER: When did you see Hitler for the first time
-after the date of this discussion, that is, January 1942?
-
-DÖNITZ: Together with Grossadmiral Raeder I was at headquarters on 14
-May 1942 and told him about the situation in the U-boat campaign.
-
-FLOTTENRICHTER KRANZBÜHLER: There is a note written by you about this
-discussion with the Führer, and I would like to call your attention to
-it. It is Dönitz-16, to be found on Page 29 of Document Book Number 1. I
-submit the document, Dönitz-16. I will read it to you. The heading runs:
-
- “Report of the Commander of Submarines to the Führer on 14 May
- 1942 in the presence of the Commander-in-Chief of the
- Navy”—that is, Grossadmiral Raeder.
-
- “Therefore it is necessary to improve the weapons of the
- submarines by all possible means, so that the submarines may
- keep pace with defense measures. The most important development
- is the torpedo with magnetic detonator which would increase
- precision of torpedoes fired against destroyers and therefore
- would put the submarine in a better position with regard to
- defense; it would above all also hasten considerably the sinking
- of torpedoed ships, whereby we would economize on torpedoes and
- also protect the submarine from countermeasures, insofar as it
- would be able to leave the place of combat more quickly.”
-
-And now, the decisive sentence:
-
- “A magnetic detonator will also have the great advantage that
- the crew will not be able to save themselves on account of the
- quick sinking of the torpedoed ship. This greater loss of men
- will no doubt cause difficulties in the assignment of crews for
- the great American construction program.”
-
-Does this last sentence which I read imply what you just referred to as
-combating the crew with weapons...?
-
-THE PRESIDENT: You seem to attach importance to this document.
-Therefore, you should not put a leading question upon it. You should ask
-the defendant what the document means, and not put your meaning on it.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, what did these expositions mean?
-
-DÖNITZ: They mean that it was important to us, as a consequence of the
-discussion with the Führer at his headquarters, to find a good magnetic
-detonator which would lead to a more rapid sinking of the ships and
-thereby achieve the results noted in this report in the war diary.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you tell me what successes you mean by
-this, as far as the crews are concerned?
-
-DÖNITZ: I mean that not several torpedoes would be required, as
-heretofore, to sink a ship by long and difficult attack; but that one
-torpedo, or very few, would suffice to bring about a more speedy loss of
-the ship and the crew.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you, in the course of this discussion
-with the Führer, touch on the question...
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: One moment—the question whether other means
-might be envisaged to cause loss of life among the crews?
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: In what way and by whom?
-
-DÖNITZ: The Führer brought up the fact that, in the light of experience,
-a large percentage of the crews, because of the excellence of the rescue
-means, were reaching home and were used again and again to man new
-ships, and he asked whether there might not be some action taken against
-these rescue ships.
-
-FLOTTENRICHTER KRANZBÜHLER: What do you mean by action taken?
-
-DÖNITZ: At this discussion, in which Grossadmiral Raeder participated, I
-rejected this unequivocally and told him that the only possibility of
-causing losses among the crews would lie in the attack itself, in
-striving for a faster sinking of the ship through the intensified effect
-of weapons. Hence this remark in my war diary. I believe, since I
-received knowledge here through the Prosecution of the discussion
-between the Führer and Oshima, that this question of the Führer to
-Grossadmiral Raeder and myself arose out of this discussion.
-
-FLOTTENRICHTER KRANZBÜHLER: There exists an affidavit by Grossadmiral
-Raeder about this discussion. You know the contents. Do the contents
-correspond to your recollection of this discussion?
-
-DÖNITZ: Yes, completely.
-
-FLOTTENRICHTER KRANZBÜHLER: Then I would like to submit to the Tribunal,
-as Dönitz-17, the affidavit of Grossadmiral Raeder; since it has the
-same content, I may dispense with the reading of it.
-
-SIR DAVID MAXWELL-FYFE: I was going to say in case it might help the
-Tribunal, I understand the Defendant Raeder will be going into the
-witness box; therefore, I make no formal objection to this affidavit
-going in.
-
-THE PRESIDENT: Very well.
-
-FLOTTENRICHTER KRANZBÜHLER: It has the Number Dönitz-17 and is found on
-Page 33 of Document Book 1.
-
-[_Turning to the defendant._] You just said that you rejected the
-suggested killing of survivors in lifeboats and stated this to the
-Führer. However, the Prosecution has presented two documents, an order
-of the winter of 1939-40 and a second order of the autumn of 1942, in
-which you limited or prohibited rescue measures. Is there not a
-contradiction between the orders and your attitude toward the proposal
-of the Führer?
-
-DÖNITZ: No. These two things are not connected with each other in any
-way. One must distinguish very clearly here between the question of
-rescue or nonrescue, and that is a question of military possibility.
-During a war the necessity of refraining from rescue may well arise. For
-example, if your own ship is endangered thereby, it would be wrong from
-a military viewpoint and besides, would not be of value for the one to
-be rescued; and no commander of any nation is expected to rescue if his
-own ship is thereby endangered.
-
-The British Navy correctly take up a very clear, unequivocal position in
-this respect: that rescue is to be denied in such cases; and that is
-evident also from their actions and commands. That is one point.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, you spoke only about the safety of
-the ship as a reason for not carrying out rescue.
-
-DÖNITZ: There may of course be other reasons. For instance it is clear
-that in war the mission to be accomplished is of first importance. No
-one will start to rescue, for example, if after subduing one opponent
-there is another on the scene. Then, as a matter of course, the
-combating of the second opponent is more important than the rescue of
-those who have already lost their ship.
-
-The other question is concerned with attacking the shipwrecked, and that
-is...
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, whom would you call shipwrecked?
-
-DÖNITZ: Shipwrecked persons are members of the crew who, after the
-sinking of their ship, are not able to fight any longer and are either
-in lifeboats or other means of rescue or in the water.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-DÖNITZ: Firing upon these men is a matter concerned with the ethics of
-war and should be rejected under any and all circumstances. In the
-German Navy and U-boat force this principle, according to my firm
-conviction, has never been violated, with the one exception of the
-affair Eck. No order on this subject has ever been issued, in any form
-whatsoever.
-
-FLOTTENRICHTER KRANZBÜHLER: I want to call to your attention one of the
-orders submitted by the Prosecution. It is your permanent War Order
-Number 154; Exhibit Number GB-196 and in my document book on Pages 13 to
-15. I will have this order given to you, and I am asking you to turn to
-the last paragraph, which was read by the Prosecution. There it says, I
-read it again:
-
- “Do not rescue any men; do not take them along; and do not take
- care of any boats of the ship. Weather conditions and proximity
- of land are of no consequence. Concern yourself only with the
- safety of your own boat and with efforts to achieve additional
- successes as soon as possible. We must be hard in this war. The
- enemy started the war in order to destroy us, and thus nothing
- else matters.”
-
-The Prosecution has stated that this order went out, according to their
-records, before May 1940. Can you from your knowledge fix the date a
-little more exactly?
-
-DÖNITZ: According to my recollection, I issued this order at the end of
-November or the beginning of December 1939, for the following reasons:
-
-I had only a handful of U-boats a month at my disposal. In order that
-this small force might prove effective at all, I had to send the boats
-close to the English coast, in front of the ports. In addition, the
-magnetic mine showed itself to be a very valuable weapon of war.
-Therefore, I equipped these boats both with mines and torpedoes and
-directed them, after laying the mines, to operate in waters close to the
-coast, immediately outside the ports. There they fought in constant and
-close combat and under the surveillance of naval and air patrols. Each
-U-boat which was sighted or reported there was hunted by U-boat-chasing
-units and by air patrols ordered to the scene.
-
-The U-boats themselves, almost without exception or entirely, had as
-their objectives only ships which were protected or accompanied by some
-form of protection. Therefore, it would have been suicide for the
-U-boat, in a position of that sort, to come to the surface and to
-rescue.
-
-The commanders were all very young; I was the only one who had service
-experience from the first World War. And I had to tell them this very
-forcibly and drastically because it was hard for a young commander to
-judge a situation as well as I could.
-
-FLOTTENRICHTER KRANZBÜHLER: Did experience with rescue measures already
-play a part here?
-
-DÖNITZ: Yes. In the first months of the war I had very bitter
-experiences. I suffered very great losses in sea areas far removed from
-any coast; and as very soon I had information through the Geneva Red
-Cross that many members of crews had been rescued, it was clear that
-these U-boats had been lost above the water. If they had been lost below
-the water the survival of so many members of the crews would have been
-impossible. I also had reports that there had been very unselfish deeds
-of rescue, quite justifiable from a humane angle, but militarily very
-dangerous for the U-boat. So now, of course, since I did not want to
-fight on the open sea but close to the harbors or in the coastal
-approaches to the harbors, I had to warn the U-boats of the great
-dangers, in fact of suicide.
-
-And, to state a parallel, English U-boats in the Jutland waters, areas
-which we dominated, showed, as a matter of course and quite correctly,
-no concern at all for those who were shipwrecked, even though, without a
-doubt, our defense was only a fraction of the British.
-
-FLOTTENRICHTER KRANZBÜHLER: You say that this order applied to U-boats
-which operated in the immediate presence of the enemy’s defense. Can
-you, from the order itself, demonstrate the truth of that?
-
-DÖNITZ: Yes; the entire order deals only with, or assumes, the presence
-of the enemy’s defense; it deals with the battle against convoys. For
-instance it reads, “Close range is also the best security for the
-boat...”
-
-FLOTTENRICHTER KRANZBÜHLER: What number are you reading?
-
-DÖNITZ: Well, the order is formulated in such a way that Number 1 deals
-at first with sailing, not with combat. But the warning against enemy
-air defense is given there also, and in this warning about
-countermeasures it is made clear that it is concerned entirely with
-outgoing ships. Otherwise I would obviously not have issued an order
-concerning sailing. Number 2 deals with the time prior to the attack.
-Here mention is made of moral inhibitions which every soldier has to
-overcome before an attack.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, you need only refer to the figures
-which show that the order is concerned with fighting enemy defense.
-
-DÖNITZ: Very well. Then I will quote from 2(d). It says there:
-
- “Close range is also the best security for the boat.
-
- “While in the vicinity of the vessels”—that is, the
- merchantmen—“the protecting ships”—that is, the
- destroyers—“will at first not fire any depth charges. If one
- fires into a convoy from close quarters”—note that we are
- dealing with convoys—“and then is compelled to submerge, one
- can then dive most quickly below other ships of the convoy and
- thus remain safe from depth charges.”
-
-Then the next paragraph, which deals with night conditions, says:
-
- “Stay above water. Withdraw above water. Possibly make a circle
- and go around at the rear.”
-
-Every sailor knows that one makes a circle or goes around at the rear of
-the protecting enemy ships. Further, in the third paragraph, I caution
-against submerging too soon, because it blinds the U-boat, and I say:
-
- “Only then does the opportunity offer itself for a new attack,
- or for spotting and noting the opening through which one can
- shake off the pursuing enemy.”
-
-Then the figure “(c),” that is, “3(c),” and there it says:
-
- “During an attack on a convoy one may have to submerge to a
- depth of 20 meters to escape from patrols or aircraft and to
- avoid the danger of being sighted or rammed....”
-
-Thus we are talking here about a convoy. Now we turn to point “(d)” and
-here it says:
-
- “It may become necessary to submerge to depth when, for example,
- the destroyer is proceeding directly toward the periscope...”
-
-And then follow instructions on how to act in case of a depth charge
-attack. Plainly, the whole order deals with...
-
-THE PRESIDENT: I don’t think it is necessary to go into all of these
-military tactics. He has made a point on Paragraph “e.” He has given his
-explanation of that paragraph, and I don’t think it is necessary to go
-into all of these other tactics.
-
-DÖNITZ: I only want to say that the last paragraph about nonrescue must
-not be considered alone but in this context: First, the U-boats had to
-fight in the presence of enemy defense near the English ports and
-estuaries; and secondly, the objectives were ships in convoys, or
-protected ships, as is shown clearly from the document as a whole.
-
-FLOTTENRICHTER KRANZBÜHLER: You said that this order was given about
-December 1939. Did the German U-boats after the order had been issued
-actually continue rescues? What experiences did you have?
-
-DÖNITZ: I said that the order was issued for this specific purpose
-during the winter months. For the U-boats which, according to my memory,
-went out into the Atlantic again only after the Norwegian campaign, for
-these U-boats the general order of rescue applied; and this order was
-qualified only in one way, namely that no rescue was to be attempted if
-the safety of a U-boat did not permit it. The facts show that the
-U-boats acted in this light.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you mean then that you had reports from
-U-boat commanders about rescue measures?
-
-DÖNITZ: I received these reports whenever a U-boat returned, and
-subsequently through the combat log books.
-
-FLOTTENRICHTER KRANZBÜHLER: When was this order which we have just
-discussed formally rescinded?
-
-DÖNITZ: To my knowledge this order was captured or salvaged by England
-on the U-13 which was destroyed by depth charges in very shallow water
-in the Downs near the mouth of the Thames. For this boat, of course,
-this order may still have applied in May 1940. Then in the year 1940,
-after the Norway Campaign, I again made the open waters of the Atlantic
-the central field of operations, and for these boats this order did not
-apply, as is proved by the fact that rescues took place, which I just
-explained.
-
-I then rescinded the order completely for it contained the first
-practical instructions on how U-boats were to act toward a convoy and
-later on was no longer necessary, for by then it had become second
-nature to the U-boat commanders. To my recollection the order was
-completely withdrawn in November 1940 at the latest.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, I have here the table of contents
-of the “Standing War Orders of 1942,” and that may be found on Page 16
-of Document Book Number 1. I will submit it as Dönitz-11. In this table
-of contents the Number 154 which deals with the order we have just
-discussed is blank. Does that mean that this order did not exist any
-more at the time when the “Standing War Orders of 1942” were issued?
-
-DÖNITZ: Yes, by then it had long since ceased to exist.
-
-FLOTTENRICHTER KRANZBÜHLER: When were the standing orders for the year
-1942 compiled?
-
-DÖNITZ: In the course of the year 1941.
-
-FLOTTENRICHTER KRANZBÜHLER: When you received reports from commanders
-about rescue measures, did you object to these measures? Did you
-criticize or prohibit them?
-
-DÖNITZ: No, not as a rule; only if subsequently my anxiety was too
-great. For example, I had a report from a commander that, because he had
-remained too long with the lifeboats and thus had been pursued by the
-escorts perhaps—or probably—summoned by wireless, his boat had been
-severely attacked by depth charges and had been badly damaged by the
-escorts—something which would not have happened if he had left the
-scene in time—then naturally I pointed out to him that his action had
-been wrong from a military point of view. I am also convinced that I
-lost ships through rescue. Of course I cannot prove that, since the
-boats are lost. But such is the whole mentality of the commander; and it
-is entirely natural, for every sailor retains from the days of peace the
-view that rescue is the noblest and most honorable act he can perform.
-And I believe there was no officer in the German Navy—it is no doubt
-true of all the other nations—who, for example, would not consider a
-medal for rescue, rescue at personal risk, as the highest peacetime
-decoration. In view of this basic attitude it is always very dangerous
-not to change to a wartime perspective and to the principle that the
-security of one’s own ship comes first, and that war is after all a
-serious thing.
-
-FLOTTENRICHTER KRANZBÜHLER: In what years was the practice you have just
-described followed, that U-boats did not rescue when they endangered
-themselves?
-
-DÖNITZ: In 1940, that is towards the end of 1939, economic warfare was
-governed by the Prize Ordinance insofar as U-boats were still operating
-individually. Then came the operations, close to the enemy coast, of
-1939-40 which I have described; the order Number 154 applied to these
-operations. Then came the Norway campaign, and then when the U-boat war
-resumed in the spring of 1940, this order of rescue, or nonrescue if the
-U-boat itself was endangered, applied in the years 1940, 1941, and 1942
-until autumn.
-
-FLOTTENRICHTER KRANZBÜHLER: Was this order put in writing?
-
-DÖNITZ: No, it was not necessary, for the general order about rescue was
-a matter of course, and besides it was contained in certain orders of
-the Naval Operations Staff at the beginning of the war. The stipulation
-of nonrescue, if the safety of the submarine is at stake, is taken for
-granted in every navy; and I made a special point of that in my reports
-on the cases which I have just discussed.
-
-FLOTTENRICHTER KRANZBÜHLER: In June of 1942 there was an order about the
-rescue of captains. This has the Number Dönitz-22; I beg your pardon—it
-is Dönitz Number 23, and is found on Page 45 of Document Book 1, and I
-hereby submit it. It is an extract from the War Diary of the Naval
-Operations Staff of 5 June 1942. I quote:
-
- “According to instructions received from the Naval Operations
- Staff submarines are ordered by the Commander of U-boats to take
- on board as prisoners captains of ships sunk, with their papers,
- if this is possible without endangering the boat and without
- impairing fighting capacity.”
-
-How did this order come into being?
-
-DÖNITZ: Here we are concerned with an order of the Naval Operations
-Staff that captains are to be taken prisoners, that is, to be brought
-home and that again is something different from rescue. The Naval
-Operations Staff was of the opinion—and rightly—that since we could
-not have a very high percentage, say 80 to 90 percent, of the crews of
-the sunk merchantmen brought back—we even helped in their rescue, which
-was natural—then at least we must see to it that the enemy was deprived
-of the most important and significant parts of the crews, that is, the
-captains; hence the order to take the captains from their lifeboats on
-to the U-boats as prisoners.
-
-FLOTTENRICHTER KRANZBÜHLER: Did this order exist in this or another form
-until the end of the war?
-
-DÖNITZ: Yes, it was later even incorporated into the standing orders,
-because it was an order of the Naval Operations Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: Was it carried out until the end of the war,
-and with what results?
-
-DÖNITZ: Yes, according to my recollection it was carried out now and
-then even in the last few years of the war. But in general the result of
-this order was very slight. I personally can remember only a very few
-cases. But through letters which I have now received from my commanders
-and which I read, I discovered that there were a few more cases than I
-believed, altogether perhaps 10 or 12 at the most.
-
-FLOTTENRICHTER KRANZBÜHLER: To what do you attribute the fact that
-despite this express order so few captains were taken prisoner?
-
-DÖNITZ: The chief reason, without doubt, was that on an increasing
-scale, the more the mass of U-boats attacked enemy convoys, the convoy
-system of the enemy was perfected. The great bulk of the U-boats was
-engaged in the battle against convoys. In a few other cases it was not
-always possible by reason of the boat’s safety to approach the lifeboats
-in order to pick out a captain. And thirdly, I believe that the
-commanders of the U-boats were reluctant, quite rightly from their
-viewpoint, to have a captain on board for so long during a mission. In
-any event, I know that the commanders were not at all happy about this
-order.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, now I turn to a document which is
-really the nucleus of the accusation against you. It is Document GB-199,
-Page 36 of the British document book. This is your radio message of 17
-September, and the Prosecution asserts that it is an order for the
-destruction of the shipwrecked. It is of such importance that I will
-read it to you again.
-
- “To all Commanding Officers:
-
- “1. No attempt of any kind must be made to rescue members of
- ships sunk, and this includes picking up persons in the water
- and putting them in lifeboats, righting capsized lifeboats, and
- handing over food and water. Rescue runs counter to the most
- elementary demands of warfare for the destruction of enemy ships
- and crews.
-
- “2. Orders for bringing back captains and chief engineers still
- apply.
-
- “3. Rescue the shipwrecked only if their statements will be of
- importance for your boat.
-
- “4. Be harsh. Bear in mind that the enemy takes no regard of
- women and children in his bombing attacks on German cities.”
-
-Please describe to the Tribunal the antecedents of this order, which are
-decisive for its intentions. Describe first of all the general military
-situation out of which the order arose.
-
-DÖNITZ: In September of 1942 the great bulk of the German U-boats fought
-convoys. The center of gravity in the deployment of U-boats was in the
-North Atlantic, where the protected convoys operated between England and
-America. The U-boats in the north fought in the same way, attacking only
-the convoys to Murmansk. There was no other traffic in that area. The
-same situation existed in the Mediterranean; there also the objects of
-our attack were the convoys. Beyond that, a part of the boats was
-committed directly to American ports, Trinidad, New York, Boston, and
-other centers of congested maritime traffic. A small number of U-boats
-fought also in open areas in the middle or the south of the Atlantic.
-The criterion at this time was that the powerful Anglo-American air
-force was patrolling everywhere and in increasingly large numbers. That
-was a point which caused me great concern, for obviously the airplane,
-because of its speed, constitutes the most dangerous threat to the
-U-boat. And that was not a matter of fancy on my part, for from the
-summer of 1942—that is, a few months before September, when this order
-was issued—the losses of our U-boats through air attacks rose suddenly
-by more than 300 percent, I believe.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, for clarification of this point, I
-am giving you a diagram which I would like to submit in evidence to the
-Tribunal as Dönitz-99. Will you, with the use of the diagram, explain
-the curve of losses?
-
-DÖNITZ: It is very clear that this diagram showing the losses of U-boats
-corroborates the statements which I have just made. One can see that up
-to June 1942 U-boat losses were kept within reasonable limits and
-then—in July 1942—what I have just described happened suddenly.
-Whereas the monthly losses up till then varied as the diagram shows
-between 4, 2, 5, 3, 4, or 2 U-boats, from July the losses per month
-jumped to 10, 11, 8, 13, 14. Then follow the two winter months December
-and January, which were used for a thorough overhauling of the ships;
-and that explains the decrease which, however, has no bearing on the
-trend of losses.
-
-These developments caused me the greatest concern and resulted in a
-great number of orders to the submarine commanders on how they were to
-act while on the surface; for the losses were caused while the boats
-were above water, since the airplanes could sight or locate them; and so
-the boats had to limit their surface activities as much as possible.
-These losses also prompted me to issue memoranda to the Naval Operations
-Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: When?
-
-DÖNITZ: The memoranda were written in the summer, in June.
-
-FLOTTENRICHTER KRANZBÜHLER: In June of 1942?
-
-DÖNITZ: In June 1942 or July. At the pinnacle of my success, it occurred
-to me that air power might some day stifle us and force us under water.
-Thus, despite the huge successes which I still had at that time, my
-fears for the future were great, and that they were not imaginary is
-shown by the actual trend of losses after the submarines left the
-dockyard in February 1943; in that month 18 boats were lost; in March,
-15; in April, 14. And then the losses jumped to 38.
-
-The airplane, the surprise by airplane, and the equipment of the planes
-with radar—which in my opinion is, next to the atomic bomb, the
-decisive war-winning invention of the Anglo-Americans—brought about the
-collapse of U-boat warfare. The U-boats were forced under water, for
-they could not maintain their position on the surface at all. Not only
-were they located when the airplane spotted them, but this radar
-instrument actually located them up to 60 nautical miles away, beyond
-the range of sight, during the day and at night. Of course, this
-necessity of staying under water was impossible for the old U-boats, for
-they had to surface at least in order to recharge their batteries. This
-development forced me, therefore, to have the old U-boats equipped with
-the so-called “Schnorchel,” and to build up an entirely new U-boat force
-which could stay under water and which could travel from Germany to
-Japan, for example, without surfacing at all. It is evident, therefore,
-that I was in an increasingly dangerous situation.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, in order to characterize this
-situation I want to call your attention to your war diary of this time.
-This will have the Number Dönitz-18, reproduced on Page 32, Volume I. I
-want to read only the contents of the entries from the 2nd until the
-14th of September, Page 32:
-
- “On 2 September U-256 surprised and bombed by aircraft; unfit
- for sailing and diving;
-
- “On 3 September aircraft sights U-boat;
-
- “On 4 September U-756 has not reported despite request since 1
- September when near convoy; presumed lost.
-
- “On 5 September aircraft sights U-boat;
-
- “On 6 September U-705 probably lost because of enemy aircraft
- attack;
-
- “On 7 September U-130 bombed by Boeing bomber;
-
- “On 8 September U-202 attacked by aircraft in Bay of Biscay.
-
- “On 9 September...”
-
-THE PRESIDENT: Dr. Kranzbühler, the defendant has already told us of the
-losses and of the reason for the losses. What is the good of giving us
-details of the fact that U-boats were fighting aircraft?
-
-FLOTTENRICHTER KRANZBÜHLER: I wanted to show, Mr. President, that the
-testimony of Admiral Dönitz is confirmed by the entries in his diary of
-that time. But if the Tribunal...
-
-THE PRESIDENT: That’s a matter of common knowledge. We can read it.
-Anyhow, if you just draw our attention to the document we will read it.
-We don’t need you to read the details of it.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. I will do it that way.
-
-DÖNITZ: That is a typical and characteristic entry in my war diary of
-those weeks and days just before the issuance of my order; but I wanted
-to add the following: The aircraft were very dangerous especially for
-psychological reasons: when no aircraft is on the scene, the commander
-of the U-boat views his situation as perfectly clear but the next moment
-when the aircraft comes into sight, his situation is completely
-hopeless. And that happened not only to young commanders, but to old
-experienced commanders who remembered the good old times. Perhaps I may,
-quite briefly, give a clear-cut example. A U-boat needs one minute for
-the crew to come in through the hatch before it can submerge at all. An
-airplane flies on the average 6,000 meters in one minute. The U-boat,
-therefore, in order to be able to submerge at all—and not to be bombed
-while it is still on the surface—must sight the aircraft from a
-distance of at least 6,000 meters. But that also is not sufficient, for
-even if the U-boat has submerged it still has not reached a safe depth.
-The U-boat, therefore, must sight the airplane even earlier, namely, at
-the extreme boundary of the field of vision. Therefore, it is an
-absolute condition of success that the U-boat is in a state of constant
-alert, that above all it proceeds at maximum speed, because the greater
-the speed the faster the U-boat submerges; and, secondly, that as few
-men as possible are on the tower so that they can come into the U-boat
-as quickly as possible which means that there should be no men on the
-upper deck at all, and so on. Now, rescue work, which necessitates being
-on the upper deck in order to bring help and take care of more people
-and which may even mean taking in tow a number of lifeboats, naturally
-completely interrupts the submarine’s state of alert, and the U-boat is,
-as a consequence, hopelessly exposed to any attack from the air.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I wish now to take up the
-_Laconia_ matter itself which I would be reluctant to have interrupted.
-If it is agreeable to the Tribunal, I would suggest that we have a
-recess now.
-
- [_A recess was taken._]
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, you have just described the enemy’s
-supremacy in the air in September 1942. During these September days you
-received the report about the sinking of the British transport
-_Laconia_. I submit to the Tribunal the war diaries concerning that
-incident under Numbers Dönitz-18, 20, 21, and 22. These are the war
-diaries of the commanders of U-boats and of the commanders of the
-submarines which took part in this action, Kapitänleutnants Hartenstein,
-Schacht and Würdemann. They are reproduced in the document book on Page
-34 and the following pages. I shall read to you the report which you
-received. That is on Page 35 of the document book, 13 September, 0125
-hours. I read:
-
- “Wireless message sent on America circuit:
-
- “Sunk by Hartenstein British ship _Laconia_.”
-
-Then the position is given and the message continues:
-
- “Unfortunately with 1,500 Italian prisoners of war. Up to now
- picked up 90...”
-
-then the details, and the end is: “Request orders.”
-
-I had the document handed to you...
-
-THE PRESIDENT: Where are you now?
-
-FLOTTENRICHTER KRANZBÜHLER: On Page 35, Mr. President, the entry of 13
-September, time 0125 hours, the number at the beginning of the line; at
-the bottom of the page.
-
-[_Turning to the defendant._] I had the documents handed to you to
-refresh your memory. Please tell me, first, what impression or what
-knowledge you had about this ship _Laconia_ which had been reported
-sunk, and about its crew.
-
-DÖNITZ: I knew from the handbook on armed British ships which we had at
-our disposal that the _Laconia_ was armed with 14 guns. I concluded,
-therefore, that it would have a British crew of at least about 500 men.
-When I heard that there were also Italian prisoners on board, it was
-clear to me that this number would be further increased by the guards of
-the prisoners.
-
-FLOTTENRICHTER KRANZBÜHLER: Please describe now, on the basis of the
-documents, the main events surrounding your order of 17 September, and
-elaborate, first, on the rescue or nonrescue of British or Italians and
-secondly, your concern for the safety of the U-boats in question.
-
-DÖNITZ: When I received this report, I radioed to all U-boats in the
-whole area. I issued the order:
-
-“Schacht, Group Eisbär, Würdemann and Wilamowitz, proceed to Hartenstein
-immediately.”
-
-Hartenstein was the commander who had sunk the ship. Later, I had to
-have several boats turn back because their distance from the scene was
-too great. The boat that was furthest from the area and received orders
-to participate in the rescue was 710 miles away, and therefore could not
-arrive before two days.
-
-Above all I asked Hartenstein, the commander who had sunk the ship,
-whether the _Laconia_ had sent out radio messages, because I hoped that
-as a result British and American ships would come to the rescue.
-Hartenstein affirmed that and, besides, he himself sent out the
-following radio message in English...
-
-FLOTTENRICHTER KRANZBÜHLER: That is on Page 36, Mr. President, under
-time figure 0600.
-
-DÖNITZ: “If any ship will assist the shipwrecked _Laconia_ crew, I will
-not attack her, provided I am not being attacked by ship or air force.”
-
-Summing up briefly, I gained the impression from the reports of the
-U-boats that they began the rescue work with great zeal.
-
-FLOTTENRICHTER KRANZBÜHLER: How many U-boats were there?
-
-DÖNITZ: There were three or four submarines. I received reports that the
-numbers of those taken on board by each U-boat were between 100 and 200.
-I believe Hartenstein had 156 and another 131. I received reports which
-spoke of the crew being cared for and taken over from lifeboats; one
-report mentioned 35 Italians, 25 Englishmen, and 4 Poles; another, 30
-Italians and 24 Englishmen; a third, 26 Italians, 39 Englishmen, and 3
-Poles. I received reports about the towing of lifeboats towards the
-submarines. All these reports caused me the greatest concern because I
-knew exactly that this would not end well.
-
-My concern at that time was expressed in a message to the submarines
-radioed four times, “Detailed boats to take over only so many as to
-remain fully able to dive.” It is obvious that, if the narrow space of
-the submarine—our U-boats were half as big as the enemy’s—is crowded
-with 100 to 200 additional people, the submarine is already in absolute
-danger, not to speak of its fitness to fight.
-
-Furthermore, I sent the message, “All boats are to take on only so many
-people...”
-
-THE PRESIDENT: Are these messages in the document?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: Well, where are they? Why did he not refer to the time of
-them?
-
-FLOTTENRICHTER KRANZBÜHLER: They are all messages contained in the three
-diaries of the U-boats. The first message is on Page 36, Mr. President,
-under group 0720. I will read it.
-
- “Radio message received”—a message from Admiral
- Dönitz—“‘Hartenstein remain near place of sinking. Maintain
- ability to dive. Detailed boats to take over only so many as to
- remain fully able to dive.’”
-
-DÖNITZ: Then I sent another message:
-
- “Safety of U-boat is not to be endangered under any
- circumstances.”
-
-FLOTTENRICHTER KRANZBÜHLER: This message is on Page 40, Mr. President,
-under the date of 17 September, 0140 hours.
-
- DÖNITZ: “Take all measures with appropriate ruthlessness,
- including discontinuance of all rescue activities.”
-
-Furthermore, I sent the message:
-
- “Boats must at all times be clear for crashdiving and underwater
- use.”
-
-FLOTTENRICHTER KRANZBÜHLER: That is on Page 37, under 0740, Heading 3.
-
-DÖNITZ: “Beware of enemy interference by airplanes and submarines.”
-
-FLOTTENRICHTER KRANZBÜHLER: “All boats, also Hartenstein, take in only
-so many people that boats are completely ready for use under water.”
-
-DÖNITZ: That my concern was justified was clearly evident from the
-message which Hartenstein sent and which said that he had been attacked
-by bombs from an American bomber.
-
-FLOTTENRICHTER KRANZBÜHLER: This message, Mr. President, is on Page 39,
-under 1311 hours. It is an emergency message, and under 2304 hours there
-is the whole text of the message which I should like to read.
-
-DÖNITZ: At this occasion...
-
-FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral. The message reads:
-
- “Radiogram sent: From Hartenstein”—to Admiral Dönitz—“Bombed
- five times by American Liberator in low flight when towing four
- full boats in spite of a Red Cross flag, 4 square meters, on the
- bridge and good visibility. Both periscopes at present out of
- order. Breaking off rescue; all off board; putting out to West.
- Will repair.”
-
-DÖNITZ: Hartenstein, as can be seen from a later report, also had 55
-Englishmen and 55 Italians on board his submarine at that time. During
-the first bombing attack one of the lifeboats was hit by a bomb and
-capsized, and according to a report on his return there were
-considerable losses among those who had been rescued.
-
-During the second attack, one bomb exploded right in the middle of the
-submarine, and damaged it seriously; he reported that it was only by a
-miracle of German shipbuilding technique that the submarine did not fall
-to pieces.
-
-THE PRESIDENT: Where has he gone to now? What page is he on?
-
-FLOTTENRICHTER KRANZBÜHLER: He is speaking about the events which are
-described on Pages 38 and 39, Mr. President.
-
-THE PRESIDENT: It would help the Tribunal, you know, if you kept some
-sort of order instead of going on to one page and then to 40, and then
-back to 38.
-
-FLOTTENRICHTER KRANZBÜHLER: The reason is that we are using two
-different war diaries, Mr. President.
-
-Admiral, would you tell us now what measures you took after
-Hartenstein’s report that he had been attacked repeatedly in the course
-of the rescue measures?
-
-DÖNITZ: I deliberated at length whether, after this experience, I should
-not break off all attempts at rescue; and beyond doubt, from the
-military point of view, that would have been the right thing to do,
-because the attack showed clearly in what way the U-boats were
-endangered.
-
-That decision became more grave for me because I received a call from
-the Naval Operations Staff that the Führer did not wish me to risk any
-submarines in rescue work or to summon them from distant areas. A very
-heated conference with my staff ensued, and I can remember closing it
-with the statement, “I cannot throw these people into the water now. I
-will carry on.”
-
-Of course, it was clear to me that I would have to assume full
-responsibility for further losses, and from the military point of view
-this continuation of the rescue work was wrong. Of that I received proof
-from the submarine U-506 of Würdemann, who also reported—I believe on
-the following morning—that he was bombed by an airplane.
-
-FLOTTENRICHTER KRANZBÜHLER: That report, Mr. President, is on Page 42 in
-the war diary of Würdemann, an entry of 17 September, at 2343 hours. He
-reported:
-
- “Transfer of survivors to _Annamite_ completed.”—Then come
- details—“Attacked by heavy seaplane at noon. Fully ready for
- action.”
-
-DÖNITZ: The third submarine, Schacht’s, the U-507, had sent a wireless
-message that he had so and so many men on board and was towing four
-lifeboats with Englishmen and Poles.
-
-FLOTTENRICHTER KRANZBÜHLER: That is the report on Page 40, the first
-report.
-
-DÖNITZ: Thereupon, of course, I ordered him to cast off these boats,
-because this burden made it impossible for him to dive.
-
-FLOTTENRICHTER KRANZBÜHLER: That is the second message on Page 40.
-
-DÖNITZ: Later, he again sent a long message, describing the supplying of
-the Italians and Englishmen in the boat.
-
-FLOTTENRICHTER KRANZBÜHLER: That is on Page 41, at 2310 hours. I shall
-read that message:
-
- “Transferred 163 Italians to _Annamite_.”—The _Annamite_ was a
- French cruiser which had been called to assist in the
- rescue.—“Navigation officer of _Laconia_ and another English
- officer on board. Seven lifeboats with about 330 Englishmen and
- Poles, among them 15 women and 16 children, deposited at Qu. FE
- 9612, women and children kept aboard ship for one night.
- Supplied all shipwrecked with hot meal and drinks, clothed and
- bandaged when necessary. Sighted four more boats at sea-anchor
- Qu. FE 9619.”
-
-Then there are further details which are not important.
-
-DÖNITZ: Because I had ordered him to cast off the lifeboats and we
-considered this general message as a supplementary later report, he was
-admonished by another message; and from that, the Prosecution wrongly
-concluded that I had prohibited the rescue of Englishmen. That I did not
-prohibit it can be seen from the fact that I did not raise objection to
-the many reports speaking of the rescue of Englishmen.
-
-Indeed, in the end I had the impression that the Italians did not fare
-very well in the rescue. That this impression was correct can be seen
-from the figures of those rescued. Of 811 Englishmen about 800 were
-rescued, and of 1,800 Italians 450.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, I want once more to clarify the
-dates of the entire action. The _Laconia_ was torpedoed on 12 September.
-When was the air attack on the lifeboats?
-
-DÖNITZ: On the 16th.
-
-FLOTTENRICHTER KRANZBÜHLER: In the night of the 16th? On the 17th?
-
-DÖNITZ: On the 16th.
-
-FLOTTENRICHTER KRANZBÜHLER: On the 16th of September. So the rescue took
-how many days altogether?
-
-DÖNITZ: Four days.
-
-FLOTTENRICHTER KRANZBÜHLER: And afterwards was continued until when?
-
-DÖNITZ: Until we turned them over to the French warships which had been
-notified by us.
-
-FLOTTENRICHTER KRANZBÜHLER: Now, what is the connection between this
-incident of the _Laconia_, which you have just described, and the order
-which the Prosecution charges as an order for destruction?
-
-DÖNITZ: Apart from my great and constant anxiety for the submarines and
-the strong feeling that the British and Americans had not helped in
-spite of the proximity of Freetown, I learned from this action very
-definitely that the time had passed when U-boats could carry out such
-operations on the surface without danger. The two bombing attacks showed
-clearly that in spite of good weather, in spite of the large numbers of
-people to be rescued who were more clearly visible to the aviators than
-in normal heavy sea conditions when few people have to be rescued, the
-danger to the submarines was so great that, as the one responsible for
-the boats and the lives of the crews, I had to prohibit rescue
-activities in the face of the ever-present—I cannot express it
-differently—the ever-present tremendous Anglo-American air force. I
-want to mention, just as an example, that all the submarines which took
-part in that rescue operation were lost by bombing attack at their next
-action or soon afterwards. The situation in which the enemy kills the
-rescuers while they are exposing themselves to great personal danger is
-really and emphatically contrary to ordinary common sense and the
-elementary laws of warfare.
-
-FLOTTENRICHTER KRANZBÜHLER: In the opinion of the Prosecution, Admiral,
-you used that incident to carry out in practice an idea which you had
-already cherished for a long time, namely, in the future to kill the
-shipwrecked. Please, state your view on this.
-
-DÖNITZ: Actually, I cannot say anything in the face of such an
-accusation. The whole question concerned rescue or nonrescue; the entire
-development leading up to that order speaks clearly against such an
-accusation. It was a fact that we rescued with devotion and were bombed
-while doing so; it was also a fact that the U-boat Command and I were
-faced with a serious decision and we acted in a humane way, which from a
-military point of view was wrong. I think, therefore, that no more words
-need be lost in rebuttal of this charge.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, I must put to you now the wording
-of that order from which the Prosecution draws its conclusions. I have
-read it before; in the second paragraph it says, “Rescue is contrary to
-the most primitive laws of warfare for the destruction of enemy ships
-and crews.”
-
-What does that sentence mean?
-
-DÖNITZ: That sentence is, of course, in a sense intended to be a
-justification. Now the Prosecution says I could quite simply have
-ordered that safety did not permit it, that the predominance of the
-enemy’s air force did not permit it—and as we have seen in the case of
-the _Laconia_, I did order that four times. But that reasoning had been
-worn out. It was a much-played record, if I may use the expression, and
-I was now anxious to state to the commanders of the submarines a reason
-which would exclude all discretion and all independent decisions of the
-commanders. For again and again I had the experience that, for the
-reasons mentioned before, a clear sky was judged too favorably by the
-U-boats and then the submarine was lost; or that a commander, in the
-role of rescuer, was in time no longer master of his own decisions, as
-the _Laconia_ case showed; therefore under no circumstances—under no
-circumstances whatsoever—did I want to repeat the old reason which
-again would give the U-boat commander the opportunity to say, “Well, at
-the moment there is no danger of an air attack”; that is, I did not want
-to give him a chance to act independently, to make his own decision, for
-instance, to say to himself, “Since the danger of air attack no longer
-permits.” That is just what I did not want. I did not want an argument
-to arise in the mind of one of the 200 U-boat commanders. Nor did I want
-to say, “If somebody with great self-sacrifice rescues the enemy and in
-that process is killed by him, then that is a contradiction of the most
-elementary laws of warfare.” I could have said that too. But I did not
-want to put it in that way, and therefore I worded the sentence as it
-now stands.
-
-THE PRESIDENT: You haven’t referred us back to the order, but are you
-referring to Page 36 of the Prosecution’s trial brief, or rather British
-Document Book?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President, Page 36 of the British
-Document Book.
-
-THE PRESIDENT: There are two orders there, are there not?
-
-FLOTTENRICHTER KRANZBÜHLER: No. It is one order with four numbered
-parts.
-
-THE PRESIDENT: Well, there are two paragraphs, aren’t there? There is
-Paragraph 1 and there is Paragraph 2 of 17 September 1942.
-
-FLOTTENRICHTER KRANZBÜHLER: I think you mean the excerpt from the war
-diary of the Commander of the U-boats, which is also on Page 36 in the
-document book.
-
-THE PRESIDENT: Hadn’t you better read the phrase that you are referring
-to?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes. I am speaking now of the second
-sentence, dated 17 September, under heading 1, on Page 36 of the
-document book of the Prosecution.
-
-THE PRESIDENT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: The second sentence reads, “Rescue is
-contrary to the most elementary laws of warfare for the destruction of
-enemy ships and crews.” That is the sentence on which Admiral Dönitz
-commented just now.
-
-THE PRESIDENT: On Page 36, the first order is an order to “All
-Commanding Officers” and Paragraph 1 of it begins, “No attempt of any
-kind must be made at rescuing members of ships...” Is that the paragraph
-you are referring to?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, and of that I mean the second sentence,
-Mr. President. “Rescue is contrary to the most primitive laws of warfare
-for the destruction of enemy ships and crews.”
-
-THE PRESIDENT: What about the next paragraph, 17 September 1942,
-Paragraph 2?
-
-FLOTTENRICHTER KRANZBÜHLER: I just wanted to put that to him. That is an
-entry in the war diary on which I would like to question him now.
-
-Admiral, I now put to you an entry in your war diary of 17 September;
-there we find:
-
- “All commanders are again advised that attempts to rescue crews
- of ships sunk are contrary to the most elementary laws of
- warfare after enemy ships and their crews have been destroyed.
- Orders about picking up captains and chief engineers remain in
- force.”
-
-THE PRESIDENT: It is differently translated in our document book. You
-said: “After enemy ships have been destroyed...” In our translation it
-is “.... by annihilating enemy ships and their crews.”
-
-FLOTTENRICHTER KRANZBÜHLER: I think it should be “by,” Mr. President,
-not “after.”
-
-DÖNITZ: This entry in the war diary refers to the radio order, the four
-regular radio messages which I sent during the _Laconia_ incident and
-which were also acknowledged.
-
-FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral. Please explain to the
-Tribunal first how such entries in the war diary were made. Who kept the
-war diary? Did you yourself keep it or who did that?
-
-DÖNITZ: Since I am not to conceal anything here, I have to say that the
-keeping of the war diary was a difficult matter for me because there
-were no reliable officers available for this task. That entry, as I
-suspected and as has been confirmed to me here, was made by a former
-chief petty officer who tried to condense my orders during the entire
-case into an entry of this sort. Of course, I was responsible for each
-entry; but this entry had in reality no actual consequences; my radio
-order was the essential thing.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, the decisive point here, in my
-opinion, is whether that entry is a record of your actual reflections or
-whether it is only an excerpt from the wireless order, an extract which
-had been noted down by a subordinate according to his best knowledge and
-ability.
-
-DÖNITZ: The latter is correct. My own lengthy deliberations were
-concerned with the order of the Naval Operations Staff, the order of the
-Führer, and my own serious decision, whether or not I should discontinue
-that method of warfare; but they are not included in the war diary.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, will you explain what is meant in
-the war diary by the entry, “All commanders are advised again,” and so
-on.
-
-DÖNITZ: I do not know exactly what that means. My staff, which is here,
-has told me that it referred to the four radio messages which I had
-sent; because before the _Laconia_ case no statement on this subject had
-been made. “Again,” therefore, means that this was the fifth radio
-message.
-
-FLOTTENRICHTER KRANZBÜHLER: Thus the order of 17 September 1942 was, for
-you, the end of the _Laconia_ incident?
-
-DÖNITZ: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: To whom was it directed?
-
-DÖNITZ: According to my best recollection, it was directed only to
-submarines on the High Seas. For the various operation areas—North
-Atlantic, Central Atlantic, South Atlantic—we had different radio
-channels. Since the other submarines were in contact with convoys and
-thus unable to carry out rescue measures, they could simply shelve the
-order. But I have now discovered that the order was sent out to all
-submarines, that is, on all channels; it was a technical matter of
-communication which of course could do no harm.
-
-FLOTTENRICHTER KRANZBÜHLER: You said that the fundamental consideration
-underlying the entire order was the overwhelming danger of air attack.
-If that is correct, how could you in the same order maintain the
-directive for the rescue of captains and chief engineers? That can be
-found under Heading 2.
-
-DÖNITZ: There is, of course, a great difference in risk between rescue
-measures for which the submarine has to stop, and men have to go on
-deck, and a brief surfacing to pick up a captain, because while merely
-surfacing the submarine remains in a state of alert, whereas otherwise
-that alertness is completely disrupted.
-
-However, one thing is clear. There was a military purpose in the seizure
-of these captains for which I had received orders from the Naval
-Operations Staff. As a matter of principle, and generally, I would say
-that in the pursuit of a military aim, that is to say, not rescue work
-but the capture of important enemies, one must and can run a certain
-risk. Besides, that addition was not significant in my view because I
-knew that in practice it brought very meager results, I might say no
-results at all.
-
-I remember quite clearly having asked myself, “Why do we still pick them
-up?” It was not our intention, however, to drop a general order of that
-importance. But the essential points are, first the lesser risk that the
-state of alert might not be maintained during rescue and, secondly, the
-pursuit of an important military aim.
-
-FLOTTENRICHTER KRANZBÜHLER: What do you mean by the last sentence in the
-order, “Be harsh”?
-
-DÖNITZ: I had preached to my U-boat commanders for 5½ years, that they
-should be hard towards themselves. And when giving this order I again
-felt that I had to emphasize to my commanders in a very drastic way my
-whole concern and my grave responsibility for the submarines, and thus
-the necessity of prohibiting rescue activities in view of the
-overwhelming power of the enemy air force. After all it is very definite
-that on one side there is the harshness of war, the necessity of saving
-one’s own submarine, and on the other the traditional sentiment of the
-sailor.
-
-FLOTTENRICHTER KRANZBÜHLER: You heard the witness Korvettenkapitän Möhle
-state in this Court that he misunderstood the order in the sense that
-survivors should be killed, and in several cases he instructed submarine
-commanders in that sense.
-
-DÖNITZ: Möhle is...
-
-FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral. I want to put a
-question first. As commanding officer, do you not have to assume
-responsibility for a misunderstanding of your order?
-
-DÖNITZ: Of course, I am responsible for all orders, for their form and
-their contents. Möhle, however, is the only person who had doubts about
-the meaning of that order. I regret that Möhle did not find occasion to
-clarify these doubts immediately, either through me, to whom everybody
-had access at all times, or through the numerous staff officers who, as
-members of my staff, were either also partly responsible or participated
-in the drafting of these orders; or, as another alternative, through his
-immediate superior in Kiel. I am convinced that the few U-boat
-commanders to whom he communicated his doubts remained quite unaffected
-by them. If there were any consequences I would of course assume
-responsibility for them.
-
-FLOTTENRICHTER KRANZBÜHLER: You are acquainted with the case of
-Kapitänleutnant Eck, who after sinking the Greek steamer _Peleus_ in the
-spring of 1944 actually fired on lifeboats. What is your view of this
-incident?
-
-DÖNITZ: As Kapitänleutnant Eck stated at the end of his interrogation
-under oath, he knew nothing of Möhle’s interpretation or Möhle’s doubts
-nor of the completely twisted message and my decision in the case of
-_U-386_. That was the incident which Möhle mentioned when the submarine
-met pneumatic rafts with fliers, and I voiced my disapproval because he
-had not taken them on board. A written criticism of his actions was also
-forwarded to him. On the other hand, some authority pointed out that he
-had not destroyed these survivors. Eck knew nothing about the
-interpretation or the doubts of the Möhle order, nor of this affair. He
-acted on his own decision, and his aim was not to kill survivors but to
-remove the wreckage; because he was certain that otherwise this wreckage
-would on the following day give a clue to Anglo-American planes and that
-they would spot and destroy him. His purpose, therefore, was entirely
-different from the one stated in the Möhle interpretation.
-
-FLOTTENRICHTER KRANZBÜHLER: Eck said during his examination that he had
-counted on your approval of his actions. Did you ever hear anything at
-all about the Eck case during the war?
-
-DÖNITZ: No. It was during my interrogation here that I heard about it,
-for Eck was taken prisoner during that same operation.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you approve of his actions, now that you
-know of them?
-
-DÖNITZ: I do not approve his actions because, as I said before, in this
-respect one must not deviate from military ethics under any
-circumstances. However, I want to say that Kapitänleutnant Eck was faced
-with a very grave decision. He had to bear responsibility for his boat
-and his crew, and that responsibility is a serious one in time of war.
-Therefore, if for the reason that he believed he would otherwise be
-spotted and destroyed—and that reason was not unfounded, because in the
-same operational area and during the same time four submarines, I think,
-had been bombed—if he came to his decision for that reason, then a
-German court-martial would undoubtedly have taken it into consideration.
-
-I believe that after the war one views events differently, and one does
-not fully realize the great responsibility which an unfortunate
-commander carries.
-
-FLOTTENRICHTER KRANZBÜHLER: Apart from the Eck case did you, during the
-war, or after, hear of any other instance in which a U-boat commander
-fired on shipwrecked people or life rafts?
-
-DÖNITZ: Not a single one.
-
-FLOTTENRICHTER KRANZBÜHLER: You know, do you not, the documents of the
-Prosecution which describe the sinking of the ships _Noreen Mary_ and
-_Antonico_? Do you or do you not recognize the soundness of these
-documents as evidence according to your experience in these matters?
-
-DÖNITZ: No. I believe that they cannot stand the test of an impartial
-examination. We have a large number of similar reports about the other
-side, and we were always of the opinion, and also stated that opinion in
-writing to the Führer and the OKW, that one must view these cases with a
-good deal of skepticism, because a shipwrecked person can easily believe
-that he is being fired on, whereas the shots may not be aimed at him at
-all, but at the ship, that is, misses of some sort.
-
-The fact that the Prosecution gives just these two examples proves to me
-that my conviction is correct, that apart from the Eck case no further
-instances of this kind occurred during those long years in the ranks of
-the large German U-boat force.
-
-FLOTTENRICHTER KRANZBÜHLER: You mentioned before the discussion with the
-Führer in May 1942, during which the problem whether it was permissible
-to kill survivors was examined, or at least touched upon by the Führer.
-Was that question re-examined at any time by the Commander-in-Chief of
-U-boats or the Naval Operations Staff?
-
-DÖNITZ: When I had become Commander-in-Chief of the Navy...
-
-FLOTTENRICHTER KRANZBÜHLER: That was in 1943?
-
-DÖNITZ: I think in the summer of 1943 I received a letter from the
-Foreign Office in which I was informed that about 87 percent of the
-crews of merchant ships which had been sunk were returning home. I was
-told that was a disadvantage and was asked whether it was not possible
-to do something about it.
-
-Thereupon I had a letter sent to the Foreign Office in which I wrote
-that I had already been forced to prohibit rescue because it endangered
-the submarines, but that other measures were out of the question for me.
-
-FLOTTENRICHTER KRANZBÜHLER: There is an entry in the War Diary of the
-Naval Operations Staff which deals with this case. I submit this entry
-as Dönitz-42, on Pages 92 to 94 in Volume II of the document book.
-
-I shall read as introduction the first and second sentences of Page 92.
-The entry is dated 4 April 1943.
-
- “The German Foreign Office pointed out a statement of the
- British Transport Minister according to which, following
- sinkings of merchant vessels, an average of 87 percent of the
- crews were saved. On the subject of this statement the Naval
- Operations Staff made a comprehensive reply to the Foreign
- Office.”
-
-Then there is the reply on the next pages, and I should like to call to
-your attention a part of it first, under Heading 1, about the number of
-convoy ships sunk. What is the importance of that in this connection?
-
-DÖNITZ: That so many people certainly returned home.
-
-FLOTTENRICHTER KRANZBÜHLER: Furthermore, under Heading 2, it is
-mentioned that the sailors do not need a long period of training, with
-the exception of officers, and that an order for the picking up of
-captains and chief engineers already existed. What is the meaning of
-that?
-
-DÖNITZ: It is intended to emphasize that a matter like that is being
-judged in the wrong light.
-
-FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral. By “a matter like
-that,” you mean the usefulness, from a military point of view, of
-killing the shipwrecked?
-
-DÖNITZ: I mean that crews were always available to the enemy, or
-unskilled men could very quickly be trained.
-
-FLOTTENRICHTER KRANZBÜHLER: Under Heading 4, you point to the great
-danger of reprisals against your own submarine crews. Did such reprisals
-against German U-boat crews occur at any time in the course of the war?
-
-DÖNITZ: I do not know. I did not hear anything about reprisals in that
-respect. I only received reliable reports that when U-boats were bombed
-and destroyed from the air, the men swimming in the water were shot at.
-But whether these were individual acts or reprisals carried out on
-orders, I do not know. I assume they were individual acts.
-
-FLOTTENRICHTER KRANZBÜHLER: The decisive point of the entire letter
-seems to be in Heading 3; I shall read that to you:
-
- “A directive to take action against lifeboats of sunken vessels
- and crew members drifting in the sea would, for psychological
- reasons, hardly be acceptable to U-boat crews, since it would be
- contrary to the innermost feelings of all sailors. Such a
- directive could only be considered if by it a decisive military
- success could be achieved.”
-
-Admiral, you yourself have repeatedly spoken about the harshness of war.
-Are you, nevertheless, of the opinion that psychologically the U-boat
-crews could not be expected to carry out such an order? And why?
-
-DÖNITZ: We U-boat men knew that we had to fight a very hard war against
-the great sea powers. Germany had at her disposal for this naval warfare
-nothing but the U-boats. Therefore, from the beginning—already in
-peacetime—I trained the submarine crews in the spirit of pure idealism
-and patriotism.
-
-That was necessary, and I continued that training throughout the war and
-supported it by very close personal contacts with the men at the bases.
-It was necessary to achieve very high morale, very high fighting spirit,
-because otherwise the severe struggle and the enormous losses, as shown
-on the diagram, would have been morally impossible to bear. But in spite
-of these high losses we continued the fight, because it had to be; and
-we made up for our losses and again and again replenished our forces
-with volunteers full of enthusiasm and full of moral strength, just
-because morale was so high. And I would never, even at the time of our
-most serious losses, have permitted that these men be given an order
-which was unethical or which would damage their fighting morale; much
-less would I myself ever have given such an order, for I placed my whole
-confidence in that high fighting morale and endeavored to maintain it.
-
-FLOTTENRICHTER KRANZBÜHLER: You said the U-boat forces were replenished
-with volunteers, did you?
-
-DÖNITZ: We had practically only volunteers.
-
-FLOTTENRICHTER KRANZBÜHLER: Also at the time of the highest losses?
-
-DÖNITZ: Yes, even during the time of highest losses, during the period
-when everyone knew that he took part in an average of two missions and
-then was lost.
-
-FLOTTENRICHTER KRANZBÜHLER: How high were your losses?
-
-DÖNITZ: According to my recollection, our total losses were 640 or 670.
-
-FLOTTENRICHTER KRANZBÜHLER: And crew members?
-
-DÖNITZ: Altogether, we had 40,000 men in the submarine force. Of these
-40,000 men 30,000 did not return, and of these 30,000, 25,000 were
-killed and only 5,000 were taken prisoner. The majority of the
-submarines were destroyed from the air in the vast areas of the sea, the
-Atlantic, where rescue was out of the question.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I come now to a new subject.
-Would this be a suitable time to recess?
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-FLOTTENRICHTER KRANZBÜHLER: I am turning now to the theme of the
-so-called conspiracy. The Prosecution is accusing you of participating
-from 1932, on the basis of your close connections with the Party, in a
-conspiracy to promote aggressive wars and commit war crimes. Where were
-you during the weeks of the seizure of power by the National Socialists
-in the early part of 1933?
-
-DÖNITZ: Immediately after 30 January 1933, I believe it was on 1
-February, I went on leave to the Dutch East Indies and Ceylon, a trip
-which lasted well into the summer of 1933. This leave journey had been
-granted me, at Grossadmiral Raeder’s recommendation, by President
-Hindenburg.
-
-FLOTTENRICHTER KRANZBÜHLER: After that, you became commander of a
-cruiser at a foreign station?
-
-DÖNITZ: In the autumn of 1934 I went as captain of the cruiser _Emden_
-through the Atlantic, around Africa into the Indian Ocean, and back.
-
-FLOTTENRICHTER KRANZBÜHLER: Before this sojourn abroad or after your
-return in 1935 and until you were appointed Commander-in-Chief of the
-Navy in the year 1943 were you politically active in any way?
-
-DÖNITZ: I was not active politically until 1 May 1945, when I became
-head of the State, not before then.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution has submitted a document,
-namely, an affidavit by Ambassador Messersmith. It bears the number
-USA-57 (Document Number 1760-PS) and I have the pertinent extracts in my
-document book, Volume II, Page 100. In this affidavit, Ambassador
-Messersmith says that from 1930 until the spring of 1934 he acted as
-Consul General for the United States in Berlin. Then, until July 1937,
-he was in Vienna and from there he went to Washington. He gives an
-opinion about you with the remark, “Among the people whom I saw
-frequently and to whom my statements refer were the following....” Then
-your name is mentioned. From this one must get the impression that
-during this period of time you were active in political circles in
-Berlin or Vienna. Is that correct?
-
-DÖNITZ: No. At that time I was Lieutenant Commander and from the end of
-1934 on I was Commander.
-
-FLOTTENRICHTER KRANZBÜHLER: With the permission of the Tribunal I sent
-an interrogatory to Ambassador Messersmith in order to determine upon
-what facts he was basing his opinion. This interrogatory was answered
-and I am submitting it as Exhibit Dönitz-45. The answers will be found
-on Page 102 of the document book, and I quote:
-
- “During my residence in Berlin and during my later frequent
- visits there as stated in my previous affidavits, I saw Admiral
- Karl Dönitz and spoke to him on several occasions. However, I
- kept no diary and I am unable to state with accuracy when and
- where the meetings occurred, the capacity in which Admiral
- Dönitz appeared there, or the topic or topics of our
- conversation. My judgment on Dönitz expressed in my previous
- affidavit is based on personal knowledge and on the general
- knowledge which I obtained from the various sources described in
- my previous affidavits.”
-
-Did you, Admiral, see and speak with Ambassador Messersmith anywhere and
-at any time?
-
-DÖNITZ: I never saw him, and I hear his name here for the first time.
-Also, at the time in question, I was not in Berlin. I was in
-Wilhelmshaven on the North Sea coast or in the Indian Ocean. If he
-alleges to have spoken to me it would have had to be in Wilhelmshaven or
-in the Indian Ocean. Since neither is the case, I believe that he is
-mistaken and that he must have confused me with somebody else.
-
-FLOTTENRICHTER KRANZBÜHLER: Were you a member of the NSDAP?
-
-DÖNITZ: On 30 January 1944 I received from the Führer, as a decoration,
-the Golden Party Badge; and I assume that I thereby became an honorary
-member of the Party.
-
-FLOTTENRICHTER KRANZBÜHLER: When did you become acquainted with Adolf
-Hitler and how often did you see him before you were appointed
-Commander-in-Chief of the Navy?
-
-DÖNITZ: I saw Adolf Hitler for the first time when, in the presence of
-Grossadmiral Raeder in the autumn of 1934, I informed him of my
-departure for foreign parts as captain of the cruiser _Emden_. I saw him
-again on the day following my return with the _Emden_. From the autumn
-of 1934 until the outbreak of war in 1939, in 5 years, I saw him four
-times in all, including the two occasions when I reported to him as
-already mentioned.
-
-FLOTTENRICHTER KRANZBÜHLER: And what were the other two occasions? Were
-they military or political occasions?
-
-DÖNITZ: One was a military matter when he was watching a review of the
-fleet in the Baltic Sea and I stood next to him on the bridge of the
-flagship in order to give the necessary explanations while two U-boats
-showed attack maneuvers.
-
-The other occasion was an invitation to all high-ranking army and navy
-officers when the new Reich Chancellery in the Voss Strasse was
-completed. That was in 1938 or 1939. I saw him there but I did not speak
-with him.
-
-FLOTTENRICHTER KRANZBÜHLER: How many times during the war, until your
-appointment as Commander-in-Chief, did you see the Führer?
-
-DÖNITZ: In the years between 1939 and 1943 I saw the Führer four times,
-each time when short military reports about U-boat warfare were being
-made and always in the presence of large groups.
-
-FLOTTENRICHTER KRANZBÜHLER: Until that time had you had any discussion
-which went beyond the purely military?
-
-DÖNITZ: No, none at all.
-
-FLOTTENRICHTER KRANZBÜHLER: When were you appointed Commander-in-Chief
-of the Navy as successor to Grossadmiral Raeder?
-
-DÖNITZ: On 30 January 1943.
-
-FLOTTENRICHTER KRANZBÜHLER: Was the war which Germany was waging at that
-time at an offensive or defensive stage?
-
-DÖNITZ: At a decidedly defensive stage.
-
-FLOTTENRICHTER KRANZBÜHLER: In your eyes was the position of
-Commander-in-Chief, which was offered to you, a political or a military
-position?
-
-DÖNITZ: It was self-evidently a purely military position, namely, that
-of the first soldier at the head of the Navy. My appointment to this
-position also came about because of purely military reasons which
-motivated Grossadmiral Raeder to propose my name for this position.
-Purely military considerations were the decisive ones in respect to this
-appointment.
-
-FLOTTENRICHTER KRANZBÜHLER: You know, Admiral, that the Prosecution
-draws very far-reaching conclusions from your acceptance of this
-appointment as Commander-in-Chief of the Navy, especially with reference
-to the conspiracy. The Prosecution contends that through your acceptance
-of this position you ratified the previous happenings, all the endeavors
-of the Party since 1920 or 1922, and the entire German policy, domestic
-and foreign, at least since 1933. Were you aware of the significance of
-this foreign policy? Did you take this into consideration at all?
-
-DÖNITZ: The idea never entered my head. Nor do I believe that there is a
-soldier who, when he receives a military command, would entertain such
-thoughts or be conscious of such considerations. My appointment as
-Commander-in-Chief of the Navy represented for me an order which I of
-course had to obey, just as I had to obey every other military order,
-unless for reasons of health I was not able to do so. Since I was in
-good health and believed that I could be of use to the Navy, I naturally
-also accepted this command with inner conviction. Anything else would
-have been desertion or disobedience.
-
-FLOTTENRICHTER KRANZBÜHLER: Then as Commander-in-Chief of the Navy you
-came into very close contact with Adolf Hitler. You also know just what
-conclusions the Prosecution draws from this relationship. Please tell me
-just what this relationship was and on what it was based?
-
-DÖNITZ: In order to be brief, I might perhaps explain the matter as
-follows:
-
-This relationship was based on three ties. First of all, I accepted and
-agreed to the national and social ideas of National Socialism: the
-national ideas which found expression in the honor and dignity of the
-nation, its freedom, and its equality among nations and its security;
-and the social tenets which had perhaps as their basis: no class
-struggle, but human and social respect of each person regardless of his
-class, profession, or economic position, and on the other hand,
-subordination of each and every one to the interests of the common weal.
-Naturally I regarded Adolf Hitler’s high authority with admiration and
-joyfully acknowledged it, when in times of peace he succeeded so quickly
-and without bloodshed in realizing his national and social objectives.
-
-My second tie was my oath. Adolf Hitler had, in a legal and lawful way,
-become the Supreme Commander of the Wehrmacht, to whom the Wehrmacht had
-sworn its oath of allegiance. That this oath was sacred to me is
-self-evident and I believe that decency in this world will everywhere be
-on the side of him who keeps his oath.
-
-The third tie was my personal relationship: Before I became
-Commander-in-Chief of the Navy, I believe Hitler had no definite
-conception of me and my person. He had seen me too few times and always
-in large circles. How my relationship to him would shape itself was
-therefore a completely open question when I became Commander-in-Chief of
-the Navy. My start in this connection was very unfavorable. It was made
-difficult, first, by the imminent and then the actual collapse of U-boat
-warfare and, secondly, by my refusal, just as Grossadmiral Raeder had
-already refused, to scrap the large ships, which in Hitler’s opinion had
-no fighting value in view of the oppressive superiority of the foe. I,
-like Grossadmiral Raeder, had opposed the scrapping of these ships, and
-only after a quarrel did he finally agree. But, despite that, I noticed
-very soon that in Navy matters he had confidence in me and in other
-respects as well treated me with decided respect.
-
-Adolf Hitler always saw in me only the first soldier of the Navy. He
-never asked for my advice in military matters which did not concern the
-Navy, either in regard to the Army or the Air Force; nor did I ever
-express my opinion about matters concerning the Army or the Air Force,
-because basically I did not have sufficient knowledge of these matters.
-Of course, he never consulted me on political matters of a domestic or
-foreign nature.
-
-FLOTTENRICHTER KRANZBÜHLER: You said, Admiral, that he never asked you
-for advice on political matters. But those matters might have come up in
-connection with Navy questions. Did you not participate then either?
-
-DÖNITZ: If by “political” you mean, for instance, consultations of the
-commanders with the so-called “National Socialist Leadership Officers,”
-then, of course, I participated, because this came within the sphere of
-the Navy, or rather was to become a Navy concern. That was naturally the
-case.
-
-FLOTTENRICHTER KRANZBÜHLER: Beyond those questions, did Hitler ever
-consider you a general adviser, as the Prosecution claims and as they
-concluded from the long list of meetings which you have had with Hitler
-since 1943 at his headquarters?
-
-DÖNITZ: First of all, as a matter of principle, there can be no question
-of a general consultation with the Führer; as I have already said, the
-Führer asked for and received advice from me only in matters concerning
-the Navy and the conduct of naval warfare—matters exclusively and
-absolutely restricted to my sphere of activity.
-
-FLOTTENRICHTER KRANZBÜHLER: According to the table submitted, between
-1943 and 1945 you were called sometimes once and sometimes twice a month
-to the Führer’s headquarters. Please describe to the Tribunal just what
-happened, as far as you were concerned, on a day like that at the
-Führer’s headquarters—what you had to do there.
-
-DÖNITZ: Until 2 or 3 months before the collapse, when the Führer was in
-Berlin, I flew to his headquarters about every 2 or 3 weeks, but only if
-I had some concrete Navy matter for which I needed his decision. On
-those occasions I participated in the noontime discussion of the general
-military situation, that is, the report which the Führer’s staff made to
-him about what had taken place on the fighting fronts within the last 24
-hours. At these military discussions the Army and Air Force situation
-was of primary importance, and I spoke only when my Naval expert was
-reporting the naval situation and he needed me to supplement his report.
-Then at a given moment, which was fixed by the Adjutant’s Office, I gave
-my military report which was the purpose of my journey. When rendering
-this report only those were present whom these matters concerned, that
-is, when it was a question of reinforcements, _et cetera_, Field Marshal
-Keitel or Generaloberst Jodl were generally present.
-
-When I came to his headquarters every 2 or 3 weeks—later in 1944 there
-was sometimes an interval of 6 weeks—the Führer invited me to lunch.
-These invitations ceased completely after 20 July 1944, the day of the
-attempted assassination.
-
-I never received from the Führer an order which in any way violated the
-ethics of war. Neither I nor anyone in the Navy—and this is my
-conviction—knew anything about the mass extermination of people, which
-I learned about here from the Indictment, or, as far as the
-concentration camps are concerned, after the capitulation in May 1945.
-
-In Hitler I saw a powerful personality who had extraordinary
-intelligence and energy and a practically universal knowledge, from whom
-power seemed to emanate and who was possessed of a remarkable power of
-suggestion. On the other hand, I purposely very seldom went to his
-headquarters, for I had the feeling that I would best preserve my power
-of initiative that way and, secondly, because after several days, say 2
-or 3 days at his headquarters, I had the feeling that I had to disengage
-myself from his power of suggestion. I am telling you this because in
-this connection I was doubtless more fortunate than his staff who were
-constantly exposed to his powerful personality with its power of
-suggestion.
-
-FLOTTENRICHTER KRANZBÜHLER: You said just now, Admiral, that you never
-received an order which was in violation of military ethics. You know
-the Commando Order of the autumn of 1942. Did you not receive this
-order?
-
-DÖNITZ: I was informed of this order after it was issued while I was
-still Commander of the U-boats. For the soldiers at the front this order
-was unequivocal. I had the feeling that it was a very grave matter; but
-under Point 1 of this order it was clearly and unequivocally expressed
-that members of the enemy forces, because of their behavior, because of
-the killing of prisoners, had placed themselves outside the Geneva
-Convention and that therefore the Führer had ordered reprisals and that
-those reprisal measures, in addition, had been published in the
-Wehrmacht report.
-
-FLOTTENRICHTER KRANZBÜHLER: Therefore, the soldier who received this
-order had no right, no possibility, and no authority to demand a
-justification or an investigation; does this mean such an order was
-justified? As Commander of the U-boats did you have anything to do with
-the execution of this order?
-
-DÖNITZ: No, not in the slightest.
-
-FLOTTENRICHTER KRANZBÜHLER: As far as you remember, did you as
-Commander-in-Chief of the Navy have anything to do with the carrying out
-of this order?
-
-DÖNITZ: As far as I remember I was never concerned with this order as
-Commander-in-Chief of the Navy. One should not forget, first, that this
-decree excludes expressly those taken prisoner in battles at sea and,
-second, that the Navy had no territorial authority on land, and for this
-latter reason found itself less often in a position of having to carry
-out any point of this order.
-
-FLOTTENRICHTER KRANZBÜHLER: You know the document submitted by the
-Prosecution, which describes how in the summer of 1943 a Commando unit
-was shot in Norway. I mean the Prosecution’s Exhibit GB-208. The
-incident is described there as showing that the crew of a Norwegian
-motor torpedo boat were taken prisoner on a Norwegian island. This motor
-torpedo boat was charged with belligerent missions at sea. The document
-does not say who took the crew prisoner, but it does say that the
-members of the crew were wearing their uniforms when they were taken
-prisoner, that they were interrogated by a naval officer, and that on
-the order of Admiral Von Schrader they were turned over to the SD. The
-SD later shot them. Did you know about this incident or was it reported
-to you as Commander-in-Chief?
-
-DÖNITZ: I learned about this incident from the trial brief of the
-Prosecution.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you explain the fact that an incident of
-this nature was not brought to your attention? Would this not have had
-to be reported to you?
-
-DÖNITZ: If the Navy was concerned in this matter, that is, if this crew
-had been captured by the Navy, Admiral Von Schrader, who was the
-commander there, would absolutely have had to report this matter to the
-Commander-in-Chief of the Navy. I am also convinced that he would have
-done so, for the regulations regarding this were unequivocal. I am also
-convinced that the naval expert at the Navy High Command, who was
-concerned with such matters, would have reported this to me as
-Commander-in-Chief.
-
-FLOTTENRICHTER KRANZBÜHLER: What is your opinion about this case now
-that you have learned about it through the document of the Prosecution?
-
-DÖNITZ: If it is correct that it concerns the crew of a motor torpedo
-boat which had belligerent missions at sea, then this measure, the
-shooting which took place, was entirely wrong in any case, for it was in
-direct opposition even to this Commando Order. But I consider it
-completely out of the question, for I do not believe that Admiral Von
-Schrader, whom I know personally to be an especially chivalrous sailor,
-would have had a hand in anything of this sort. From the circumstances
-of this incident, the fact that it was not reported to the High Command,
-that this incident, as has now been ascertained by perusal of the German
-newspapers of that time, was never mentioned in the Wehrmacht
-communiqué, as would have been the case if it had been a matter
-concerning the Wehrmacht, from all these circumstances I assume that the
-incident was as follows:
-
-That the police arrested these people on the island; that they were
-taken from this island by vessel to Bergen; that there one or two, if I
-remember correctly, naval officers interrogated them, since the Navy, of
-course, was interested in this interrogation; and that then these people
-were handed over to the SD, since they had already been taken prisoner
-by the SD. I cannot explain it otherwise.
-
-FLOTTENRICHTER KRANZBÜHLER: You wish to say, then, that in your opinion
-these men had never been prisoners of the Navy?
-
-DÖNITZ: No. If they had been, a report to the High Command would have
-been made.
-
-FLOTTENRICHTER KRANZBÜHLER: Quite apart from these questions I should
-like to ask you, did you not in your position as Commander-in-Chief, and
-during your visits to the Führer’s headquarters, have experiences which
-made you consider disassociating yourself from Adolf Hitler?
-
-DÖNITZ: I have already stated that as far as my activity was concerned,
-even at headquarters, I was strictly limited to my own department, since
-it was a peculiarity of the Führer’s to listen to a person only about
-matters which were that person’s express concern. It was also
-self-evident that at the discussions of the military situation only
-purely military matters were discussed, that is, no problems of domestic
-policy, of the SD, or the SS, unless it was a question of SS divisions
-in military service under one of the army commanders. Therefore I had no
-knowledge of all these things. As I have already said, I never received
-an order from the Führer which in any way violated military ethics. Thus
-I firmly believe that in every respect I kept the Navy unsullied down to
-the last man until the end. In naval warfare my attention was focused on
-the sea; and the Navy, small as it was, tried to fulfill its duty
-according to its tasks. Therefore I had no reason at all to break with
-the Führer.
-
-FLOTTENRICHTER KRANZBÜHLER: Such a reason would not necessarily refer to
-a crime; it could also have been, for political considerations, having
-nothing to do with crimes. You have heard the question broached
-repeatedly as to whether there should have been a Putsch. Did you enter
-into contact with such a movement or did you yourself consider or
-attempt a Putsch?
-
-DÖNITZ: No. The word “Putsch” has been used frequently in this courtroom
-by a wide variety of people. It is easy to say so, but I believe that
-one would have had to realize the tremendous significance of such an
-activity.
-
-The German nation was involved in a struggle of life and death. It was
-surrounded by enemies almost like a fortress. And it is clear, to keep
-to the simile of the fortress, that every disturbance from within would
-without doubt perforce have affected our military might and fighting
-power. Anyone, therefore, who violates his loyalty and his oath to plan
-and try to bring about an overthrow during such a struggle for survival
-must be most deeply convinced that the nation needs such an overthrow at
-all costs and must be aware of his responsibility.
-
-Despite this, every nation will judge such a man to be a traitor, and
-history will not vindicate him unless the success of the overthrow
-actually contributes to the welfare and prosperity of his people. This,
-however, would not have been the case in Germany.
-
-If, for instance, the Putsch of 20 July had been successful, then a
-dissolution, if only a gradual one, would have resulted inside
-Germany—a fight against the bearers of weapons, here the SS, there
-another group, complete chaos inside Germany—for the firm structure of
-the State would gradually have been destroyed and disintegration and a
-reduction of our fighting power at the front would have inevitably
-resulted.
-
-THE PRESIDENT: The Tribunal thinks that the defendant is making a long
-and political speech. It really hasn’t very much to do with the
-questions with which we have to deal.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I was of the opinion that the
-question of whether a Commander-in-Chief is obliged to bring about a
-Putsch was regarded as a main point by the Prosecution, a point having a
-bearing on the question of whether he declared himself in agreement or
-not with the system which is being characterized as criminal. If the
-Tribunal considers this question irrelevant I do not want to press it
-further.
-
-THE PRESIDENT: I don’t think the Prosecution has put forward the view
-that anybody had to create a Putsch.
-
-FLOTTENRICHTER KRANZBÜHLER: It seemed to me a self-evident view of the
-Prosecution.
-
-Admiral, the Prosecution has submitted two documents, dating from the
-winter of 1943 and May 1945, containing speeches made by you to the
-troops. You are accused by the Prosecution of preaching National
-Socialist ideas to the troops. Please define your position on this
-point.
-
-DÖNITZ: When in February 1943 I became Commander-in-Chief of the Navy, I
-was responsible for the fighting power of the entire Navy. A main source
-of strength in this war was the unity of our people. And those who had
-most to gain from this unity were the Armed Forces, for any rupture
-inside Germany would perforce have had an effect on the troops and would
-have reduced that fighting spirit which was their mission. The Navy, in
-particular, in the first World War, had had bitter experiences in this
-direction in 1917-18.
-
-Therefore in all of my speeches I tried to preserve this unity and the
-feeling that we were the guarantors of this unity. This was necessary
-and right, and particularly necessary for me as a leader of troops. I
-could not preach disunity or dissolution, and it had its effect.
-Fighting power and discipline in the Navy were of a high standard until
-the end. And I believe that in every nation such an achievement is
-considered a proper and good achievement for a leader of troops. These
-are my reasons for talking the way I did.
-
-FLOTTENRICHTER KRANZBÜHLER: On 30 April 1945 you became head of the
-State as Adolf Hitler’s successor; and the Prosecution concludes from
-this that prior to that time also you must have been a close confidant
-of Hitler’s, since only a confidant of his would have been chosen to be
-Hitler’s successor where matters of state were concerned. Will you tell
-me how you came to be his successor and whether Hitler before that time
-ever spoke to you about this possibility?
-
-DÖNITZ: From 20 July 1944 on I did not see Hitler alone, but only at the
-large discussions of the military situation. He never spoke to me about
-the question of a successor, not even by way of hinting. This was
-entirely natural and clear since, according to law, the Reich Marshal
-was his successor; and the regrettable misunderstanding between the
-Führer and the Reich Marshal did not occur until the end of April 1945,
-at a time when I was no longer in Berlin.
-
-FLOTTENRICHTER KRANZBÜHLER: Where were you?
-
-DÖNITZ: I was in Holstein. Therefore, I did not have the slightest
-inkling, nor did the Führer, that I was to become his successor.
-
-FLOTTENRICHTER KRANZBÜHLER: Just how, through what measures or orders,
-did that actually come about?
-
-DÖNITZ: On 30 April 1945, in the evening, I received a radio message
-from headquarters to the effect that the Führer was designating me his
-successor and that I was authorized to take at once all measures which I
-considered necessary.
-
-The next morning, that is on 1 May, I received another radio message, a
-more detailed directive, which said that I was to be Reich President;
-Minister Goebbels, Reich Chancellor; Bormann, Party Minister; and
-Seyss-Inquart, Foreign Minister.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you adhere to this directive?
-
-DÖNITZ: This radio message first of all contradicted the earlier radio
-message which clearly stated: “You can at once do everything you
-consider to be right.” I did not and as a matter of principle never
-would adhere to this second radio message, for if I am to take
-responsibility, then no conditions must be imposed on me. Thirdly, under
-no circumstances would I have agreed to working with the people
-mentioned, with the exception of Seyss-Inquart.
-
-In the early morning of 1 May I had already had a discussion with the
-Minister of Finance, Count Schwerin von Krosigk, and had asked him to
-take over the business of government, insofar as we could still talk
-about that. I had done this because in a chance discussion, which had
-taken place several days before, I had seen that we held much the same
-view, the view that the German people belonged to the Christian West,
-that the basis of future conditions of life is the absolute legal
-security of the individual and of private property.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, you know the so-called “Political
-Testament” of Adolf Hitler, in which you are charged with continuing the
-war. Did you receive an order of this sort at that time?
-
-DÖNITZ: No. I saw this Testament for the first time a few weeks ago
-here, when it was made public in the press. As I have said, I would not
-have accepted any order, any restriction of my activity at the time when
-Germany’s position was hopeless and I was given the responsibility.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution has submitted a document in
-which you exhorted the war leaders in the spring of 1945 to carry on
-tenaciously to the end. It is Exhibit GB-212. You are accused in this
-connection of being a fanatical Nazi who was ready to carry on a
-hopeless war at the expense of the women and children of your people.
-Please define your position in respect to this particularly grave
-accusation.
-
-DÖNITZ: In this connection I can say the following: In the spring of
-1945 I was not head of the State; I was a soldier. To continue the fight
-or not to continue the fight was a political decision. The head of the
-State wanted to continue the fight. I as a soldier had to obey. It is an
-impossibility that in a state one soldier should declare, “I shall
-continue to fight,” while another declares, “I shall not continue the
-fight.” I could not have given any other advice, the way I saw things;
-and for the following reasons:
-
-First: In the East the collapse of our front at one point meant the
-extermination of the people living behind that front. We knew that
-because of practical experiences and because of all the reports which we
-had about this. It was the belief of all the people that the soldier in
-the East had to do his military duty in these hard months of the war,
-these last hard months of the war. This was especially important because
-otherwise German women and children would have perished.
-
-The Navy was involved to a considerable extent in the East. It had about
-100,000 men on land, and the entire surface craft were concentrated in
-the Baltic for the transport of troops, weapons, wounded, and above all,
-refugees. Therefore the very existence of the German people in this last
-hard period depended above all on the soldiers carrying on tenaciously
-to the end.
-
-Secondly: If we had capitulated in the first few months of the spring or
-in the winter of 1945, then from everything we knew about the enemy’s
-intentions the country would, according to the Yalta Agreement, have
-been ruinously torn asunder and partitioned and the German land occupied
-in the same way as it is today.
-
-Thirdly: Capitulation means that the army, the soldiers, stay where they
-are and become prisoners. That means that if we had capitulated in
-January or February 1945, 2 million soldiers in the East, for example,
-would have fallen into the hands of the Russians. That these millions
-could not possibly have been cared for during the cold winter is
-obvious; and we would have lost men on a very large scale, for even at
-the time of the capitulation in May 1945—that is, in the late
-spring—it was not possible in the West to take care of the large masses
-of prisoners according to the Geneva Convention. Then, as I have already
-said, since the Yalta Agreement would have been put into effect, we
-would have lost in the East a much larger number of people who had not
-yet fled from there.
-
-When on 1 May I became head of the State, circumstances were different.
-By that time the fronts, the Eastern and Western fronts, had come so
-close to each other that in a few days people, troops, soldiers, armies,
-and the great masses of refugees could be transported, from the East to
-the West. When I became head of the State on 1 May, I therefore strove
-to make peace as quickly as possible and to capitulate, thus saving
-German blood and bringing German people from the East to the West; and I
-acted accordingly, already on 2 May, by making overtures to General
-Montgomery to capitulate for the territory facing his army, and for
-Holland and Denmark which we still held firmly; and immediately
-following that I opened negotiations with General Eisenhower.
-
-The same basic principle—to save and preserve the German
-population—motivated me in the winter to face bitter necessity and keep
-on fighting. It was very painful that our cities were still being bombed
-to pieces and that through these bombing attacks and the continued fight
-more lives were lost. The number of these people is about 300,000 to
-400,000, the majority of whom perished in the bombing attack of Dresden,
-which cannot be understood from a military point of view and which could
-not have been predicted. Nevertheless, this figure is relatively small
-compared with the millions of German people, soldiers and civilian
-population, we would have lost in the East if we had capitulated in the
-winter.
-
-Therefore, in my opinion, it was necessary to act as I did: First while
-I was still a soldier, to call on my troops to keep up the fight, and
-afterwards, when I became head of the State in May, to capitulate at
-once. Thereby no German lives were lost; rather they were saved.
-
-FLOTTENRICHTER KRANZBÜHLER: I have no further questions, Mr. President.
-
-THE PRESIDENT: The Tribunal will adjourn.
-
- [_A recess was taken._]
-
-THE PRESIDENT: Does any other member of the Defendants’ Counsel wish to
-ask questions?
-
-DR. WALTER SIEMERS (Counsel for Defendant Raeder): Admiral Dönitz, you
-have already explained that Grossadmiral Raeder and the Navy in the
-summer of 1939 did not believe, despite certain ominous signs, that war
-was about to break out. Since you saw Grossadmiral Raeder in the summer
-of 1939, I should like you briefly to supplement this point. First of
-all, on what occasion did you have a detailed conversation with
-Grossadmiral Raeder?
-
-DÖNITZ: Grossadmiral Raeder embarked in the middle of July 1939 for
-submarine maneuvers of my fleet in the Baltic Sea. Following the
-maneuvers...
-
-DR. SIEMERS: May I first ask you something? What sort of maneuvers were
-they? How large were they and where did they take place?
-
-DÖNITZ: All submarines which had completed their tests I had assembled
-in the Baltic. I cannot remember the exact figure, but I think there
-were about 30. In the maneuvers I then showed Grossadmiral Raeder what
-these submarines could accomplish.
-
-DR. SIEMERS: Were all those submarines capable of navigating in the
-Atlantic?
-
-DÖNITZ: Yes, they were, and in addition there were the smaller
-submarines of lower tonnage, which could operate only as far as the
-North Sea.
-
-DR. SIEMERS: That means, therefore, that at that time you had no more
-than two dozen submarines capable of navigating in the Atlantic; is that
-right?
-
-DÖNITZ: That figure is too high. At that time we had not even 15
-submarines capable of navigating in the Atlantic. At the outbreak of
-war, as far as I remember, we went to sea with fifteen submarines
-capable of navigating in the Atlantic.
-
-DR. SIEMERS: During those few days when you were with Raeder at the
-maneuvers did you talk to him privately?
-
-DÖNITZ: Yes. Grossadmiral Raeder told me—and he repeated this to the
-entire officers’ corps during his final speech in Swinemünde—that the
-Führer had informed him that under no circumstances must a war in the
-West develop, for that would be _Finis Germaniae_. I asked for leave and
-immediately after the maneuvers I went on leave on 24 July for a
-6-weeks’ rest at Bad Gastein. I am merely stating that because it shows
-how we regarded the situation at that time.
-
-DR. SIEMERS: But then the war came rather quickly, did it not, and you
-had to break off the leave which you had planned?
-
-DÖNITZ: I was called back by telephone in the middle of August.
-
-DR. SIEMERS: These words, that there would be no war with England, and
-the words, _Finis Germaniae_, did Raeder speak them during a private
-conversation or only in this speech at Swinemünde?
-
-DÖNITZ: As far as the sense is concerned, yes. As far as the exact words
-are concerned, I cannot remember now what was said in the main speech
-and what was said before. At any rate he certainly said it during the
-main speech.
-
-DR. SIEMERS: Thank you very much.
-
-DR. LATERNSER: Admiral, on 30 January 1943 you became Commander-in-Chief
-of the Navy and thereby a member of the group which is indicted here,
-the General Staff and the OKW?
-
-DÖNITZ: Yes.
-
-DR. LATERNSER: I wanted to ask you whether, after you were appointed,
-you had discussions with any of the members of these groups regarding
-plans or aims as outlined in the Indictment?
-
-DÖNITZ: No, with none of them.
-
-DR. LATERNSER: After you came to office, you dismissed all the senior
-commanders in the Navy. What were the reasons for this?
-
-DÖNITZ: Since I was between 7 and 10 years younger than the other
-commanders in the Navy, for instance, Admiral Carls, Admiral Boehm, and
-others, it was naturally difficult for both parties. They were released
-for those reasons and, I believe, in spite of mutual respect and esteem.
-
-DR. LATERNSER: How many commanders in the Navy were involved in this
-case?
-
-DÖNITZ: I think three or four.
-
-DR. LATERNSER: Was there close personal and official contact between the
-Navy on the one hand, and the Army and Air Force on the other?
-
-DÖNITZ: No, not at all.
-
-DR. LATERNSER: Did you know most of the members of the indicted group?
-
-DÖNITZ: No. Before my time as Commander-in-Chief of the Navy, I knew
-only those with whom I happened to find myself in the same area. For
-instance, when I was in France I knew Field Marshal Von Rundstedt. After
-I became Commander-in-Chief I knew only those whom I met by chance when
-I was at headquarters where they had to submit some army report at the
-large military situation conference.
-
-DR. LATERNSER: Then you did not know most of the members of these
-groups?
-
-DÖNITZ: No.
-
-DR. LATERNSER: Did those commanders who were known to you have a common
-political aim?
-
-DÖNITZ: As far as the Army and the Air Force are concerned, I cannot
-say. As far as the Navy is concerned, the answer is “no.” We were
-soldiers, and I was interested in what the soldier could accomplish,
-what his personality was; and I did not concern myself in the main about
-a political line of thought, unless it affected his performance as a
-soldier.
-
-I want to mention, as an example, the fact that my closest colleague who
-from 1934 until the very end in 1945 always accompanied me as my
-adjutant and later as Chief of Staff, was extremely critical of National
-Socialism—to put it mildly—without our official collaboration or my
-personal attitude toward him being affected thereby, as this long period
-of working together shows.
-
-DR. LATERNSER: May I inquire the name of this Chief of Staff to whom you
-have just referred?
-
-DÖNITZ: Admiral Godt.
-
-DR. LATERNSER: Admiral Godt. Do you know of any remarks made by Hitler
-regarding the attitude of the generals of the Army? The question refers
-only to those who belong to the indicted group.
-
-DÖNITZ: At the discussions of the military situation, I naturally heard
-a hasty remark now and then about some army commander, but I cannot say
-today why it was made or to whom it referred.
-
-DR. LATERNSER: You were quite often present during the situation
-conferences at the Führer’s headquarters. Did you notice on such
-occasions that commanders-in-chief put forward in Hitler’s presence
-views strikingly different from his?
-
-DÖNITZ: Yes, that certainly happened.
-
-DR. LATERNSER: Can you remember any particular instance?
-
-DÖNITZ: I remember that when the question of falling back in the
-northern sector in the East was discussed, the army commander of this
-sector of the front was not of the same opinion as the Führer, and that
-this led to an argument.
-
-DR. LATERNSER: Was that commander successful with his objections?
-
-DÖNITZ: I think so, partly; but I should like you to ask an army officer
-about that because naturally I do not know these details so clearly and
-authentically.
-
-DR. LATERNSER: Did the high military leaders of the Navy have anything
-to do with the Einsatzgruppen of the SD?
-
-DÖNITZ: The Navy, no. As far as the Army is concerned, I do not believe
-so and I assume they did not. But please do not ask me about anything
-but the Navy.
-
-DR. LATERNSER: Yes. This question referred only to the Navy. And now,
-some questions about regional Navy commanders. Did the commanders of the
-regional Navy Group Commands—Marine-Gruppenkommando—have extensive
-territorial authority?
-
-DÖNITZ: No. According to the famous KG-40, that is War Organization
-1940, the Navy had no territorial powers ashore. Its task ashore was to
-defend the coast under the command of the Army and according to sectors,
-that is, under the command of the divisions stationed in that particular
-sector. Apart from that they took part in battle in coastal waters.
-
-DR. LATERNSER: So that regional commanders in the Navy were therefore
-simply troop commanders?
-
-DÖNITZ: Yes.
-
-DR. LATERNSER: Did the commanders of these regional Navy Group Commands
-have any influence on the formulation of orders regarding submarine
-warfare?
-
-DÖNITZ: No, none whatever.
-
-DR. LATERNSER: Did they influence decisions regarding what ships were to
-be sunk?
-
-DÖNITZ: No, not at all.
-
-DR. LATERNSER: And did they influence orders regarding the treatment of
-shipwrecked personnel?
-
-DÖNITZ: No.
-
-DR. LATERNSER: Now the holder of the office Chief of Naval Operations
-Staff also belongs to this group. What were the tasks of a Chief of
-Naval Operations Staff?
-
-DÖNITZ: That was a high command, the office which worked out the purely
-military, tactical, and operational matters of the Navy.
-
-DR. LATERNSER: Did the Chief of Naval Operations Staff have powers to
-issue orders?
-
-DÖNITZ: No.
-
-DR. LATERNSER: Then his position was similar to that of Chief of General
-Staff of the Air Force or of the Army?
-
-DÖNITZ: I beg your pardon, I must first get the idea clear.
-
-I assume that by “Chief of Naval Operations Staff” you mean the Chief of
-Staff of Naval Operations Staff? In Grossadmiral Raeder’s time the name
-“Chief of Naval Operations Staff” was the same as “Commander-in-Chief of
-the Navy.” The position about which you are asking was called “Chief of
-Staff of Naval Operations Staff” while I was Commander-in-Chief of the
-Navy; the name “Chief of Staff of Naval Operations Staff” was changed to
-“Chief of Naval Operations Staff,” but it was the same person and he was
-under the Commander-in-Chief of the Navy.
-
-DR. LATERNSER: Was there in the Navy a staff of Admirals corresponding
-to the Army General Staff?
-
-DÖNITZ: No, that did not exist. Such an institution did not exist. The
-necessary consultants, “Führungsgehilfen,” as we called them, came from
-the front, served on the staff and then returned to the front.
-
-DR. LATERNSER: Now I shall ask one last question. The witness Gisevius
-has stated in this courtroom that the highest military leaders had
-drifted into corruption by accepting gifts. Did you yourself receive a
-gift of any kind?
-
-DÖNITZ: Apart from the salary to which I was entitled, I did not receive
-a penny; I received no gifts. And the same applies to all the officers
-of the Navy.
-
-DR. LATERNSER: Thank you very much. I have no further questions.
-
-DR. NELTE: Witness, you were present when the witness Gisevius was being
-examined here. That witness, without giving concrete facts, passed
-judgment in the following manner: “Keitel had one of the most
-influential positions in the Third Reich.” And at another point he said,
-“I received very exact information regarding the tremendous influence,
-which Keitel had on everything relating to the Army and accordingly also
-on those who represented the Army to the German people.”
-
-Will you, who can judge these matters, tell me whether that judgment of
-Defendant Keitel’s position, his function, is correct?
-
-DÖNITZ: I consider it very much exaggerated. I think that Field Marshal
-Keitel’s position has been described here so unequivocally that it ought
-to be clear by now that what is contained in these words is not at all
-correct.
-
-DR. NELTE: Am I to gather from this that you confirm as correct the
-description of the position and functions as given by Reich Marshal
-Göring and Field Marshal Keitel himself?
-
-DÖNITZ: Yes, it is perfectly correct.
-
-DR. NELTE: The witness Gisevius judged these matters, not on the basis
-of his own knowledge, but on the basis of information received from
-Admiral Canaris. Did you know Admiral Canaris?
-
-DÖNITZ: I know Admiral Canaris from the time when he was still a member
-of the Navy.
-
-DR. NELTE: Later on, when he was Chief of the Intelligence Service for
-foreign countries in the OKW, did you not have discussions with him? Did
-he not come to see you in his capacity as Chief of the Intelligence
-Service?
-
-DÖNITZ: After I became Commander-in-Chief of the Navy, he visited me and
-he made a report about information matters which he thought he could
-place at the disposal of the Navy, my sphere of interest. But that was
-his last report to me. After that, of course, I received from him or his
-department written information reports which concerned the Navy.
-
-DR. NELTE: Is it right for me to say that the position of Admiral
-Canaris as Chief of Intelligence, that is, espionage, counterespionage,
-sabotage, and intelligence, was of great importance for the entire
-conduct of the war?
-
-DÖNITZ: His office or his department?
-
-DR. NELTE: He was the chief of the whole department, was he not?
-
-DÖNITZ: Of course, he worked for the entire Armed Forces, all three
-branches of the Armed Forces; and I must say in that connection, if you
-ask me about the importance, that I was of the opinion that the
-information which we received from him and which interested the Navy was
-very meager indeed.
-
-DR. NELTE: Did Canaris ever complain to you that Field Marshal Keitel at
-the OKW in any way obstructed and hampered him in carrying out his
-activity and that he could not pass on his intelligence and his reports?
-
-DÖNITZ: He never did that and, of course, he could have done so only
-during the first report. No, he never did that.
-
-DR. NELTE: With reference to Canaris I should like to know whether you
-can tell me anything about his character and consequently about his
-credibility as a source of information; whether you consider him
-reliable?
-
-DÖNITZ: Admiral Canaris, while he was in the Navy, was an officer in
-whom not much confidence was shown. He was a man quite different from
-us—we used to say he had seven souls in his breast.
-
-THE PRESIDENT: Dr. Nelte, we don’t want to know about Admiral Canaris
-when he was in the Navy. I don’t think there is any use telling us that
-Admiral Canaris was in the Navy. The only possible relevance would be
-his character afterwards when he was head of the intelligence.
-
-DR. NELTE: Mr. President, do you not think that, if someone is
-unreliable and not credible as a commodore, he might also be so as an
-Admiral in the OKW? Do you think that that could have changed during
-these years?
-
-[_Turning to the defendant._] But, nevertheless, I thank you for the
-answer to this question and I now ask you to answer the following
-question. Is it true that Hitler forbade all branches of the Armed
-Forces to make reports on any political matters and that he demanded
-that they confine themselves to their own sphere of work?
-
-DÖNITZ: Yes, that is true.
-
-DR. NELTE: Witness Gisevius has stated that Field Marshal Keitel
-threatened the officers under his command that he would hand them over
-to the Gestapo if they concerned themselves with political matters, and
-I ask you: Is it true that, according to the regulations applying to the
-Armed Forces, the Police—including the Gestapo, the SD, and the
-Criminal Police—had no jurisdiction at all over members of the Armed
-Forces, no matter what their rank was?
-
-DÖNITZ: That is correct.
-
-DR. NELTE: And is it also correct that the branches of the Armed Forces
-and also the OKW were at great pains to preserve this prerogative as far
-as the Police were concerned?
-
-DÖNITZ: Yes, that is true.
-
-DR. NELTE: So that any alleged threat, as mentioned by Gisevius, namely,
-the handing over of these people to the Gestapo, could not have been
-carried out?
-
-DÖNITZ: No.
-
-DR. NELTE: And it is correct for me to say that all officers of the OKW
-to whom such a statement might have been made naturally knew that, too?
-
-DÖNITZ: Naturally. A soldier was subject to military jurisdiction, and
-nobody could interfere with the Armed Forces.
-
-DR. NELTE: Moreover, did Field Marshal Keitel, as Chief of the OKW, have
-any right to deal with officers serving in the OKW without the knowledge
-and consent of the Commander-in-Chief of the branch of the Armed Forces
-to which the officer belonged? Could he promote such an officer, dismiss
-him, or anything like that?
-
-DÖNITZ: An officer in a branch of the Armed Forces—for instance the
-Navy—was detailed to the OKW for a definite office and thus was sent by
-the Navy to the OKW. If this officer was to be given a different office
-in the OKW, then the branch of the Armed Forces to which he belonged
-would of course have to be consulted.
-
-DR. NELTE: Is it not correct to say that these officers were still on
-the roster of their own branch of the Armed Forces, since the OKW was
-not a branch of the Armed Forces and was not a formation; in other
-words, if there was a promotion, for instance, it would be ordered by
-the Navy? If Canaris was to have been promoted, you, as
-Commander-in-Chief of the Navy, would have had to order this promotion,
-assuming, of course, that you were in agreement with this proposal? It
-was merely a question of the actual command and of personnel?
-
-DÖNITZ: These officers were detailed to the OKW. As far as I can
-recollect, they were still on the Navy roster under the heading,
-“Detailed from the Navy to the OKW.”
-
-DR. NELTE: But they did not leave the Navy as a branch of the Armed
-Forces, did they?
-
-DÖNITZ: Promotion of such officers, I think, was decided by the
-Personnel Office of the Navy in agreement with the OKW, and I think also
-that no one could be detailed—I consider this self-evident—without
-agreement of the branch of the Armed Forces concerned.
-
-DR. NELTE: Witness Gisevius has stated that certain men, among them
-Field Marshal Keitel for military matters, had formed a close ring of
-silence around Hitler so that nobody they did not want to let through
-could approach him. I ask you, was it possible for Field Marshal Keitel
-to keep you, as Commander-in-Chief of the Navy, away from Hitler, if you
-wanted to make a report to him?
-
-DÖNITZ: No.
-
-DR. NELTE: In the same way, was it possible for Field Marshal Keitel to
-keep the Commander-in-Chief of the Air Force away, if the latter wanted
-to report to the Führer?
-
-DÖNITZ: No.
-
-DR. NELTE: And how was it with the Commander-in-Chief of the Army?
-
-DÖNITZ: I know nothing about that. When I was Commander-in-Chief of the
-Navy, there was no such position.
-
-DR. NELTE: Then how was it with the Chief of General Staff of the Army?
-Could he at any time report to the Führer without going by way of Field
-Marshal Keitel?
-
-DÖNITZ: It was not possible for Field Marshal Keitel to keep anyone
-away, and he would never have done so anyway.
-
-DR. NELTE: In reply to a question of the Prosecution, witness Gisevius
-stated in this courtroom that his group forwarded reports to Field
-Marshal Keitel, by way of Admiral Canaris, which dealt with the crimes
-against humanity which have been adduced here by the Prosecution. These
-reports had been camouflaged as “foreign reports.”
-
-I ask you, was a camouflaged “foreign report” of this sort ever
-submitted to you or sent to you by Canaris?
-
-DÖNITZ: No, never.
-
-DR. NELTE: From your knowledge of Keitel’s personality, do you consider
-it possible that he would have withheld from the Führer an important
-report which was submitted to him?
-
-DÖNITZ: I consider that absolutely out of the question.
-
-THE PRESIDENT: I don’t think that is a proper question for you to put.
-
-DR. NELTE: With this question I wanted to end my inquiries on this
-point; but I still have one other question, which can be quickly dealt
-with.
-
-Mr. President, in your communication of 26 March 1946, you gave me
-permission to submit an affidavit from Admiral Dönitz concerning the
-function and the position of the Chief of the OKW. I received this
-affidavit and handed it over to the Prosecution on 13 April for
-examination, and I understand that there are no objections to this
-affidavit. I have, however, not yet got back the original, which was
-handed over on 13 April, and I do not know whether it has in the
-meantime been submitted to the Tribunal by the Prosecution or not.
-
-THE PRESIDENT: I don’t know anything about the affidavit that you are
-dealing with.
-
-DR. NELTE: I shall therefore be forced to put questions to Admiral
-Dönitz, which in large part are the same questions which I have already
-put to Field Marshal Keitel himself.
-
-THE PRESIDENT: Do the Prosecution object to the affidavit at all?
-
-DR. NELTE: No, they did not raise any objections. Therefore, if it had
-been returned I would have submitted it as an exhibit, without reading
-it.
-
-THE PRESIDENT: Very well.
-
-DR. NELTE: Thank you.
-
-DR. DIX: Witness, you have stated that the SD and the Gestapo, in fact,
-the whole Police had no jurisdiction over members of the Armed
-Forces—for instance, they could not arrest members of the Armed Forces.
-Did I understand you correctly?
-
-DÖNITZ: Yes.
-
-DR. DIX: Do you know, Witness, that all the officers, or in any case
-most of them, who were suspected of being involved in the affair of 20
-July, were arrested by members of the SD and sent for questioning by the
-SD and the SD office, where they were arrested, to prisons under the SD
-and there held under SD guard and not under any military guard?
-
-DÖNITZ: No, I don’t know that, because after 20 July, as far as I can
-remember, an order was issued specifically stating that the SD were to
-give to branches of the Armed Forces the names of those soldiers who had
-participated in the Putsch and that these soldiers were then to be
-dismissed from the branches of the Armed Forces, particularly to keep
-the principle of noninterference in the branches of the Armed Forces
-from being violated, and that then the SD would have the right to take
-action.
-
-DR. DIX: That order did come out, but perhaps we can come to an
-explanation of this order if you answer further questions which I want
-to put to you.
-
-Do you know, Witness, that the examination, the interrogation of those
-officers arrested in connection with 20 July, was carried out
-exclusively by officials of the SD or the Gestapo and not by officers,
-that is, members of military courts?
-
-DÖNITZ: I can only judge as to the two cases which I had in the Navy. I
-received information that these two officers had participated. I had
-questions put to them, and they confirmed it. Thereupon these officers
-were dismissed from the Navy. After that the interrogation was, of
-course, not carried out by the Navy; but I know that my Navy court
-judges still concerned themselves about the officers and the
-interrogation.
-
-DR. DIX: Who dismissed these men?
-
-DÖNITZ: The Navy.
-
-DR. DIX: That is you.
-
-DÖNITZ: Yes.
-
-DR. DIX: Do you know, Witness, that following upon the investigation
-regarding 20 July a committee of generals was formed under the
-chairmanship of Field Marshal Von Rundstedt?
-
-DÖNITZ: Yes, I heard about that.
-
-DR. DIX: And that this committee, on the basis of the records of the SD,
-decided whether the officer in question was to be dismissed from the
-Army or would have to leave the Army, so that he could be turned over to
-the civil court, namely, the People’s Court?
-
-DÖNITZ: That is not known to me.
-
-DR. DIX: May I put it to you that I am of the opinion that the order
-which you have described correctly...
-
-THE PRESIDENT: Dr. Dix, you are bound by his answer. He said he didn’t
-know anything about it. You can’t then put to him what you say happened.
-If he says he doesn’t know anything about it, you must accept his
-answer.
-
-DR. DIX: I just wanted to put to him that the order to which I referred
-earlier, which actually exists and which deals with the decision of
-whether a person is to be dismissed from the Army and surrendered to the
-civil authorities, has to do with this committee presided over by Field
-Marshal Von Rundstedt, which had to decide whether the officer in
-question was to be dismissed and thereby turned over, not to a military
-court, but to the People’s Court.
-
-THE PRESIDENT: I understood the witness to say he didn’t know anything
-about it. I think you are bound by that answer.
-
-DR. DIX: May I add something?
-
-THE PRESIDENT: Who are you offering these questions for? You are counsel
-for the Defendant Schacht.
-
-DR. DIX: My colleague’s questions concerning Keitel were put to
-challenge the credibility of the witness Gisevius. Schacht’s defense is
-naturally interested in the credibility of the witness Gisevius. The
-Defense has put three questions in connection with Gisevius’
-credibility, therefore, concerning the case for Schacht. May I add
-something?
-
-THE PRESIDENT: Very well.
-
-DR. DIX: I ask the questions to which your Lordship is objecting only
-because I think it possible that the answer of the witness may have been
-based on a mistake, namely, that he confused the general regulation
-stating that the soldier concerned must be dismissed before the SD could
-lay hands on him with the order stating that Von Rundstedt’s committee
-would have to decide whether the officer in question was to be dismissed
-from the Army so that he could be handed over to the People’s Court, not
-to the SD. The SD merely carried out the investigation, the preliminary
-interrogation.
-
-THE PRESIDENT: What is it you want to ask him now?
-
-DR. DIX: Admiral, I think you have understood my question, or do you
-want me to repeat it?
-
-DÖNITZ: I cannot tell you any more than I have already done.
-
-DR. SERVATIUS: Witness, as Commander of Submarines, you did once have
-some official contact with Sauckel?
-
-DÖNITZ: No, not official but private.
-
-DR. SERVATIUS: What was the occasion?
-
-DÖNITZ: A submarine, which was to go into the Atlantic for 8 weeks, had
-reported to me that it had been discovered after leaving port that
-Gauleiter Sauckel had crept aboard. I immediately sent a radio message
-ordering the submarine to turn back and put him on the nearest outpost
-steamer.
-
-DR. SERVATIUS: What was Sauckel’s motive?
-
-DÖNITZ: No doubt a belligerent one. He wanted to go to sea again.
-
-DR. SERVATIUS: But he was a Gauleiter. Did he not have particular
-reasons in order to show that he too was ready to fight in the war and
-did not want to remain behind?
-
-DÖNITZ: It surprised me that he, as a Gauleiter, should want to go to
-sea; but, at any rate, I considered that here was a man who had his
-heart in the right place.
-
-DR. SERVATIUS: You believe that his motives were idealistic?
-
-DÖNITZ: Certainly. Nothing much can be got out of a submarine trip.
-
-DR. SERVATIUS: I have no further questions.
-
-DR. STEINBAUER: Admiral, do you remember that in your capacity as head
-of the State on 1 May 1945 you ordered the Reich Commissioner for the
-Occupied Netherlands to come to Flensburg to report to you?
-
-DÖNITZ: Yes.
-
-DR. STEINBAUER: Do you also remember that on this occasion my client
-asked you to cancel the order originally sent to the Commander-in-Chief
-in the Netherlands to the effect that all locks and dykes should be
-blown up in the event of an attack, and to give the order that the mined
-blasting points be rendered harmless?
-
-DÖNITZ: Yes, he did do that. It was in accordance with my own
-principles, for when I became head of the State I gave the order that
-all destruction in occupied territories, including for instance
-Czechoslovakia, should cease forthwith.
-
-DR. STEINBAUER: At the end of his report, did he ask you for permission
-to return to his station in the Netherlands instead of remaining in
-Germany?
-
-DÖNITZ: Yes, he did so repeatedly. He tried to get back—the weather
-situation was difficult—to the Netherlands by a motor torpedo boat.
-
-DR. STEINBAUER: Thank you very much.
-
-SIR DAVID MAXWELL-FYFE: Defendant, I want you first of all to answer
-some questions on your record after becoming Commander-in-Chief of the
-Navy on 30 January 1943. As Commander-in-Chief of the Navy you had the
-equivalent rank of a Minister of the Reich; is that not so?
-
-DÖNITZ: Yes, that is correct.
-
-SIR DAVID MAXWELL-FYFE: You had also the right to participate in
-meetings of the Reich Cabinet; had any such meetings taken place?
-
-DÖNITZ: I was authorized to participate if such a meeting, or my
-participation in such a meeting, was ordered by the Führer. That is the
-wording of the order. But I must say that no meeting of the Reich
-Cabinet took place at the time I was Commander-in-Chief from 1943 on.
-
-SIR DAVID MAXWELL-FYFE: From the time that you became Commander-in-Chief
-of the Navy, the government of the Reich was in a sense carried on from
-Hitler’s headquarters; isn’t that so?
-
-DÖNITZ: That is correct.
-
-SIR DAVID MAXWELL-FYFE: It was a military dictatorship in which the
-dictator saw those people he wanted at his military headquarters; that
-is right, is it not?
-
-DÖNITZ: One cannot say “military dictatorship.” It was not a
-dictatorship at all. There was a military sector and a civilian sector,
-and both components were united in the hands of the Führer.
-
-SIR DAVID MAXWELL-FYFE: I see. I will take the last part of your answer,
-and we will not argue about the first.
-
-Now, you saw him on 119 days in just over 2 years; do you agree to that?
-
-DÖNITZ: Yes. But in that connection it must be stated that from 30
-January 1943, when I became Commander-in-Chief of the Navy, until the
-end of January 1945—that is, approximately 2 years—the number was, I
-think, 57 times. The larger figure arises from the fact that in the last
-months of the war I took part in the noontime conferences on the
-situation which took place daily in the Voss Strasse in Berlin.
-
-SIR DAVID MAXWELL-FYFE: I want to ask you about certain of these. At a
-number of these meetings the Defendant Speer was present, was he not?
-
-DÖNITZ: I cannot remember that he was present in person at the
-discussions of the military situation. Actually Minister Speer as a
-civilian had nothing to do with a discussion of the military situation.
-But it is possible that he was there on some occasions, for instance,
-when tank production and other matters were discussed which were
-directly connected with the Führer’s military considerations.
-
-SIR DAVID MAXWELL-FYFE: That was exactly what I was going to put to you,
-that the occasions when the Defendant Speer were present were when you
-were going into matters of supply; that is, supply for the various
-services, including supply for the Navy.
-
-DÖNITZ: Supply questions of the Navy were never discussed at the large
-conferences on the military situation. I discussed these matters with
-the Führer alone, as I have already said, usually in the presence of
-Jodl and Keitel. I submitted these matters to the Führer after I had
-come to an understanding with Minister Speer, to whom I had delegated
-all matters of naval armament when I became Commander-in-Chief of the
-Navy. That, in general, was the situation.
-
-SIR DAVID MAXWELL-FYFE: But, like the head of every service, you would
-have had to learn about priorities and materials and labor. You would
-want to know how labor was going to be allocated during the next period,
-would you not?
-
-DÖNITZ: I tried to bring it about that by a decision of the Führer
-Minister Speer would be given the order to build the largest possible
-number of new U-boats which I had to have at the time. But there were
-limitations as to the quantities to be allotted to each branch of the
-Armed Forces by Speer’s Ministry.
-
-SIR DAVID MAXWELL-FYFE: And, therefore, you would be very interested in
-discovering the figure of manpower for labor for naval supplies and for
-the other supplies, to see that you were getting your fair share, would
-you not?
-
-DÖNITZ: I am very sorry, but I cannot give you an answer to that. I
-never knew, and I do not know today, how many workers Speer was using
-for the armament supply for the Navy. I do not even know whether Speer
-can give you the answer, because construction of submarines, for
-instance, was taking place all over the German Reich in many industrial
-plants. Parts were then assembled in the shipyards. Therefore I have no
-idea what the labor capacity allotted to the Navy was.
-
-SIR DAVID MAXWELL-FYFE: Do you remember describing Speer as the man who
-holds the production of Europe in his hand? That was on 17 December
-1943. I shall put the document to you in a little time. But do you
-remember describing him as that?
-
-DÖNITZ: Yes; I know that quite well.
-
-SIR DAVID MAXWELL-FYFE: And don’t you know quite well also that Speer
-was getting his labor from foreign labor brought into the Reich?
-
-DÖNITZ: I knew, of course, that there were foreign workers in Germany.
-It is just as self-evident that as Commander-in-Chief of the Navy I was
-not concerned as to how these workers were recruited. That was none of
-my business.
-
-SIR DAVID MAXWELL-FYFE: Did not Gauleiter Sauckel tell you on the
-occasion of this trip that he had got 5 million foreign workers into the
-Reich, of whom only 200,000 had come voluntarily?
-
-DÖNITZ: I did not have a single conversation with Gauleiter Sauckel. I
-have never had a discussion with anyone about questions referring to
-workers.
-
-SIR DAVID MAXWELL-FYFE: Now, Defendant, you were head of a service
-department in the fifth and sixth years of the war. Wasn’t Germany, like
-every other country, searching around to scrape the bottom of the barrel
-for labor for all its requirements? Weren’t you in urgent need of labor,
-like every other country in the war?
-
-DÖNITZ: I, too, think that we needed workers.
-
-SIR DAVID MAXWELL-FYFE: Are you telling the Tribunal that you did not
-know after these conferences with Hitler and with Speer that you were
-getting this labor by forcing foreign labor to come into the Reich and
-be used?
-
-DÖNITZ: During my conferences with Hitler and Speer, the system of
-obtaining these workers was never mentioned at all. The methods did not
-interest me at all. During these conferences the labor question was not
-discussed at all. I was interested merely in how many submarines I
-received, that is, how large my allotment was in terms of ships built.
-
-SIR DAVID MAXWELL-FYFE: You tell the Tribunal you discussed that with
-Speer and he never told you where he was getting his labor? Is that your
-answer on this point?
-
-DÖNITZ: Yes, that is my answer, and it is true.
-
-SIR DAVID MAXWELL-FYFE: Do you remember, just before we passed from the
-industrial side of it, that at certain meetings the representatives for
-coal and transport, and Gauleiter Kaufmann, the Reich Commissioner for
-Shipping, were present at meetings which you had with the Führer?
-
-DÖNITZ: No.
-
-SIR DAVID MAXWELL-FYFE: You may take it from me that they are listed as
-being present at these meetings. Were you dealing with general problems
-of shipping and transport?
-
-DÖNITZ: Never. As far as sea transport is concerned—that is true. I was
-thinking of things on land. I thought you meant on land. I have already
-stated that at the end of the war I was keenly interested in the tonnage
-of merchant vessels because this tonnage, which I needed in order to
-carry out military transports from Norway, from and to the East, and for
-refugee transports, was not under my jurisdiction but under that of
-Gauleiter Kaufmann, the Reich Commissioner for shipping. So at meetings
-and discussions which dealt with the sea transport situation I was, of
-course, present.
-
-SIR DAVID MAXWELL-FYFE: Let us take another subject of these 119 days.
-On 39 of these days the Defendant Keitel was also present at the
-headquarters and at about the same number, the Defendant Jodl.
-
-DÖNITZ: I am sorry; I did not understand the date.
-
-SIR DAVID MAXWELL-FYFE: I will put it again. At 39 of these meetings
-between January 1943 and April 1945 the Defendant Keitel was present and
-at about the same number, the Defendant Jodl. Now, is it right that you
-discussed or listened to the discussion, in their presence, of the
-general strategical position?
-
-DÖNITZ: I might say that the word “meeting” does not quite describe the
-matter. It was rather, as I...
-
-SIR DAVID MAXWELL-FYFE: Well now, you choose the word; you give us the
-word.
-
-DÖNITZ: It was, as I described it, a large-scale discussion of the
-military situation; and at this discussion I heard also, of course,
-reports about the army situation. That I explained before.
-
-SIR DAVID MAXWELL-FYFE: I just want to get it quite clear that over
-these 2 years you had every opportunity of understanding and
-appreciating the military strategical position; that is so, isn’t it?
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: Well now, on 20 of these occasions the Defendant
-Göring was present. The Defendant Göring has put himself forward in two
-capacities; as Commander-in-Chief of the Luftwaffe and as a politician.
-What was he doing on these 20 occasions?
-
-DÖNITZ: Reich Marshal Göring was there as Commander-in-Chief of the Air
-Force when the military situation was discussed.
-
-SIR DAVID MAXWELL-FYFE: And so from the Defendant Göring you would have
-a full knowledge and appreciation of the air situation and the position
-of the Luftwaffe during this period?
-
-DÖNITZ: Insofar as my occasional presence at these discussions, in which
-only segments were dealt with—an over-all picture was never given at
-such a discussion—insofar as I could form an opinion from these
-segments, which naturally was always fragmentary. That was the reason
-why I have never made statements about military matters outside the
-Navy.
-
-SIR DAVID MAXWELL-FYFE: Let me ask you just one further question on this
-point. Following up what Dr. Laternser asked, on 29 June 1944, apart
-from Keitel and Jodl and Göring, these defendants, Marshal Von Rundstedt
-and Marshal Rommel were also present; and may I remind you that that was
-3 weeks after the Allies had invaded in the West. You were being given
-the opportunity, were you not, of getting the appreciation of the
-strategical position after the Allied invasion of Normandy, isn’t that
-so?
-
-DÖNITZ: Yes, from that I gained an impression of the situation in
-Normandy after the enemy had set foot there. I was in a position to
-report to the Führer which of my new small striking devices I could put
-to use in that sector.
-
-SIR DAVID MAXWELL-FYFE: Now, let us change to another aspect of the
-government in general.
-
-On a number of occasions the Reichsführer-SS Himmler was present at
-these conferences—shall I call them—isn’t that so?
-
-DÖNITZ: Yes. If the Reichsführer-SS Himmler was there, and as far as I
-remember that happened once or twice, it was because of his Waffen-SS.
-
-SIR DAVID MAXWELL-FYFE: You may take it from me that he is shown as
-being there on at least seven occasions, and that Fegelein, who was his
-representative at the Führer’s headquarters, is shown as being present
-on five occasions. What did Himmler discuss about the Waffen-SS—the
-doings of the Totenkopf division?
-
-DÖNITZ: That cannot be right. Fegelein was always present during the
-discussions of the military situation; he never missed, because he was a
-permanent representative. If the Reichsführer was present during these
-discussions, he reported only on the Waffen-SS, those divisions of the
-Waffen-SS which were being used somewhere under the Army. I do not know
-the name of these individual divisions. I do not think they included the
-Totenkopf; I never heard they did; there was a Viking or...
-
-SIR DAVID MAXWELL-FYFE: That was because they were being largely
-occupied in concentration camps, and you say that Himmler never
-mentioned that?
-
-DÖNITZ: That Totenkopf divisions were used in concentration camps I
-learned here in Nuremberg. It wasn’t mentioned there. I have already
-said that during the military discussions only military matters were
-discussed.
-
-SIR DAVID MAXWELL-FYFE: Now, the Defendant Kaltenbrunner is only
-reported as being present once, on 26 February 1945, when there was
-quite a considerable gathering of SS notabilities. What were you
-discussing with him then?
-
-DÖNITZ: It is not correct that Kaltenbrunner was there only once. As far
-as I remember, he was there two, three, or four times; at any rate,
-during the last months of the war I saw him two, three, or four times.
-Kaltenbrunner never said a word there; as far as I remember, he just
-listened and stood about.
-
-SIR DAVID MAXWELL-FYFE: What I want you to tell the Tribunal is: What
-was the subject of conversation when you had, not only the Defendant
-Kaltenbrunner there, but you had SS Obergruppenführer Steiner, your own
-captain in attendance, and Lieutenant General Winter? What were these
-gentlemen there for, and what were you hearing from them?
-
-DÖNITZ: Who is the captain and who is Lieutenant General Günther?
-
-SIR DAVID MAXWELL-FYFE: Captain Von Assmann; I took it he was the
-captain in attendance on you, though I may have been wrong—Kapitän zur
-See Von Assmann. Then there was Lieutenant General Winter, SS
-Obergruppenführer Steiner, and SS Obergruppenführer Kaltenbrunner. What
-were you discussing on the 26th of February 1945?
-
-DÖNITZ: I must mention one fact in this connection: Captain Von Assmann
-was present at every discussion of the general situation.
-
-SIR DAVID MAXWELL-FYFE: Just a moment. You can tell us something
-afterwards, but first of all listen to my question. What were you
-discussing with these people from the SS on 26 February 1945?
-
-DÖNITZ: I cannot remember that now. I do remember, however, that Steiner
-received an order in regard to the army groups in Pomerania which were
-to make the push from the north to the south in order to relieve Berlin.
-I think that when Steiner was present perhaps this question, which did
-not concern me, was discussed.
-
-SIR DAVID MAXWELL-FYFE: Now I just want you to think, before I leave
-this point. You have agreed with me that at a number of meetings, a
-large number, there were present Keitel and Jodl, at not quite so many
-Göring, who would give you the army and air situation in Germany; there
-was present the Defendant Speer, who would give you the production
-position; there was present Himmler, or his representative Fegelein, who
-would give you the security position; and you yourself were present, who
-would give the naval position. At all meetings there was present the
-Führer who would make the decisions.
-
-I put to you, Defendant, that you were taking as full a part in the
-government of Germany during these years as anyone, apart from Adolf
-Hitler himself.
-
-DÖNITZ: In my opinion that description is not correct. At these
-discussions of the general situation neither Speer nor anybody else
-supplied a complete survey of the work being done. On the contrary, only
-acute questions of the day were discussed. As I have said, the
-happenings of the last 24 hours were discussed, and what should be done.
-That there was a staff there which in its reports gave an over-all
-picture—that was quite out of the question; it was not at all like
-that. The only one who had a complete picture of the situation was the
-Führer. At these discussions of the military situation the developments
-of the last 24 hours and the measures to be taken were discussed. These
-are the facts.
-
-Therefore, one cannot say that any one of the participants had an
-over-all picture. Rather every one had a clear view of his own
-department for which he was responsible. An over-all picture in the mind
-of any of the participants is out of the question. Only the Führer had
-that.
-
-SIR DAVID MAXWELL-FYFE: Well, I won’t argue with you; but I suppose,
-Defendant, that you say—as we have heard from so many other
-defendants—that you knew nothing about the slave-labor program, you
-knew nothing about the extermination of the Jews, and you knew nothing
-about any of the bad conditions in concentration camps. I suppose you
-are going to tell us you knew nothing about them at all, are you?
-
-DÖNITZ: That is self-evident, since we have heard here how all these
-things were kept secret; and if one bears in mind the fact that everyone
-in this war was pursuing his own tasks with the maximum of energy, then
-it is no wonder at all. To give an example, I learned of the conditions
-in concentration camps...
-
-SIR DAVID MAXWELL-FYFE: I just want your answer for the moment, and you
-have given it to me. I want you to come to a point which was well within
-your own knowledge, and that is the order for the shooting of Commandos,
-which was issued by the Führer on 18 October 1942. You have told us that
-you got it when you were Flag Officer of U-boats. Now, do you remember
-the document by which the Naval Operations Staff distributed it? Do you
-remember that it said this:
-
- “This order must not be distributed in writing by flotilla
- leaders, section commanders, or officers of this rank.
-
- “After verbal notification to subordinate sections the above
- officers must hand this order over to the next higher section,
- which is responsible for its withdrawal and destruction.”
-
-Do you remember that?
-
-DÖNITZ: Yes, I read that again when I saw the order here. But on the
-other side it says also that this measure had already been announced in
-the Wehrmacht order.
-
-SIR DAVID MAXWELL-FYFE: What I want to know from you is: Why was there
-this tremendous secrecy about this order in the naval distribution?
-
-DÖNITZ: I did not understand that question. I do not know whether
-tremendous secrecy was being observed at all. I am of the opinion that
-in 1942 all naval officers had been informed about it.
-
-SIR DAVID MAXWELL-FYFE: This is on 28 October, 10 days after the order
-was issued. I am not going to quarrel with you about adjectives,
-Defendant. Let me put it this way: Why did the naval distribution
-require that degree of secrecy?
-
-DÖNITZ: I do not know. I did not make up the distribution chart. As an
-officer at the front I received this order at that time. I do not know.
-
-SIR DAVID MAXWELL-FYFE: Within 3 months you were Commander-in-Chief of
-the Navy. Did you never make any inquiries then?
-
-DÖNITZ: I beg your pardon.
-
-SIR DAVID MAXWELL-FYFE: Did you never make any inquiries?
-
-DÖNITZ: No, I did not. I have told you that I saw this order as
-Commander of U-boats and that as far as my field of activities was
-concerned this order did not concern me in the least and, secondly, that
-men captured during naval engagements were expressly excepted; so, as
-far as that goes, this order at that time had no actual, no real
-significance. In view of the enormous number of things that I had to
-deal with when I became Commander-in-Chief of the Navy, it was quite
-natural that it did not occur to me to take up the question of this new
-order. I did not think of the order at all.
-
-SIR DAVID MAXWELL-FYFE: I am going to put to you when the time comes a
-memorandum from the Naval Staff showing that it was put before you.
-Don’t you remember that?
-
-DÖNITZ: If you are referring to the memorandum which is in my trial
-brief, then I can only say that this memorandum was not submitted to me,
-as can be clearly seen from this note.
-
-SIR DAVID MAXWELL-FYFE: What I want to ask you before the Tribunal
-adjourns is: Did you approve of this order or did you not?
-
-DÖNITZ: I have already told you, as I...
-
-SIR DAVID MAXWELL-FYFE: No, you haven’t. I want you to tell the Tribunal
-now, and you can answer it either “I approved” or “I did not approve.”
-Did you or did you not approve this order to your commanders?
-
-DÖNITZ: Today I do not approve of that order since I have learned here
-that the basis was not so sound...
-
-SIR DAVID MAXWELL-FYFE: Did you agree with it when you were
-Commander-in-Chief of the German Navy at the beginning of 1943? Did you
-approve of it then?
-
-DÖNITZ: As Commander-in-Chief of the Navy I was not concerned with this
-order. While I was Commander of U-boats, as I have already explained to
-you, I considered it simply a reprisal order. It was not up to me to
-start an investigation or to take it up with the office which had issued
-the order to find out whether the basis was correct or not. It was not
-up to me to start an investigation on the basis of international law.
-And it was quite clear in Point 1 of the order that here the enemy, the
-opponent, had placed himself outside the bounds of the Geneva
-Convention, because they were murdering prisoners, and that therefore we
-had to do certain things as reprisals. Whether these reprisal measures
-were necessary or whether they were fully justified by the conditions in
-Point 1, that is something I did not and could not know.
-
-SIR DAVID MAXWELL-FYFE: This is the last question. I want you to try and
-answer it with a straight answer if you can. At the beginning of 1943
-did you or did you not approve of this order?
-
-DÖNITZ: I cannot give you an answer, because at the beginning of 1943 I
-did not think of the order and was not concerned with it. Therefore I
-cannot say how that order affected me at that particular time. I can
-tell you only how it affected me when I read it as Commander of U-boats;
-and I can also tell you that today I reject this order, now that I have
-learned that the basis on which it was issued was not so sound. And
-thirdly, I can tell you that I personally rejected any kind of reprisals
-in naval warfare—every kind, in every case, and whatever the proposal.
-
-SIR DAVID MAXWELL-FYFE: I will ask some more questions about it
-tomorrow, as the time has come to break off.
-
- [_The Tribunal adjourned until 10 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-SIXTH DAY
- Friday, 10 May 1946
-
-
- _Morning Session_
-
-[_The Defendant Dönitz resumed the stand._]
-
-THE PRESIDENT: Sir David, I understand there are some supplementary
-applications for witnesses and documents, which would probably not take
-very long to discuss. Is that so?
-
-SIR DAVID MAXWELL-FYFE: My Lord, I have not actually received the final
-instructions. I can find out in a very short time. I will get Major
-Barrington up. I am told that is so.
-
-THE PRESIDENT: The Tribunal, therefore, proposes to sit in open session
-tomorrow until a quarter to 12 dealing with the Trial in the ordinary
-course and then to take the supplementary applications at a quarter to
-12 and then to adjourn into closed session.
-
-SIR DAVID MAXWELL-FYFE: My Lord, we shall be ready for them at a quarter
-to 12 tomorrow.
-
-THE PRESIDENT: Very well.
-
-SIR DAVID MAXWELL-FYFE: Defendant, the first document that I want you to
-look at with regard to the Führer Commando Order of 18 October 1942 is
-on Page 65 of the English document book and on Page 98 of the German
-document book. It is Document Number C-178, Exhibit USA-544. You will
-see that that document is dated 11 February 1943. That is some 12 days
-after you took over as Commander-in-Chief and you will see from the
-reference that it went to “1.SKL Ii.” That is the international law and
-prize law division of your operations staff, isn’t it—Admiral Eckardt’s
-division?
-
-DÖNITZ: No. It is addressed to the first section of the Naval Operations
-Staff, that is, the operational section. It originates with Eckardt and
-is sent to the first section, that is, to the section chief.
-
-SIR DAVID MAXWELL-FYFE: But I think I am quite right—the reference
-about which I asked you, 1.SKL Ii, that is Admiral Eckardt’s department.
-That is the reference for Admiral Eckardt’s international law
-department?
-
-DÖNITZ: No, no, no. It is the department in which Admiral Eckardt was
-also an official. Admiral Eckardt was an official in that department.
-
-SIR DAVID MAXWELL-FYFE: And the third SKL in the next line is the press
-department as you said, isn’t it?
-
-DÖNITZ: No. The third section of the SKL collected information sent in
-for the Navy and reported on it.
-
-SIR DAVID MAXWELL-FYFE: I note it was intelligence and press. Is that
-right or not?
-
-DÖNITZ: Yes, it was intelligence and press.
-
-SIR DAVID MAXWELL-FYFE: Now, I just want you to help the Tribunal on
-three points in this document. You remember I asked you yesterday about
-the secrecy standard of the original Führer order of 18 October. If you
-will look at the second paragraph you will see that it says:
-
- “... was given the protection of top secret merely because it is
- stated therein (1) that ... sabotage organization ... may have
- portentous consequences ... and (2) that the shooting of
- uniformed prisoners acting on military orders must be carried
- out even after they have surrendered voluntarily and asked for
- pardon.”
-
-Do you see that?
-
-DÖNITZ: Yes, I have read it.
-
-SIR DAVID MAXWELL-FYFE: You agree that that was one of the reasons for
-giving the order top secrecy?
-
-DÖNITZ: This exchange of notes between Eckardt and the section chief was
-not submitted to me, as is obvious from the initials noted in the
-book...
-
-SIR DAVID MAXWELL-FYFE: Is that the reason for you not answering my
-question? Do you agree that that is the reason for giving top secrecy to
-this document?
-
-DÖNITZ: I do not know. I cannot tell you that, because I did not issue
-this Commando Order. It says in the Commando Order, on the one hand that
-these people had killed prisoners. That is the way I had read it as
-Commander, U-boat Fleet; and on the other hand...
-
-SIR DAVID MAXWELL-FYFE: I shall give you one more opportunity of
-answering my question. You were Commander-in-Chief of the German Navy.
-Do you say that you are not able to answer this question: Is the reason
-stated in Paragraph 2 of this document a correct reason for attaching
-top secrecy to the Führer order of 18 October? Now you have this final
-opportunity of answering that question. Will you answer it or won’t you?
-
-DÖNITZ: Yes, I will do that. I consider it possible, particularly as the
-legal expert here thinks so. I do not know if it is correct, because I
-did not issue the order. On the other hand, it says in the order that
-these things would not be published in the army orders.
-
-SIR DAVID MAXWELL-FYFE: That was the next point. The next paragraph says
-that what is to be published in the army orders is the annihilation of
-sabotage units in battle, not, of course, if they are shot—as I would
-say, murdered—quietly, by the SD after battle. I want you to note the
-next paragraph. The next paragraph raises the difficulty as to how many
-saboteurs were to be considered as a sabotage unit and suggests that up
-to ten would certainly be a sabotage unit.
-
-Now, if you look at the last paragraph—I will read it to you quite
-slowly:
-
- “It is to be assumed that Counterintelligence III is acquainted
- with the Führer orders and will therefore reply accordingly to
- the objections of the Army General Staff and the Air Force
- Operations Staff. As far as the Navy is concerned, it remains to
- be seen whether or not this case should be used to make
- sure”—note the next words—“after a conference with the
- Commander-in-Chief of the Navy that all departments concerned
- have an entirely clear conception regarding the treatment of
- members of Commando units.”
-
-Are you telling the Tribunal that after that minute from Eckardt’s
-department, which was to be shown to 1.SKL, your Chief of Staff’s
-department, that you were never consulted upon it?
-
-DÖNITZ: Yes, I do say that, and I will prove by means of a witness that
-there are no initials or distribution list here; and this witness will
-prove quite clearly that I did not receive a report on it.
-
-SIR DAVID MAXWELL-FYFE: Admiral Wagner was your Chief of Staff?
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: All right, we will not occupy further time.
-
-DÖNITZ: He was not my Chief of Staff; he was chief of this section. He
-was Section Chief 1. SKL, to which this order was directed. He knows
-beyond doubt that no report was made to me. The circumstances are
-perfectly clear.
-
-SIR DAVID MAXWELL-FYFE: Well, I will leave that, if you say that you
-have not seen it; and I will ask you to look at Document Number 551-PS.
-
-My Lord, I will pass the Tribunal a copy. This is Exhibit USA-551, and
-it was put in by General Taylor on 7 January.
-
-[_Turning to the defendant._] Now, that is a document which is dated 26
-June 1944; and it deals with the Führer order; and it says how it will
-apply after the landing of the Allied Forces in France; and if you will
-look at the distribution, you will see that Number 4 is to the OKM, 1.
-SKL. That is the department on which you were good enough to correct me
-a moment ago. Now, did you—were you shown that document, which says
-that the Führer order is to apply to Commando units operating outside
-the immediate combat area in Normandy? Were you shown that document?
-
-DÖNITZ: No, that was not shown to me in any circumstances—and quite
-rightly, as the Navy did not take part in the affair.
-
-SIR DAVID MAXWELL-FYFE: You told me yesterday that you were concerned
-with the matter and that you had small boats operating in the Normandy
-operations. That is what you told me yesterday afternoon. You have
-changed your recollections since yesterday afternoon?
-
-DÖNITZ: No, not at all. But these one-man submarines were floating on
-water and had nothing to do with Commandos on the land front. That is
-clear from this document, too—I do not know if it is the original of
-the 1. SKL because I cannot see the initial. I am convinced, however,
-that it was not submitted to me, because it had nothing to do with the
-Navy.
-
-SIR DAVID MAXWELL-FYFE: I see. Will you just look at Document Number
-537-PS, which is dated 30 July 1944.
-
-My Lord, that is Exhibit USA-553, also put in by General Taylor on 7
-January.
-
-DÖNITZ: Where is it?
-
-SIR DAVID MAXWELL-FYFE: The sergeant major will point to the place. That
-is the document applying the Commando Order to “military missions,” and
-you will see again later that the distribution includes OKM, Department
-SKL. Did you see that order?
-
-DÖNITZ: Yes, I can see it.
-
-SIR DAVID MAXWELL-FYFE: Did you see it at the time that it was
-distributed, at the end of July 1944?
-
-DÖNITZ: It is quite certain that this order was not submitted to me
-because again it has nothing to do with the Navy. The Navy had nothing
-to do with fighting partisans.
-
-SIR DAVID MAXWELL-FYFE: I want you now just to look very quickly,
-because I do not want to spend too much time on it, at Document Number
-512-PS.
-
-My Lord, that is Exhibit USA-546, which was also put in by General
-Taylor on 7 January.
-
-[_Turning to the defendant._] Now, that is a report dealing with the
-question of whether members of Commandos should not be murdered
-immediately in order that they could be interrogated, and the question
-is whether that is covered by the last sentence of the Führer order, and
-I call your attention to the fact that it refers, with regard to
-interrogations, in the second sentence:
-
- “Importance of this measure was proven in the cases of
- Glomfjord, the two-man torpedo at Trondheim, and the glider
- plane at Stavanger.”
-
-DÖNITZ: I cannot find it at the moment.
-
-SIR DAVID MAXWELL-FYFE: It is 512-PS.
-
-THE PRESIDENT: Sir David, perhaps you ought to read the first sentence.
-
-SIR DAVID MAXWELL-FYFE: If Your Lordship pleases.
-
-DÖNITZ: This document dates from 1942. At that time I was Commander of
-U-boats from the Atlantic Coast to the Bay of Biscay. I do not know this
-paper at all.
-
-SIR DAVID MAXWELL-FYFE: That is your answer, but it is 14 December 1942;
-and the point is put up which is raised in the first sentence which My
-Lord has just directed be read:
-
- “Top secret: According to the last sentence of the Führer order
- of 18 October, individual saboteurs can be spared for the time
- being in order to keep them for interrogation.”
-
-Then follows the sentence I have read. That was the point that was
-raised, and what I was going to ask you was, did that point come up to
-you when you took over the Commandership-in-Chief of the Navy in January
-1943? Just look at the last sentence.
-
- “The Red Cross and the BDS protested against the immediate
- carrying out of the Führer order...”
-
-DÖNITZ: I beg your pardon, but I still cannot find where that is. I have
-not yet found the last sentence. Where is it?
-
-THE PRESIDENT: Our translation says “after the immediate carrying
-out....”
-
-SIR DAVID MAXWELL-FYFE: “After,” My Lord: I am sorry. It is my fault. I
-am greatly obliged to Your Lordship. “Protested after the immediate....”
-I beg Your Lordship’s pardon—I read it wrong.
-
-DÖNITZ: That dates from December 1942.
-
-SIR DAVID MAXWELL-FYFE: It is only six weeks before you took over.
-
-DÖNITZ: Yes. I do not know this teleprint. In any case, that is probably
-not Red Cross, but probably Reiko See, Reich Commissioner for
-Shipping—or so I assume. BDS is probably the SS leader in Norway.
-
-SIR DAVID MAXWELL-FYFE: But the point that I thought might have some
-interest for you was the two-man torpedoes. I thought that might have
-been referred to you as a matter of Navy interest. However, if it was
-not I will come to a document after you took over. Give the defendant
-Document Number 526-PS, on 10 May 1943.
-
-My Lord, that is USA-502, and was put in by my friend Colonel Storey on
-2 January.
-
-[_Turning to the defendant._] You see that that is an account—it is
-from the Defendant Jodl’s department, and it is annotated for the
-Defendant Jodl’s department—about an enemy cutter which carried out an
-operation from the Shetlands, a cutter of the Norwegian Navy; and it
-gives its armament, and it says that it was an organization for
-sabotaging strong points, battery positions, staff and troop billets,
-and bridges and that the Führer order was executed by the SD. That was a
-cutter which was blown up by the Norwegian Navy, I suppose after they
-were attacked, and ten prisoners were murdered. Was that brought to your
-attention?
-
-DÖNITZ: This was shown to me during an interrogation, and I was also
-asked if I had not had a telephone conversation with Field Marshal
-Keitel. It was afterwards found to be the Wehrmacht area commander who
-had contacted the OKW. It was a matter for the Army and for the SD, not
-for the Navy.
-
-SIR DAVID MAXWELL-FYFE: If you deny that you ever heard about that, will
-you turn to Page 100 of the document book.
-
-My Lord, it is Page 67 of the British document book.
-
-[_Turning to the defendant._] And that is a summary, a summary of the
-trial of the SD...
-
-DÖNITZ: Where is it? I cannot find it.
-
-SIR DAVID MAXWELL-FYFE: Page 100, I have told you. If you will look for
-it, I think you will find it. It is Page 67 of the English, if you
-prefer to follow it in that language.
-
-Now I will explain to you; I think you have read it before because you
-have referred to it. That is a summary by the judge advocate at the
-trial of the SS men of the evidence that was given, and I just want to
-see that you have it in mind.
-
-If you will look at Paragraph 4, you will see that they set out from
-Lerwick, in the Shetlands, on this naval operation for the purpose of
-making torpedo attacks on German shipping off the Norwegian coasts and
-for the purpose of laying mines. Paragraph 5:
-
- “The defense did not challenge that each member of the crew was
- wearing uniform at the time of capture; and there was abundant
- evidence from many persons, several of whom were German, that
- they were wearing uniforms at all times after their capture.”
-
-Now, you mentioned this yesterday. You see that in Paragraph 6:
-
- “Deponent states that the whole of the crew was captured and
- taken on board a German naval vessel which was under the command
- of Admiral Von Schrader, the Admiral of the West Coast. The crew
- were taken to the Bergenhus; and there they were interrogated by
- Lieutenant H. P. K. W. Fanger, a lieutenant of the Naval
- Reserve, on the orders of Korvettenkapitän Egon Drascher, both
- of the German Naval Counterintelligence; and this interrogation
- was carried out upon the orders of the Admiral of the West
- Coast. Lieutenant Fanger reported to the officer in charge of
- the intelligence branch at Bergen that, in his opinion, all
- members of the crew were entitled to be treated as prisoners of
- war and that officer in turn reported both orally and in writing
- to the Sea Commander, Bergen, and in writing to the Admiral of
- the West Coast.”—And that is Admiral Von Schrader.
-
-Now I want just to read you the one sentence which, in view of that, I
-do not think you will think is taken out of context of the evidence
-given by Lieutenant Fanger at this trial. He was asked:
-
- “Have you any idea at all why these people were handed over to
- the SD?”
-
-In answering that question I want you to tell me who was responsible for
-their being handed over. This was your officers, your outfit; that was
-the general in command of the Norwegian coast, Admiral Von Schrader in
-command of this section, whose people captured the crew. That is your
-own officers. Is it true what you told the Court yesterday that the crew
-were captured by the SD? Have you any reason to believe Lieutenant
-Fanger is not telling the truth?
-
-THE PRESIDENT: What is that you were quoting from then?
-
-SIR DAVID MAXWELL-FYFE: It is the shorthand notes taken on the trial of
-the SS.
-
-THE PRESIDENT: Has it been admitted?
-
-SIR DAVID MAXWELL-FYFE: No, My Lord, it has not been, but it was within
-Article 19.
-
-FLOTTENRICHTER KRANZBÜHLER: I do not know the document which has been
-used. May I have it, please? Shorthand notes which I have not seen are
-being used; and according to the Tribunal’s ruling on cross-examinations
-they must be given to me when the witness is heard.
-
-SIR DAVID MAXWELL-FYFE: My Lord, with great respect, but this point
-arose yesterday when the defendant made certain statements with regard
-to Admiral Von Schrader. I am questioning these statements, and the only
-way I can do it is to use documents which I did not otherwise intend to
-use. I shall, of course, let Dr. Kranzbühler see them in due course.
-
-THE PRESIDENT: Have you a copy of the German? That was to have been
-given in German, that evidence.
-
-SIR DAVID MAXWELL-FYFE: I have only the English transcript and I am
-willing to let Dr. Kranzbühler see it, but it is all I have.
-
-THE PRESIDENT: Have you got any other copy you can hand him?
-
-SIR DAVID MAXWELL-FYFE: No, I only was sent one copy.
-
-THE PRESIDENT: After you are through with it, will you please hand that
-copy to Dr. Kranzbühler?
-
-SIR DAVID MAXWELL-FYFE: Yes, Sir.
-
-THE PRESIDENT: Very well.
-
-SIR DAVID MAXWELL-FYFE: Now, have you any reason to suppose, Defendant,
-that your officer, Lieutenant Fanger, is not telling the truth when he
-says that these men were captured by Admiral Von Schrader?
-
-DÖNITZ: I have no reason to question that statement because the whole
-affair is completely unknown to me. I have already stated that the
-incident was not reported to me nor—as I can prove—to the High Command
-of the Navy; and I told you yesterday that I could only assume, in
-consequence, that these men—here it is, in Paragraph 6—were captured
-on an island, not by the Navy but by a detachment of the Police.
-Consequently Admiral Von Schrader said that they were not Navy prisoners
-but Police prisoners and must be handed back to the Police; and for this
-reason he did not make a report.
-
-I assume that that is what happened. I myself cannot furnish the full
-details of this story or explain how it came about, because it was not
-reported to me at the time.
-
-SIR DAVID MAXWELL-FYFE: That is the point I will get to in a moment. It
-nowhere states in this document that they were captured by the Police,
-and in fact that they were captured by the forces under Admiral Von
-Schrader, who attacked this island to which this boat was moored.
-
-DÖNITZ: I do not know about that. The document says that the men reached
-the island—the reason is not clear. That the men were brought back from
-the island afterwards in some sort of boat is quite clear; but naturally
-they might remain Police prisoners if they were captured there by the
-Police or the coast guards. That is the only explanation I can think of,
-in view of Admiral Von Schrader’s personality.
-
-SIR DAVID MAXWELL-FYFE: I just asked you—your own officer, Lieutenant
-Fanger, says they were captured by Admiral Von Schrader’s troops, and
-you say if Lieutenant Fanger says that you have no reason to believe he
-is not telling the truth, is that right?
-
-DÖNITZ: Yes. My estimate of Von Schrader’s personality caused me to
-assume yesterday that it happened like that. Since I am informed today
-of a Lieutenant Fanger’s statement, things may have happened differently
-for I may be wrong.
-
-SIR DAVID MAXWELL-FYFE: Will you look at the end of Paragraph 8, the
-last sentence:
-
- “There was an interview between Blomberg of the SS and Admiral
- Von Schrader....”
-
-And then the last sentence:
-
- “Admiral Von Schrader told Blomberg that the crew of this
- torpedo boat were to be handed over in accordance with the
- Führer orders to the SD.”—and then they were handed over.
-
-And the official of the SD who carried out this interrogation stated at
-the trial:
-
- “...that after the interrogation he was of the opinion that the
- members of the crew were entitled to be treated as prisoners of
- war, and that he so informed his superior officer.”
-
-Despite this report and the representations of a superior officer the
-crew were dealt with under the Führer order and executed, and it
-describes how they were shot and their bodies secretly disposed of. Do
-you say you never heard about that?
-
-DÖNITZ: No. I do say that and I have witnesses to prove it. If the SD
-official thought that these men did not come under that head, he would
-have been obliged to report that to his superiors and his superiors
-would have been obliged to take the appropriate steps.
-
-SIR DAVID MAXWELL-FYFE: You say, you already take the position that the
-Navy had interrogated them, the Navy Intelligence said they should be
-treated as prisoners of war, and Admiral Von Schrader said they should
-be handed over to the SS and that the SS examined them and said they
-should be treated as prisoners of war, and despite that these men are
-murdered? And you say you knew nothing about it? Did your Kapitän zur
-See Wildemann say anything to you concerning this? W-i-l-d-e-m-a-n-n.
-
-DÖNITZ: I do not know him.
-
-SIR DAVID MAXWELL-FYFE: Let me try to bring him to your recollection. At
-this time he was an officer on the staff of Admiral Von Schrader and
-dealt with this matter. Now, Kapitän Wildemann, and I suppose we should
-assume, unless you know anything to the contrary, that he is a
-trustworthy officer, says:
-
- “I know that Von Schrader made a written report on this action,
- and I know of no reason why the handing over of the prisoners to
- the SD should not have been reported on.”
-
-Do you still say you never got any report from Von Schrader?
-
-DÖNITZ: Yes, I still say that I did not receive any report, and I am
-equally convinced that the High Command of the Navy did not receive it
-either. I have a witness to prove that. I do not know where the report
-went. Admiral Von Schrader was not directly responsible to the High
-Command of the Navy; and the report may have been sent to the OKW, if
-this report was made at all. At any rate the High Command of the Navy
-did not receive a report on this particular matter, hence my assumption
-that these men were captured on the island in the first place by the
-Police. Otherwise, I think Admiral Von Schrader would have reported it.
-
-SIR DAVID MAXWELL-FYFE: Before you make any further statement, I would
-like you to have in mind something further that Kapitän Wildemann said,
-which you know probably quite well, “After the capitulation Admiral Von
-Schrader many times said that the English would hold him responsible for
-handing over the prisoners to the SD,” and Admiral Von Schrader was
-under orders to proceed to England as a prisoner when he shot himself.
-Did you know Admiral Von Schrader shot himself?
-
-DÖNITZ: I heard it here.
-
-SIR DAVID MAXWELL-FYFE: Did you know he was worried about being held
-responsible for this order?
-
-DÖNITZ: No, I had not the slightest idea of that. I only heard of his
-suicide here.
-
-SIR DAVID MAXWELL-FYFE: Are you still telling the Tribunal that Admiral
-Von Schrader made no report to you? Do you remember a few days after the
-capture of this M.T.B. Admiral Von Schrader received the Knight’s Cross
-of the Iron Cross?
-
-DÖNITZ: Yes, but that has no connection with this matter. He did not
-make a report on this matter and he did not go to Berlin for his
-Knight’s Cross either, as far as I remember.
-
-SIR DAVID MAXWELL-FYFE: Two other officers, Oberleutnant Nelle and
-Seeoberfähnrich Böhm were decorated; and in the recommendations and
-citations the capture of this M.T.B. was given as the reason for this
-decoration. You say you knew nothing about it?
-
-DÖNITZ: I know nothing about it and I cannot know anything about it,
-because the competent superior officers would have dealt with these
-decorations and not myself. The High Command of the Navy did not receive
-a report on this matter; otherwise it would have been passed on to me. I
-have that much confidence in my High Command, and my witness will
-testify that he did not receive it either and that he must have done so
-if it had gone to the Navy.
-
-SIR DAVID MAXWELL-FYFE: My final question, and I leave this subject:
-Admiral Von Schrader was your junior officer, and according to you, a
-very gallant officer. Do you want the Tribunal to understand that the
-responsibility which broke and made Admiral Von Schrader commit suicide
-was his responsibility, that he never consulted you and you were taking
-no responsibility for his acts? Is that what you want the Tribunal to
-understand?
-
-DÖNITZ: Yes. I will swear to that; because if Admiral Von Schrader
-really committed suicide on account of this incident, then he did make a
-mistake because he treated naval personnel, engaged in a naval
-operation, in a wrong manner. If that is correct, he acted against
-orders. In any case, not even the slightest hint of the affair reached
-me.
-
-THE PRESIDENT: Sir David, will you ask the witness what he meant when he
-said that Von Schrader was not directly under the Navy? He was under
-Admiral Ciliax, wasn’t he, who was on leave at this time?
-
-DÖNITZ: I said that he was not directly under the High Command of the
-Navy in Berlin. So if Admiral Von Schrader made any report on the
-affair, the report did not come to me directly but went to his immediate
-superior, who was in Norway.
-
-SIR DAVID MAXWELL-FYFE: And that immediate superior was Admiral Ciliax
-who was on leave—but omit the leave for the moment; his immediate
-superior was Admiral Ciliax?
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: I want to put it perfectly fairly: Do you mean
-that for operations in Norway Admiral Ciliax was acting under the
-commander—correct me if I am wrong—was it General Von Falkenhorst? I
-cannot remember, perhaps you can help me. Do you remember that this
-Admiral was acting under the commander-in-chief in Norway so that you
-will tell the Tribunal...
-
-DÖNITZ: Yes, as far as territory was concerned Admiral Ciliax was not
-under the High Command of the Navy but under the Wehrmacht Commander for
-Norway, General Von Falkenhorst; but I can only say that if Schrader’s
-suicide is connected with this affair, then the Commando Order was not
-properly carried out when these men, who were naval personnel and had
-been sent into a naval action, were not treated as prisoners of war. If
-that is what happened—I do not know—then a mistake was made locally.
-
-SIR DAVID MAXWELL-FYFE: But at any rate you say that despite these
-decorations for this action you as Commander-in-Chief of the Navy knew
-nothing about it at all. That is what you say?
-
-DÖNITZ: I awarded the Knight’s Cross to Admiral Von Schrader for
-entirely different reasons. I awarded it. I knew nothing about
-decorations awarded to the other people you mentioned. It has nothing to
-do with me because their immediate superiors would attend to that. Nor
-do I know whether these awards are really connected with the story or if
-they were given for other reasons. I still cannot imagine—and I do not
-believe—that a man like Admiral Von Schrader would treat naval
-personnel in this way. The document does not say that they were killed
-in a naval action but that they were captured on an island. It seems to
-me peculiar that the High Command of the Navy should have received no
-report on it, since orders to that effect had been given, and that the
-Wehrmacht report should make no reference to it in accordance with the
-Commando Order. All these factors are against it. I personally am unable
-to form an opinion as to the affair.
-
-SIR DAVID MAXWELL-FYFE: Defendant, I am not going into details. You may
-take it from me that the evidence at the trial has been that this cutter
-was attacked by two naval task forces. If Dr. Kranzbühler finds I am
-wrong I will be happy to admit it. But we will pass on to another
-subject. Time is going.
-
-Would you turn to Page 105 of the document book?
-
-DÖNITZ: Then I can only say that it is a clear violation of orders and
-that the High Command of the Navy was not informed.
-
-SIR DAVID MAXWELL-FYFE: I want you to come to this next point, 105 in
-the German, 71 in the English document book. Now we needn’t have any
-trouble about this document because it is signed by you. It is a
-memorandum about the question of more labor for shipbuilding; and you
-are probably very familiar with it. But will you look at the first
-sentence?
-
-DÖNITZ: I beg your pardon, but what page is it?
-
-SIR DAVID MAXWELL-FYFE: Page 105, Exhibit GB-211 (Document Number
-C-195), English Page 71.
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: Now, if you would look at the first sentence.
-
- “Furthermore, I propose reinforcing the shipyard working party
- by prisoners from the concentration camps.”
-
-I don’t think we need trouble with coppersmiths, but if you will look at
-the end of the document, the very last, you will see Item 2 of the
-summing-up reads:
-
- “12,000 concentration camp prisoners will be employed in the
- shipyards as additional labor. Security service agrees to this.”
-
-Now, that is your document, so...
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: So we may take it that you were familiar with
-the fact of the existence of concentration camps?
-
-DÖNITZ: I have never denied it.
-
-SIR DAVID MAXWELL-FYFE: And I think you went further, didn’t you, when
-asked about this on 28 September? At that time you said:
-
- “I generally knew that we had concentration camps. That is
- clear.
-
- “Question: ‘From whom did you learn that?’
-
- “Answer: ‘The whole German people knew that.’”
-
-Don’t you remember saying that?
-
-DÖNITZ: Yes. The German people knew that concentration camps existed;
-but they did not know anything about the conditions and methods therein.
-
-SIR DAVID MAXWELL-FYFE: It must have been rather a surprise for you when
-the Defendant Von Ribbentrop said he only heard of two: Oranienburg and
-Dachau? It was rather a surprise to you, was it?
-
-DÖNITZ: No, it was not at all surprising, because I myself only knew of
-Dachau and Oranienburg.
-
-SIR DAVID MAXWELL-FYFE: But you say here you knew there were
-concentration camps. Where did you think you were going to get your
-labor from? What camps?
-
-DÖNITZ: From these camps.
-
-SIR DAVID MAXWELL-FYFE: Did you think that all your labor was going to
-be German or that it was going to be partly foreign labor?
-
-DÖNITZ: I did not think about that at all. I should like to explain now
-how these demands came to be made.
-
-At the end of the war I was given the task of organizing large-scale
-transports in the Baltic Sea. Gradually the necessity arose to move the
-hundreds of thousands of poverty-stricken refugees out of the coastal
-areas of East and West Prussia where they were exposed to starvation,
-epidemics, and bombardment and to bring them to Germany. For this reason
-I made enquiries about merchant shipping, which was not actually under
-my jurisdiction; and in so doing I learned that out of eight ships
-ordered in Denmark, seven had been destroyed by saboteurs in the final
-stage of construction. I called a meeting of all the departments
-connected with those ships and asked them, “How can I help you so that
-we get shipping space and have damaged ships repaired more quickly?” I
-received suggestions from various quarters outside the Navy, including a
-suggestion that repair work, _et cetera_, might be speeded up by
-employing prisoners from the concentration camps. By way of
-justification, it was pointed out, in view of the excellent food
-conditions, such employment would be very popular. Since I knew nothing
-about the methods and conditions in the concentration camps, I included
-these proposals in my collection as a matter of course, especially as
-there was no question of making conditions worse for them, since they
-would be given better food when working. And I know that if I had done
-the opposite I could have been accused here of refusing these people an
-opportunity of having better food. I had not the slightest reason to do
-this, as I knew nothing about any concentration camp methods at the
-time.
-
-SIR DAVID MAXWELL-FYFE: I am sure we are grateful for your explanation.
-But I just want you to tell me, after you had proposed that you should
-get 12,000 people from concentration camps, did you get them?
-
-DÖNITZ: I do not know. I did not do anything more about that. After the
-meeting I had a memorandum prepared and submitted to the Führer...
-
-SIR DAVID MAXWELL-FYFE: Keep to the answer. The answer is that you do
-not know whether you got them or not, assuming that you did get them.
-
-DÖNITZ: I did not get them at all. I had nothing to do with shipyards
-and consequently I do not know how those responsible for the work in the
-shipyards received their additional workers. I just do not know.
-
-SIR DAVID MAXWELL-FYFE: But you held a position of some responsibility;
-if you get 12,000 people from concentration camps into the shipbuilding
-industry, they would have to work alongside people who weren’t in
-concentration camps, would they not?
-
-DÖNITZ: Certainly, yes.
-
-SIR DAVID MAXWELL-FYFE: Are you telling this Tribunal that when you ask
-for and you may have got 12,000 people out of concentration camps, who
-work alongside people not in concentration camps, that the conditions
-inside the concentration camps remain a secret to the other people and
-to all the rulers of Germany?
-
-DÖNITZ: First of all, I do not know whether they came. Secondly, if they
-did come, I can very well imagine that they had orders not to talk; and
-thirdly, I do not even know what camps they came from and whether they
-were not people who had already been put into other camps on account of
-the work they accomplished. At any rate, I did not worry about the
-execution or methods, _et cetera_, because it was none of my business; I
-acted on behalf of the competent non-naval departments which required
-workmen in order to carry out repairs more quickly, so that something
-could be done about repairs for the merchant navy. That was my duty,
-considering the arrangements which I had to make for the re-transport of
-these refugees. I would do exactly the same thing again today. That is
-the position.
-
-SIR DAVID MAXWELL-FYFE: Well now, just look a little down the document
-to the fourth paragraph, after it says, “Translator’s note.” If you will
-look at the English, the paragraph beginning: “Since elsewhere...” Have
-you found that? This is as you have told us, after you express your
-worry about the sabotage in the Danish and Norwegian shipyards. I just
-want you to look at your proposal to deal with saboteurs.
-
- “Since elsewhere measures for exacting atonement taken against
- whole working parties among whom sabotage occurred have proved
- successful and, for example, the shipyard sabotage in France was
- completely suppressed, possibly similar measures for the
- Scandinavian countries will come under consideration.”
-
-That is what you were suggesting, Defendant, a collective penalty
-against the whole working party where any sabotage occurred; isn’t that
-so?
-
-DÖNITZ: Yes. May I give an explanation in that connection?
-
-SIR DAVID MAXWELL-FYFE: That is all right. But otherwise, it is so?
-
-DÖNITZ: Agencies outside the Navy connected with shipbuilding stated at
-that meeting that sabotage had been prevented in France by the
-introduction of certain measures for exacting atonement. Through an
-affidavit by an officer who attended the meeting and drafted the minutes
-or the short memorandum, I have now ascertained that these measures at
-that time meant the withholding of the additional rations issued by the
-management of the shipyard. That is what that meant. And, secondly, to
-come to Norway and Denmark, I told these people:
-
- “It is impossible for us to build ships there with our foreign
- currency and our materials, only to have them smashed up by
- sabotage—and assuredly with the co-operation of the shipyard
- workmen—when they are nearly ready. What can we do against
- that?”
-
-The answer I received was that the only way was to keep them away from
-saboteurs and to round them up in camps.
-
-SIR DAVID MAXWELL-FYFE: The whole of this explanation that you have
-given us is in this document which is in front of the Tribunal. Have you
-anything to add to what is in the document?
-
-DÖNITZ: Right. I have to add that the workmen were to be treated in
-exactly the same way as our own workmen who were also housed in
-barracks. The Danish and Norwegian workers would not have suffered the
-slightest discomfort.
-
-SIR DAVID MAXWELL-FYFE: I want you to look at one more sentence:
-
- “By the employment of the working parties concerned as
- concentration camp workers, their output would not only be
- increased by 100 percent but the cessation of their previously
- good wages might possibly result in their being considerably
- deterred from sabotage...”
-
-That fairly represents your view of the way to treat Norwegian and
-Danish workers, does it not?
-
-DÖNITZ: This was a safety measure to allow us to get control of the
-sabotage.
-
-SIR DAVID MAXWELL-FYFE: Well now, just turn back to Page 70 of the
-English document book, Page 103 in the German document book. This is an
-extract from the minutes of a meeting between you and Hitler on 1 July
-1944, signed by yourself. Have you got it?
-
-DÖNITZ: Not yet.
-
-SIR DAVID MAXWELL-FYFE: Page 70 in the English, Page 112 in the German
-text (Exhibit Number GB-210).
-
-DÖNITZ: I have got it.
-
-SIR DAVID MAXWELL-FYFE: In connection with the general strike in
-Copenhagen, the Führer says:
-
- “The only weapon to deal with terror is terror. Court-martial
- proceedings create martyrs. History shows that the names of such
- men are on everybody’s lips whereas there is silence with regard
- to the many thousands who have lost their lives in similar
- circumstances without court-martial proceedings.”
-
-Silence with regard to those who are condemned without trial! Do you
-agree with that statement of Hitler’s?
-
-DÖNITZ: No.
-
-SIR DAVID MAXWELL-FYFE: Then why did you distribute it to Operations for
-circulation if you didn’t approve of it?
-
-DÖNITZ: I do not agree with this procedure, but it expresses an idea of
-the Führer’s. This was not a discussion between the Führer and myself;
-it represents notes on the military situation generally, made by the
-officer who accompanied me, and contains widely differing points.
-
-SIR DAVID MAXWELL-FYFE: Will you try and answer my question? It is a
-perfectly simple one. It is: Why did you distribute that to Operations
-for circulation? What was there in these few lines that was of interest
-to your officers? What did you think was valuable for your officers to
-know in that dreadful piece of savagery that I have just quoted to you?
-
-DÖNITZ: It is very easy to explain that. The officer who made the
-minutes included it in order to inform our shipyard establishments that
-there was a general strike in Copenhagen. That one paragraph from the
-long situation discussions was included so that the shipyard
-establishments would know that there was a strike in Copenhagen. That
-was the whole point.
-
-SIR DAVID MAXWELL-FYFE: I am suggesting to you, Defendant, that you
-circulated that to your officers to inculcate ruthlessness among them.
-That is my suggestion. What do you say to that?
-
-DÖNITZ: I say that is entirely wrong. I may tell you also that I did not
-even hear the Führer make that statement, but it is possible that it was
-taken down by the accompanying officer, Wagner, for the reason which I
-have just given you, to warn our people of the general strike in
-Copenhagen.
-
-SIR DAVID MAXWELL-FYFE: Now, Defendant, I am not going to argue with you
-about your knowledge of documents you have signed. I have questions
-which deal with documents you haven’t signed, so let’s pass on to the
-next one.
-
-DÖNITZ: I know the document. I know it because I have signed it.
-
-SIR DAVID MAXWELL-FYFE: Page 69, that is Page 4 in the English document
-book or Page 102 in the German document book (Exhibit Number GB-209),
-the minutes of the conference on 19 February 1945, between you and
-Hitler.
-
-DÖNITZ: No, that is not correct.
-
-SIR DAVID MAXWELL-FYFE: No, I beg your pardon. It is an extract from the
-minutes of the Hitler conference on 19 February 1945; and then there is
-a note...
-
-DÖNITZ: No. It says here: Participation by the Commander-in-Chief of the
-Navy in situation discussion with the Führer. It was not a special
-conference on the general military situation.
-
-SIR DAVID MAXWELL-FYFE: I did not mean to say “special.” I said the
-Hitler conference on the 19th.
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: Now the first sentence of Paragraph 1 says:
-
- “The Führer is considering whether or not Germany should
- renounce the Geneva Convention.”
-
-The last sentence:
-
- “The Führer orders the Commander-in-Chief of the Navy to
- consider the pros and cons of this step and to state his opinion
- as soon as possible.”
-
-And if you look down at the next minutes of the conference on 20
-February, which is headed, “Participation of C-in-C Navy at a Führer
-conference on 20 February at 1600 hours,” it reads as follows:
-
- “The C-in-C Navy informed the Chief of the Armed Forces
- Operations Staff, Generaloberst Jodl, and the representative of
- the Minister for Foreign Affairs at the Führer’s headquarters,
- Ambassador Hewel, of his views with regard to Germany’s possible
- renunciation of the Geneva Convention. From a military
- standpoint there are no grounds for this step as far as the
- conduct of the war at sea is concerned. On the contrary, the
- disadvantages outweigh the advantages. Even from a general
- standpoint it appears to the Commander-in-Chief of the Navy that
- this measure would bring no advantage.”
-
-Now look to the last sentence:
-
- “It would be better to carry out measures considered necessary
- without warning and at all costs to save face with the world.”
-
-That means, put in blunt and brutal language, “Don’t denounce the
-convention, but break it whenever it suits you,” doesn’t it?
-
-DÖNITZ: No, that is not true.
-
-SIR DAVID MAXWELL-FYFE: What does it mean? Let’s take it word for word.
-“It would be better to carry out measures considered necessary....”
-Aren’t these measures contrary to the rules of the Geneva Convention?
-
-DÖNITZ: I must give an explanation of that.
-
-SIR DAVID MAXWELL-FYFE: Answer my question first and then make a
-statement. You have done it before but try to answer my question: “These
-measures considered necessary”—If they don’t mean measures contrary to
-the terms of the Geneva Convention, what do they mean? Answer that
-question first.
-
-DÖNITZ: They are measures against our own troops. I had heard, or I was
-told that the Führer intended, or had said, that because the front was
-yielding in the West and he feared that American and British propaganda
-might induce men to desert, he intended to leave the Geneva Convention,
-so I said to my staff, “How is it possible in this connection to
-contemplate abandoning lock, stock, and barrel a system of international
-law almost a century old?” I may have said something like this, “The
-necessary measures must be taken.” There was no thought of concrete
-measures in that connection and no such measures were introduced. My own
-views on the treatment of prisoners of war can best be heard from the
-8,000 British prisoners of war who were in my camps. That is the
-situation regarding this matter. All the chiefs of the Wehrmacht
-branches protested against the idea of renouncing the Geneva Convention.
-They were not in favor of this idea.
-
-SIR DAVID MAXWELL-FYFE: Is that your total explanation of “to carry out
-measures considered necessary”? You have nothing else to add on that
-point? Well, I shall pass to another one. Do you remember saying to Dr.
-Kranzbühler yesterday that when you became Commander-in-Chief of the
-Navy the war was purely a defensive war? Do you remember saying that to
-your counsel yesterday?
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: That was not your fault, was it? It was not your
-fault that it remained limited to the countries engaged when you took
-over? Do you remember your advice to Hitler on the meeting of 14 May
-1943?
-
-DÖNITZ: No.
-
-SIR DAVID MAXWELL-FYFE: Well, let me just suggest to you, do you
-remember the discussion about the sea transport for Sicily and Sardinia?
-Do you remember having a discussion on that, and do you remember your
-warning Hitler that your U-boat losses were 15 to 17 U-boats a month and
-that the position as to the future of the U-boat war looked rather
-gloomy? Do you remember that?
-
-DÖNITZ: Yes, I do.
-
-SIR DAVID MAXWELL-FYFE: And do you remember Hitler saying, “These losses
-are too heavy. This cannot go on.” And did you say to Hitler:
-
- “Now our only small outlet for sorties is the Bay of Biscay, and
- control of this involves great difficulties and already takes up
- ten days. C-in-C Navy sees best strategic solution in occupation
- of Spain, including Gibraltar.”
-
-And did Hitler remark:
-
- “In 1940 this would still have been possible with the
- co-operation of Spain; but now, and against the will of Spain,
- our resources are no longer adequate.”
-
-Do you remember suggesting that to Hitler on 14 May 1943, and Hitler
-saying his resources were no longer adequate?
-
-DÖNITZ: I do not think that I had proposed to the Führer that we should
-occupy Spain. I described the situation very clearly; I said that we
-were blocked in that small corner of the Bay of Biscay and that the
-situation would be different if there was much more room. That, however,
-does not suggest that, in consideration of the defensive situation, we
-should occupy Spain.
-
-SIR DAVID MAXWELL-FYFE: Let us get it clearly, I am quoting you now from
-Admiral Assmann’s headline diary, a verbatim translation.
-
-The original is in London, My Lord. I will get the copy and put it in
-and certify it. This point again only arose yesterday and I haven’t got
-it. I will have the original given and I will show Dr. Kranzbühler this
-entry.
-
-[_Turning to the defendant._] These are the words that Admiral Assmann
-records:
-
- “C-in-C Navy continues: ‘Now our only small outlet for sorties
- is the Bay of Biscay, and control of this involves great
- difficulties and already takes up 10 days.’
-
- “C-in-C Navy sees best strategic solution in occupation of
- Spain, including Gibraltar.”
-
-Did you say that “the best strategic solution lies in the occupation of
-Spain, including Gibraltar”?
-
-DÖNITZ: That is possible. If that is the wording you have got there, it
-is possible that that is the way I said it.
-
-SIR DAVID MAXWELL-FYFE: My Lord, I was going to pass on from these
-general...
-
-THE PRESIDENT: Sir David, have you passed altogether from C-158 on Page
-69?
-
-SIR DAVID MAXWELL-FYFE: My Lord, I had, but I can easily return to it,
-My Lord.
-
-THE PRESIDENT: Well, the second sentence in Paragraph 1 appears to have
-some bearing upon the answers which the defendant has given.
-
-SIR DAVID MAXWELL-FYFE: My Lord, I am sorry, but I tried to cut it as
-short—to the bare bone—and I am sorry if I omit matters.
-
-[_Turning to the defendant._] Defendant, would you return to the last
-document, C-158. That’s the one about the Geneva Convention; it’s Page
-69 of the English book; 102 of the German, whichever you’re following.
-The sergeant major will help you to find it.
-
-Now, if you’ll look at the first paragraph, after the sentence I read,
-“The Führer is considering whether or not Germany should renounce the
-Geneva Convention,” it goes on:
-
- “Not only the Russians but also the Western Powers are violating
- international law by their actions against the defenseless
- population and the residential districts of the towns. It
- therefore appears expedient to adopt the same course in order to
- show the enemy that we are determined to fight with every means
- for our existence and, also, through this measure to urge our
- people to resist to the utmost.”
-
-Were not these, that are referred to there as the “same course”—were
-not these the “measures considered necessary” to which you were
-referring in the second minute?
-
-DÖNITZ: The witness who drew up these two records will be able to
-explain exactly where and when this information was given. I myself was
-only told, just as the Reich Marshal testified, that the Führer was
-upset because our Western Front was not holding, and men were quite
-pleased to become American and English prisoners of war. That was how
-the whole thing began; and that was the information which I originally
-received.
-
-I cannot give an opinion on these minutes which were drawn up by an
-officer. The best thing would be for Admiral Wagner to give more exact
-details of these matters. I cannot say more than that under oath. I was
-of the opinion that the renunciation of the Geneva Convention was in
-principle a great mistake and was wrong. I have given practical proof of
-my views on the treatment of prisoners of war. Everything else is wrong.
-
-SIR DAVID MAXWELL-FYFE: I want to make quite clear the point that the
-Prosecution put against you as this: That you were prepared not to
-denounce the Convention, but you were prepared to take action contrary
-to the Convention and say nothing about it; and that’s what I suggested
-is the effect of the last sentence, especially when read with these
-words in the first paragraph.
-
-My Lord, I am going to pass to the war at sea.
-
-DÖNITZ: I beg your pardon, but may I say one thing more? If measures are
-taken against desertion, they must be made public. They must have a
-deterrent effect; and so it never entered my head to keep them secret.
-On the contrary my only thought was, “How is it possible to leave the
-Geneva Convention at all?” And that is what I was expressing.
-
-SIR DAVID MAXWELL-FYFE: The document is clear.
-
-THE PRESIDENT: The Tribunal will adjourn.
-
- [_A recess was taken._]
-
-SIR DAVID MAXWELL-FYFE: Defendant, did you know that on the first day of
-the war the Navy put up to the Foreign Office that the maximum damage to
-England could only be achieved, with the naval forces you had, if
-U-boats were permitted the unrestricted use of arms without warning
-against Allied and neutral shipping in a wide area? From the first day
-of the war, did you know that the Navy put that up to the German Foreign
-Office?
-
-DÖNITZ: I do not believe that the Naval Operations Staff at the time
-sent me a memorandum of that kind, if it was ever set up, which I do not
-know.
-
-SIR DAVID MAXWELL-FYFE: Now, I want you to try and remember because it’s
-quite important. You say that the naval command never informed the Flag
-Officer of U-boats that that was their view of the war?
-
-DÖNITZ: I do not know. I cannot remember that the Naval War Staff ever
-informed me of such a letter to the Foreign Office. I do not believe
-they did; I do not know.
-
-SIR DAVID MAXWELL-FYFE: Well, then, perhaps it would assist your memory
-if you looked at the letter.
-
-My Lord, this is Document Number D-851 and it will become Exhibit Number
-GB-451.
-
-DÖNITZ: No, I do not know this paper.
-
-SIR DAVID MAXWELL-FYFE: Now, I just will take it by stages because, of
-course, you wouldn’t know the first part; but I’ll read it to you and
-then we’ll look at the memorandum together.
-
- “Submitted respectfully to the Secretary of State”—that would
- be Baron von Weizsäcker—“with the enclosed memorandum.
-
- “The Chief of the Operational Department of the Naval High
- Command, Captain Fricke, informed me by telephone that the
- Führer was already dealing with this matter. The impression had,
- however, arisen here that the political connections had again to
- be gone into and brought to the Führer’s notice anew. Captain
- Fricke had therefore sent Korvettenkapitän Neubauer to the
- Foreign Office in order to discuss the matter further.”
-
-That’s signed by Albrecht on 3 September 1939. Then there is the
-memorandum:
-
- “The question of an unlimited U-boat war against England is
- discussed in the enclosed data submitted by the Naval High
- Command.
-
- “The Navy has arrived at the conclusion that the maximum damage
- to England, which can be achieved with the forces available, can
- only be attained if the U-boats are permitted an unrestricted
- use of arms without warning against enemy and neutral shipping
- in the prohibited area indicated in the enclosed map.
-
- “The Navy does not fail to realize that (a) Germany would
- thereby publicly disregard the agreement of 1936 regarding the
- prosecution of economic warfare, and (b) a military operation of
- this kind could not be justified on the basis of the hitherto
- generally accepted principles of international law.”
-
-And then it goes on to deal with it.
-
-Are you telling the Tribunal that the Defendant Raeder never consulted
-or informed you before these data were submitted to the Foreign Office?
-
-DÖNITZ: No, he did not do so, and that is shown by the fact that it is a
-memorandum from the Chief of the Operations Department to the Secretary
-of State, that is to say, a negotiation between Berlin and the Foreign
-Office; and the front-line commander, whose station was on the coast and
-who, for all practical purposes, was in charge of the U-boats, had
-nothing to do with it.
-
-I do not know this letter.
-
-SIR DAVID MAXWELL-FYFE: Well, are you saying that you went on with your
-activities at the beginning of the war without knowing that this was the
-view of the Naval High Command?
-
-DÖNITZ: I was not informed about this letter. I have said already that
-my knowledge of it...
-
-THE PRESIDENT: That wasn’t an answer to the question. The question was
-whether you knew at the time that this was the view of the Naval High
-Command. Answer the question.
-
-DÖNITZ: No, I did not know that. I knew that the view of the Naval High
-Command was to follow the measures of the enemy step by step. I knew
-that.
-
-SIR DAVID MAXWELL-FYFE: But you see, that is the entire difference,
-Defendant. That is what you said at great length in giving your evidence
-the day before yesterday and yesterday, that you were answering, step by
-step, the measures of the enemy. You gave that evidence. Do you say that
-you didn’t know that this was the view of the Defendant Raeder, formed
-on the first day of the war? Do you say you didn’t know it at all, you
-had no inkling that that was Raeder’s view?
-
-DÖNITZ: No; I did not know that because I did not know of this letter;
-and I do not know if that is Herr Raeder’s view. I do not know.
-
-SIR DAVID MAXWELL-FYFE: Well, again I don’t want to argue with you; but
-if the Commander, the Chief of the Navy—and I think at that time he
-called himself chief of the naval war staff as well—allows the chief of
-his Operational Department to put this view forward to the Foreign
-Office—is it the practice of the German Navy to allow post captains to
-put forward a view like that when it is not held by the
-Commander-in-Chief?
-
-It is ridiculous, isn’t it? No Commander-in-Chief would allow a junior
-officer to put forward that view to the Foreign Office unless he held
-it, would he?
-
-DÖNITZ: Will you please ask the Commander-in-Chief of the Navy, Raeder.
-I cannot give any information as to how this letter came to be written.
-
-SIR DAVID MAXWELL-FYFE: I will do that with very great pleasure,
-Defendant; but at the moment, you see, I have got to question you on the
-matters that you put forward, and my next question is: Was it not in
-pursuance of the view and desire expressed in that memorandum that the
-U-boat command disregarded from the start the London Treaty about
-warning ships?
-
-DÖNITZ: No, on the contrary, entirely on the contrary. In the West we
-wanted to avoid any further complications, and we endeavored as long as
-possible to fight according to the London Agreement. That can be seen
-from all the directives that the U-boats received.
-
-THE PRESIDENT: Sir David, ought you perhaps to draw his attention to the
-penultimate paragraph in that memorandum?
-
-SIR DAVID MAXWELL-FYFE: My Lord, I probably should. My Lord, I will read
-the three, because if you will notice it goes on:
-
- “The High Command does not assert that England can be beaten by
- unrestricted U-boat warfare. The cessation of traffic with the
- world trade center of England spells serious disruptions of
- their national economy for the neutrals, for which we can offer
- them no compensation.
-
- “Points of view based on foreign politics would favor using
- military method of unrestricted U-boat warfare only if England
- gives us a justification, by her method of waging war, to order
- this form of warfare as a reprisal.
-
- “It appears necessary, in view of the great importance in the
- field of foreign politics of the decision to be taken, that it
- should be arrived at not only as a result of military
- considerations, but taking into full account the needs of
- foreign politics.”
-
-I am greatly obliged, Your Lordship.
-
-[_Turning to the defendant._] Did you hear of any qualification of this
-view which was arrived at on considerations of foreign politics? Did you
-hear anything about that?
-
-DÖNITZ: No, I can only repeat that I saw this document here for the
-first time.
-
-SIR DAVID MAXWELL-FYFE: I see. Well now, I would like you, just before
-we go on to the question, to look at Page 19 of the English document
-book, Page 49 of the German.
-
-My Lord, the whole of the treaty, which is very short, is set out there.
-My Lord, I have the formal copy if Your Lordship would like to see it,
-but it is set out in these two paragraphs.
-
-[_Turning to the defendant._] You see:
-
- “1. In action with regard to merchant ships, submarines must
- conform to the rules of international law to which surface
- vessels are subjected.
-
- “2. In particular, except in the case of persistent refusal to
- stop on being duly summoned or of active resistance to visit or
- search, a warship, whether a surface vessel or submarine, may
- not sink or render incapable of navigation a merchant vessel
- without having first placed passengers, crew, and ship’s papers
- in a place of safety. For this purpose the ship’s boats are not
- regarded as a place of safety unless the safety of the
- passengers and crew is assured in the existing sea and weather
- conditions by the proximity of land, or the presence of another
- vessel which is in position to take them on board.”
-
-I had better remind you of that because I have some questions to put to
-you upon it.
-
-Would you turn over the page and look at the foot of Page 20 in the
-English document book—it is either Page 50 or 51 in the German document
-book—where there are some figures set out.
-
-Have you got the page?
-
-DÖNITZ: Yes, I have read it.
-
-SIR DAVID MAXWELL-FYFE: You read it. You see that it says in the two
-sentences before:
-
- “In a certain number of early cases the German commander allowed
- the crew of the merchant vessel to get clear; and he even made
- some provision for them before he destroyed the vessel. Such
- destruction was in accordance with Article 72 of the Prize
- Ordinance; and therefore, for the purpose of this paper, the
- Germans have been given the benefit of the doubt in such cases.”
-
-The following are the figures on record. This is for the first year of
-the war:
-
- “Ships sunk: 241.
-
- “Recorded attacks: 221.
-
- “Illegal attacks: 112. At least 79 of these 112 ships were
- torpedoed without warning. This does not, of course, include
- convoy ships.”
-
-I wanted you to be quite clear, Defendant, that it excludes, first of
-all, ships where any measures had been taken for the safety of the crew
-and secondly, it excludes convoy ships.
-
-Now, do you dispute these figures in any way, that there were 79 attacks
-without warning in the first year of the war?
-
-DÖNITZ: Yes, I do. These figures cannot be checked. Yesterday I stated
-that in consequence of the use of arms by ships we had to take other
-measures. So I cannot check whether this report, which for other reasons
-looks very like propaganda to me, takes into consideration the behavior
-of the crews and their resistance, _et cetera_. That is to say, it is
-impossible for me to check these figures or to say on what they are
-based. At any rate, the German point of view was that it was legal
-considering that the ships were armed and that they transmitted
-intelligence—were part of an intelligence organization—and that from
-now on action would be taken against these ships without warning. I have
-already mentioned the fact that England acted in exactly the same way,
-and so did other nations.
-
-SIR DAVID MAXWELL-FYFE: I am going to ask you some questions about that,
-but let’s just take one example. Was any warning given before the
-_Athenia_ was sunk?
-
-DÖNITZ: No, I have already stated that that was a mistake; the _Athenia_
-was taken for an auxiliary cruiser. The sinking of an auxiliary cruiser
-without warning is quite legal. I have also stated already that on a
-thorough examination of the case, I have found that the commander should
-have been more cautious and that is why he was punished.
-
-SIR DAVID MAXWELL-FYFE: I just want to get your view, Defendant. Did it
-ever occur to you that in the case of a merchant ship, if it were sunk
-without warning, it meant either death or terrible suffering to the crew
-and to these merchant seamen? Did that ever occur to you?
-
-DÖNITZ: If merchant ships...
-
-SIR DAVID MAXWELL-FYFE: Just answer the question.
-
-DÖNITZ: If a merchant ship acts like a merchant ship, it is treated as
-such. If it does not, then the submarine must proceed to attack. That is
-legal and in accordance with international law. The same thing happened
-to the crews of German merchant ships.
-
-SIR DAVID MAXWELL-FYFE: That isn’t what I asked you. I wanted to know,
-because it is important on some of these points: Did it ever occur to
-you, did you ever consider, that you were going to cause either death or
-terrible suffering to the crews of merchant ships who were sunk without
-warning?
-
-Just tell us, did it occur to you or didn’t it?
-
-DÖNITZ: Of course; but if a merchant ship is sunk legally, that is just
-war, and there is suffering in other places, too, during the war.
-
-SIR DAVID MAXWELL-FYFE: Do you view with pride of achievement the fact
-that 35,000 British merchant seamen lost their lives during the war? Do
-you view it as a proud achievement or do you view it with regret?
-
-DÖNITZ: Men are killed during wars and no one is proud of it. That is
-badly expressed. It is a necessity, the harsh necessity of war.
-
-SIR DAVID MAXWELL-FYFE: Well, now, just look at Page 29 in the English
-document book, or Page 58 in the German, whichever you care to look at.
-It is Document Number C-191, Exhibit GB-193. This is 22 September, 19
-days after the beginning of the war.
-
- “Flag Officer, U-boats, intends to give permission to U-boats to
- sink without warning any vessel sailing without lights.
-
- “Previous instructions, permitting attacks on French war and
- merchant ships only as a defensive measure, purely French or
- Anglo-French convoys only north of the latitude of Brest and
- forbidding attacks on all passenger ships, give rise to great
- difficulties to U-boats, especially at night. In practice, there
- is no opportunity for attacking at night, as the U-boat cannot
- identify the target, which is a shadow, in a way that entirely
- obviates mistakes being made. If the political situation is such
- that even possible mistakes must be ruled out, U-boats must be
- forbidden to make any night attacks in waters where French and
- English naval forces or merchant ships may be moving. On the
- other hand, in sea areas where only English units are to be
- expected, the measure desired by the Flag Officer, U-boats, can
- be carried out. Permission to take this step is not to be given
- in writing, but need merely be based on the unspoken approval of
- the Naval Operations Staff. U-boat commanders would be informed
- by word of mouth”—and note the last line—“and the sinking of a
- merchant ship must be justified in the War Diary as due to
- possible confusion with a warship or an auxiliary cruiser.”
-
-Now, just tell me—take your choice—do you consider that sailing
-without lights is either persistent refusal to stop on being duly
-summoned or active resistance to visit and search, within the Treaty?
-Which of either of these things do you consider it to be?
-
-DÖNITZ: If a merchant ship acts like a warship...
-
-SIR DAVID MAXWELL-FYFE: First of all, you must answer my question, if
-the Tribunal does not rule otherwise; and then you can give your
-explanation. My question is this: Do you consider that sailing without
-lights is either persistent refusal to stop or active resistance to
-visit and search? Do you consider it to be either one or the other, or
-both of these things? Do you?
-
-DÖNITZ: The question is not correctly expressed, because we are dealing
-with a certain operational area in which British and French...
-
-THE PRESIDENT: Defendant, you will answer the question, please.
-
-DÖNITZ: I beg your pardon?
-
-SIR DAVID MAXWELL-FYFE: Do you consider that sailing without lights is
-either persistent refusal to stop on being duly summoned, which is one
-of the matters in the Treaty, or active resistance to visit and search,
-which is the other matter set out in the Treaty? Now, do you consider
-that sailing without lights is either or both of these matters mentioned
-in the Treaty?
-
-DÖNITZ: If a merchant ship sails without lights, it must run the risk of
-being taken for a warship, because at night it is not possible to
-distinguish between a merchant ship and a warship. At the time the order
-was issued, it concerned an operational area in which blacked-out troop
-transports were traveling from England to France.
-
-SIR DAVID MAXWELL-FYFE: Your answer is that it is not covered by the
-Treaty, but by one of the matters in the Treaty; but your explanation
-was that you thought you were entitled to torpedo without warning any
-ship that might be mistaken for a warship. That is your answer, is it?
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: Why didn’t the Defendant Von Ribbentrop and all
-these naval advisers stipulate for that when Germany adhered to this
-Treaty, if you were going to interpret it in that way? Were you ever
-asked about it before Germany adhered to this Treaty in 1936?
-
-DÖNITZ: I was not asked before Germany signed this Treaty; Germany
-adhered to the Treaty in practice, as I know very well, until
-countermeasures were introduced; and then I received orders to act
-accordingly.
-
-SIR DAVID MAXWELL-FYFE: Just let us go through this document and see if
-you can help me perhaps a little more on some other points. Why was this
-action to be based on the unspoken approval of the naval war staff? Why
-hadn’t the naval war staff the courage to speak its approval in an
-ordinary order if it was all right?
-
-DÖNITZ: Yes; the paper you are showing me is a note or memorandum made
-by a young official on the Naval Operations Staff. In fact—it was the
-idea of that particular officer on the Naval Operations Staff; and as I
-have pointed out here, I did not know of the matter—in actual fact, the
-Naval Operations Staff never gave me such an order. The contents of that
-paper are fiction.
-
-SIR DAVID MAXWELL-FYFE: No, of course, they weren’t to issue an order at
-all. You see, this states with great frankness that you were to act on
-the unspoken approval of the naval war staff, so that the naval war
-staff could say, as you have said now, “We didn’t issue an order;” and
-the junior officers would be acting on an unspoken word, and I want to
-know—you have been Commander-in-Chief of the German Navy—why is it
-done in this way, why is it done by unspoken words, on oral orders?
-
-DÖNITZ: No, precisely that is not correct. That was this young officer’s
-idea. The order which I received from the Naval Operations Staff stated
-explicitly that blacked-out vessels could be sunk in this area where
-English transports were traveling from England to France. So, you see,
-it contained none of the things stated in this memorandum. There is no
-doubt that the section chief and likewise the Chief of the Naval
-Operations Staff refused and rejected that entirely impossible idea and
-gave me that short and explicit order.
-
-SIR DAVID MAXWELL-FYFE: Are you suggesting to the Tribunal that on these
-vitally important points—“unspoken approval of the war staff, U-boat
-commanders informed by word of mouth”—that a young staff officer is
-allowed to put in an incorrect memorandum and get away with it
-uncorrected? Is that the way, is that the state of efficiency of the
-staff of the German Navy?
-
-DÖNITZ: No, that is a misunderstanding. It actually has been corrected.
-That is a note submitted by the official on the Naval Operations Staff,
-of which his superiors on the Naval Operations Staff did not approve. It
-was corrected. There was no unspoken agreement but an explicit and clear
-order to myself; so that young officer’s idea had already been turned
-down by the Naval Operations Staff itself.
-
-SIR DAVID MAXWELL-FYFE: You know that the original is initialed by
-Admiral Von Friedeburg?
-
-DÖNITZ: No, that is quite wrong, that is impossible. “Fd” is written
-there—that means Fresdorf. That was Kapitänleutnant Fresdorf. He was an
-official on the Naval Operations Staff—not Friedeburg. He was a young
-officer in the first department of the Naval Operations Staff. These are
-all things which I learned of here. His chief, Admiral Wagner, had
-condemned it already. It was not Friedeburg, but Fresdorf. That is the
-way this young officer thought about it, but actually a definite order
-was issued without these things.
-
-SIR DAVID MAXWELL-FYFE: Take the next bit. “The sinking of a merchant
-ship must be justified in the War Diary as due to possible confusion
-with a warship or auxiliary cruiser.” Do you agree with faking the
-records after you have sunk a ship?
-
-DÖNITZ: No, and it was not done. That also belongs to the same
-category—the ideas of that officer. No order for that has ever been
-given. The order of the Naval Operations Staff issued to me in that
-connection has been submitted and that is a clear and concise order,
-without the things mentioned here.
-
-SIR DAVID MAXWELL-FYFE: Of course, you appreciate that these things,
-according to this memorandum, are to be stated without orders. There has
-to be no order because an order might come out—because if it is done
-without an order it won’t come out. Are you suggesting—you are putting
-it on the shoulders of this lieutenant commander, that he invented these
-three damning facts: Unspoken approval, oral instructions to commanders,
-and faking the orders? You say that these existed only in the mind of a
-Kapitänleutnant? Is that what you are telling the Tribunal?
-
-DÖNITZ: Yes, yes, of course, because the clear, concise order was given
-by the Naval Operations Staff to me in which these things were not
-mentioned. And quite as clearly I passed my orders on. That is how it
-is. This memorandum, or these ideas of that officer, was already
-disapproved by his chief of department in Berlin. A clear order was
-given to me, however, and there was nothing in it about a War Diary and
-all these things mentioned here. That order is available.
-
-SIR DAVID MAXWELL-FYFE: Well, we shall be able to ask, I understand,
-Admiral Wagner as to where this Kapitänleutnant got hold of these ideas,
-is that so, or whether he made them out? Is that what you are telling
-us, that Wagner will be able to deal with this, will he?
-
-DÖNITZ: Admiral Wagner ought to know all about it, because this official
-was in his department in Berlin.
-
-SIR DAVID MAXWELL-FYFE: I see. Well, if you put that onto the
-Kapitänleutnant, let’s pass on to another point. In mid-November...
-
-DÖNITZ: I am not laying any blame on anybody, but they are ideas of a
-young officer which were already disapproved of by his chief of
-department. I am blaming no one. I do not accuse anybody.
-
-SIR DAVID MAXWELL-FYFE: I see. I thought you were.
-
-Well, now, let’s pass to another point. In mid-November of 1939, Germany
-gave warning that she would sink, without warning, merchant ships, if
-armed. Don’t you know that before that warning—if you want to see the
-point you will find it on Page 21 of the English document book or 51 to
-52 of the German document book. It is just before the break, about five
-lines.
-
- “By the middle of November, a score of”—that is 20—“British
- merchantmen had already been illegally attacked by gunfire or
- torpedoed from submarines.”
-
-THE PRESIDENT: Which page did you say?
-
-SIR DAVID MAXWELL-FYFE: My Lord, Page 21, about ten lines before the
-break.
-
-[_Turning to the defendant._] You see, what I am suggesting, Defendant,
-is that the statement, the warning, that you would sink merchant ships,
-if armed, made no difference to the practice you had already adopted of
-sinking unarmed ships without warning.
-
-DÖNITZ: In the beginning of October, if I remember correctly, I received
-the order or the permission, the legal permission, to sink armed
-merchantmen. From that moment on I acted accordingly.
-
-SIR DAVID MAXWELL-FYFE: Just tell me: Was it your view that the mere
-possession of arms, a gun, on the merchant ship, constituted active
-resistance to visit or search within the Treaty; or was this a new
-addition for the guidance of German U-boat warfare which you were
-introducing completely independent of the Treaty?
-
-DÖNITZ: It is a matter of course that if a ship has a gun on board she
-will use it. It would have been a one-sided obligation if the submarine,
-in a suicidal way, were then to wait until the other ship fired the
-first shot. That is a reciprocal agreement, and one cannot in any
-circumstances expect the submarine to wait until it gets hit first. And,
-as I said before, in practice the steamers used their guns as soon as
-they came within range.
-
-SIR DAVID MAXWELL-FYFE: But you know, the arming of merchant ships,
-Defendant, was well known in the last war. It was well known for 20
-years before this Treaty was signed. And you will agree with me, won’t
-you, that there is not a word in the Treaty forbidding the arming of
-merchant ships? Why didn’t you give these ships the opportunity of
-abstaining from resistance or of stopping? Why did you go in the face of
-the Treaty which you had signed only 3 years before? That is all I want
-to know. If you can’t tell me, if you say it is a matter for argument, I
-will ask Admiral Raeder. At the moment, will you tell us, or can you
-tell us, why didn’t you keep to the Treaty?
-
-DÖNITZ: That was not an infringement of the Treaty. I am not an expert
-on international law. I am soldier; and I acted according to my military
-orders. Of course, it is suicide for a submarine to wait till it
-receives the first hit. It goes without saying that the steamer is not
-carrying guns for fun, but to make use of them. And I have already
-explained what use was made of them.
-
-SIR DAVID MAXWELL-FYFE: Well, now, just one other matter, because I must
-cover these points in view of your evidence.
-
-Did you order your commanders to treat the use of wireless as active
-resistance? Did you consider that the use of wireless for merchant ships
-was active resistance within the Treaty?
-
-DÖNITZ: On 24 September, the Naval Operations Staff’s order...
-
-SIR DAVID MAXWELL-FYFE: No, no, just answer the question first,
-Defendant, and then give your explanation. I said that to you quite 20
-times yesterday and today. Did you consider the use of wireless by
-merchant ships as active resistance?
-
-DÖNITZ: It is generally laid down by international law that a merchant
-ship can be fired on if it makes use of its wireless when stopped. That
-is also in the French Ordinance, for instance. In order to avoid more
-severe measures we had not, as a rule, done so yet. Not until the end of
-September, when I received a definite order or permission to do so, was
-that rule, which is in accordance with international law, put into
-effect.
-
-SIR DAVID MAXWELL-FYFE: Tell me, didn’t the German Admiralty know in
-1936 that most merchantmen had wireless?
-
-DÖNITZ: Of course, but according to the International Conference on
-International Law—I happen to know this because it appeared as a
-footnote in the Prize Ordinance—according to this conference of 1923,
-they were not allowed to use wireless when being stopped. That is
-international law and is found in all instructions. I know for certain
-that the French instructions say this too.
-
-SIR DAVID MAXWELL-FYFE: At any rate again, the German Admiralty and the
-German Foreign Office did not make any mention of use of wireless in
-this Treaty.
-
-What I am suggesting—I want to put it quite clearly to you—is that you
-were not bothering about this Treaty at all in any case where it didn’t
-suit you in the operations in this war.
-
-DÖNITZ: That is not true.
-
-SIR DAVID MAXWELL-FYFE: Now, let’s pass on to neutrals. I haven’t heard
-you suggest that you were dealing with neutrals because they were armed,
-but let’s take a concrete example.
-
-“On 12 November 1939...”
-
-DÖNITZ: I have never said that neutrals were armed.
-
-SIR DAVID MAXWELL-FYFE: That is what I thought. Well, we will rule that
-out. We will take the example.
-
-My Lord, it is given on Page 20 of the document book, and in the middle
-of the middle paragraph (Exhibit Number GB-191).
-
-[_Turning to the defendant._]
-
- “On 12 November, the Norwegian _Arne Kjode_ was torpedoed in the
- North Sea without warning at all. This was a tanker bound from
- one neutral port to another.”
-
-Now, Defendant, were you classing tankers bound from one neutral port to
-another as warships; or for what reason was that ship torpedoed without
-warning? The master and four of the crew lost their lives. The others
-were picked up after many hours in an open boat. Why were you torpedoing
-neutral ships without warning? This is only the 12th of November in the
-North Sea, a tanker going from one neutral port to another.
-
-DÖNITZ: Well, the submarine commander in this case could not see, first
-of all, that the ship was traveling from one neutral port to the other,
-but this ship...
-
-SIR DAVID MAXWELL-FYFE: Therefore...
-
-DÖNITZ: No, not for that reason; no. But that ship was heading for
-England, and he confused it with an English ship. That is why he
-torpedoed it. I know of that case.
-
-SIR DAVID MAXWELL-FYFE: You approve of that action by the submarine
-commander?
-
-DÖNITZ: No; that is an assertion made by yourself and it is in practice
-refuted by our clean submarine warfare and by the fact that it was done
-by mistake.
-
-SIR DAVID MAXWELL-FYFE: When in doubt, torpedo...
-
-DÖNITZ: That is one of the cases...
-
-SIR DAVID MAXWELL-FYFE: Don’t you approve of that: when in doubt,
-torpedo without warning? Is that your view?
-
-DÖNITZ: No, no; that is merely what you assert. If one or two instances
-of mistakes are found in the course of 5½ years of clean submarine
-warfare, it proves nothing; but it does contradict your assertion.
-
-SIR DAVID MAXWELL-FYFE: Yes. Well, now, let’s look at your clean U-boat
-warfare, if you want. Will you turn to Page 30 of the English book or
-Page 59 to 60 of the German book.
-
-Now, the first of these—this is the note on the intensification of
-U-boat warfare. You say that on the directive of the Armed Forces High
-Command of 30 December—this is on the 1st of January 1940:
-
- “...the Führer, on report by the C-in-C Navy”—that is the
- Defendant Raeder—“has decided: (a) Greek merchant vessels are
- to be treated as enemy vessels in the zone around Britain
- declared barred by the U.S.A.”
-
-There is a mistake, My Lord, in the translation. You see it says
-“blockaded by the U.S.A. and Britain.” The proper translation should be
-“in the zone around Britain declared barred by the U.S.A.”
-
-Now, Defendant, I don’t want to make any bad point, at any rate
-intentionally. Were you including Greek ships because you believed that
-most of the Greek merchant navy was on British charter, was being
-chartered by Britain? Was that the reason?
-
-DÖNITZ: Yes. That was probably why the Naval Operations Staff gave the
-order, because of the Greek fleet sailing in England’s service. I
-assumed that those were the reasons of the Naval Operations Staff.
-
-SIR DAVID MAXWELL-FYFE: Assumed that was the reason. I do not want to
-occupy time on the point. What I want to know is this: Did that mean
-that any Greek ship in these waters would be sunk without warning?
-
-DÖNITZ: Yes. It says here that they were to be treated like enemy ships.
-
-SIR DAVID MAXWELL-FYFE: In sum, then, that means that a Greek
-merchantman from then on would be sunk without warning if it came into
-the zone around the British coast.
-
-Now, you mentioned the Bristol Channel, and you have given your
-explanation of the next sentence. You say all ships may be attacked
-without warning. For external consumption, these attacks should be given
-out as hits by mines.
-
-I just want to get it clear from you. You are not suggesting that the
-reason of the Naval High Command was to conceal the maze of operations
-of the U-boats; the reason was to avoid trouble with neutrals whose good
-will you wanted to keep, was it not?
-
-DÖNITZ: I already stated my position on that yesterday. These are
-matters connected with the political leadership and I know nothing about
-them. I myself, as Commander of U-boats, looked at them only from the
-angle of military advantage or expediency, just as England did in
-similar cases. What the political reasons may have been, I cannot say.
-
-SIR DAVID MAXWELL-FYFE: That is my whole suggestion to you, you know,
-Defendant, that you were acting on the military necessity stated in that
-memorandum of the Naval Command that the maximum damage to England could
-only be achieved with unrestricted use of arms without warning. But let
-us just look at the next one now.
-
-DÖNITZ: There were certain areas which neutrals had been warned not to
-cross. I stated yesterday that the same procedure was followed in
-English operational areas. If a neutral in spite of these warnings
-entered those areas, where military actions were constantly being
-carried on by one side or the other, it had to run the risk of suffering
-damage. Those are the reasons which induced the Naval Operations Staff
-to issue these orders.
-
-SIR DAVID MAXWELL-FYFE: As you mentioned that, I shall deal first with
-your areas. Your zone, which is published, was from the Faroes to
-Bordeaux and 500 miles west of Ireland. That is, your zone was 750,000
-square miles; isn’t that right? Your zone around Britain was from the
-Faroes to Bordeaux, and 500 miles west of Ireland?
-
-DÖNITZ: Yes, that is the operational area of August 1940.
-
-SIR DAVID MAXWELL-FYFE: Yes, of August 1940.
-
-DÖNITZ: And it is in accord in extent with the so-called combat zone
-which America forbade her merchant ships to enter.
-
-SIR DAVID MAXWELL-FYFE: You say it is in accord. Let us just look at it
-and see what the two things were. The United States at that time said
-that its merchant ships were not to come into that zone. You said that
-if any merchant ship came into that zone, 750,000 square miles in
-extent, none of the laws and usages of war applied, and that ship could
-be destroyed by any means you chose.
-
-That was your view, was it not?
-
-DÖNITZ: Yes, that is the German point of view in international law,
-which was also applied by other nations, that operational areas around
-the enemy are admissible. I may repeat that I am not a specialist in
-international law but a soldier, and I judge according to common sense.
-It seems to me a matter of course that an ocean area, or an ocean zone,
-around England could not be left in the undisturbed possession of the
-enemy.
-
-SIR DAVID MAXWELL-FYFE: I do not think you are disputing it at all; but
-I want to get it quite clear. It was your view that it was right that if
-you fixed an operational zone of that extent, any neutral ship—and you
-agree that it is a neutral ship—coming unarmed into that zone could be
-destroyed by any means that you cared to use? That was your view of the
-way to conduct a war at sea; that is right, is it not?
-
-DÖNITZ: Yes; and there are plenty of British statements which declare
-that in wartime—and we were at war with England—one cannot permit
-neutrals to enter and give aid to the belligerents, especially if they
-had previously been warned against doing so. That is quite in accordance
-with international law.
-
-SIR DAVID MAXWELL-FYFE: We will discuss the matter of law with the
-Tribunal. I want to get at the facts.
-
-That is the position which you adopt? And equally, if you found a
-neutral vessel outside the zone using its wireless, you would treat it
-as if it were a ship of war of a belligerent power, would you not? If a
-neutral vessel used its wireless after seeing the submarine, you would
-treat it as a ship of war of a belligerent power, would you not?
-
-DÖNITZ: Yes, according to the regulations of international law.
-
-SIR DAVID MAXWELL-FYFE: I see. As I say, the matters of law rest with
-the Tribunal. I am not going to argue these with you. But, apart
-altogether from international law, did it ever strike you that that
-method of treating neutral ships was completely disregarding the life
-and safety of the people on the ships? Did that ever strike you?
-
-DÖNITZ: I have already said that the neutrals had been warned not to
-cross the combat zones. If they entered the combat zones, they had to
-run the risk of suffering damage, or else stay away. That is what war
-is. For instance, no consideration would be shown on land either to a
-neutral truck convoy bringing ammunition or supplies to the enemy. It
-would be fired on in exactly the same way as an enemy transport. It is,
-therefore, quite admissible to turn the seas around the enemy’s country
-into a combat area. That is the position as I know it in international
-law, although I am only a soldier.
-
-SIR DAVID MAXWELL-FYFE: I see.
-
-DÖNITZ: Strict neutrality would require the avoidance of combat areas.
-Whoever enters a combat area must take the consequences.
-
-SIR DAVID MAXWELL-FYFE: I see. That is your view? I do not think it
-could possibly be put more fairly.
-
-DÖNITZ: And for that reason the United States explicitly prohibited
-entry into these zones in November, because it refused to enter the
-combat zone.
-
-SIR DAVID MAXWELL-FYFE: In your view, any neutral ship which entered a
-zone of 750,000 square miles around Britain was committing an un-neutral
-act and was liable to be sunk without warning at sight. That is your
-view of how war at sea should be conducted; that is right, is it not?
-
-DÖNITZ: Yes. Special lanes were left open for the neutrals. They did not
-have to enter the combat area unless they were going to England. Then
-they had to run the risk of war.
-
-SIR DAVID MAXWELL-FYFE: I just want you to tell me, if you will look
-back to Document C-21; that is, on Page 30 of the English book and Pages
-59 to 60 of the German, you see that in all these cases—you take the
-one in Paragraph 2, Page 5:
-
- “Conference with the Chief of Naval Operations Staff”—on 2
- January; that was the “intensified measures” in connection with
- the “Case Yellow,” that is, the invasion of Holland and
- Belgium—“the sinking by U-boats... without any warning, of all
- ships in those waters near the enemy coasts in which mines can
- be employed.”
-
-Why, if, as you have just told the Tribunal several times, you were
-acting in accordance with what you believe to be international law, why
-did you so act only in areas where mines could be employed?
-
-DÖNITZ: I have already explained that that was a question not of
-legality but of military expediency. For military reasons I cannot give
-the enemy explicit information as to the means of combat I am using in
-an area which may be mined. You operated in the same way. I remind you
-of the French danger zone which was declared, corresponding to the mined
-areas around Italy. You did not state which weapons you were using,
-either. That has nothing to do with legality. That is purely a question
-of military expediency.
-
-SIR DAVID MAXWELL-FYFE: You see, I think you will appreciate that the
-point that I am putting to you is this: That you were pretending to
-neutrals that you were acting in accordance with the London Treaty,
-whereas you were actually acting not in accordance with the Treaty, but
-in accordance with instructions you laid down for yourself, based on
-military necessity.
-
-What I am suggesting to you is that what the Naval High Command was
-doing was pretending to, and getting the advantage fraudulently of
-appearing to, comply with the Treaty. And that, I suggest, is the
-purpose of these orders that you would only do this where mines could be
-laid. Isn’t that what was in your mind?
-
-DÖNITZ: It is not true that we tried to fool the neutrals. We warned the
-neutrals explicitly that combat actions were going on in these
-operational areas and that if they entered they would suffer damage. We
-pretended nothing; we told them explicitly: “Do not enter these zones.”
-England did the same.
-
-THE PRESIDENT: Sir David, doesn’t the next sentence bear upon that?
-
-SIR DAVID MAXWELL-FYFE: Yes, Your Lordship; I am very much obliged to
-Your Lordship.
-
-[_Turning to the defendant._] Would you look at the next sentence in
-II-1, where it says the following?
-
- “By the present order, the Navy will be authorized, in keeping
- with the general intensification of the war, to sink by U-boats,
- without any warning, all ships in those waters near the enemy
- coasts in which mines can be employed. In this case, for
- external consumption, pretense should be made that mines are
- being used. The behavior of, and use of weapons by, U-boats
- should take this into consideration.”
-
-Do you say, in the face of that sentence, that you were not trying to
-fool the neutrals—to use your own phrase? Do you still say you were not
-trying to fool the neutrals?
-
-DÖNITZ: No, we did not fool them because we warned them beforehand. In
-wartime I do not have to say what weapon I intend to use; I may very
-well camouflage my weapon. But the neutrals were not fooled. On the
-contrary, they were told, “Do not enter these zones.” After that, the
-question of which particular military method I use in these areas no
-longer concerns the neutrals.
-
-SIR DAVID MAXWELL-FYFE: Now I want you to tell the Tribunal, what was
-your view of your responsibility to the seamen from boats that were
-sunk? Would you have in mind the provisions of the London Treaty, and
-will you agree that your responsibility was to save seamen from boats
-that were sunk wherever you could do so without imperiling your ship? Is
-that, broadly, correct?
-
-DÖNITZ: Of course, if the ship herself behaved according to the London
-Agreement, or unless it occurred within the operational areas mentioned.
-
-SIR DAVID MAXWELL-FYFE: Oh? Do you really mean that? That is, if you
-sank a neutral ship which had come into that zone, you considered that
-you were absolved from any of your duties under the London Agreement to
-look after the safety of the crews?
-
-DÖNITZ: In operational areas I am obliged to take care of the survivors
-after the engagement, if the military situation permits. The same held
-good in the Baltic and in many operational areas.
-
-SIR DAVID MAXWELL-FYFE: That is what I put to you, Defendant. Please
-believe me, I don’t want to make any false point. I put to you: If they
-could do so without imperiling their ships, that is, without risking
-losing their ships. Let us get it quite clear: Do you say that in the
-zone which you fixed there was no duty to provide for the safety of the
-crew, that you accepted no duty to provide for the safety of the crew?
-
-DÖNITZ: I have stated that I was obliged to take care of the survivors
-after the engagement, if the military situation permitted. That forms
-part of the Geneva Convention or the agreement on its application.
-
-SIR DAVID MAXWELL-FYFE: Then it didn’t matter whether the sinking was in
-the zone or out of the zone. According to what you say, you undertook
-exactly the same duty towards survivors whether it was in the zone or
-outside the zone. Is that right?
-
-DÖNITZ: No, that is not correct, because outside the zone neutrals were
-treated according to the Prize Ordinance, only inside the zone they were
-not.
-
-SIR DAVID MAXWELL-FYFE: What I can’t understand is this—and really, I
-hope I am not being very stupid—what was the difference? What
-difference did you consider existed in your responsibility towards
-survivors if the sinking was inside the zone or outside the zone? That
-is what I want to get clear.
-
-DÖNITZ: The difference was that neutrals outside the zone were treated
-according to the Prize Ordinance. According to the London Agreement, we
-were obliged, before sinking the ship, to see that the crew were safe
-and within reach of land. There was no obligation to do so inside the
-zone. In that case we acted according to the Hague Agreement for the
-application of the Geneva Convention, which provides that the survivors
-should be taken care of after the fight if the military situation
-permits.
-
-SIR DAVID MAXWELL-FYFE: Will you agree that an order in express terms to
-annihilate, to kill, the survivors of a ship that is sunk would be an
-appalling order to give?
-
-DÖNITZ: I have already stated that the attacks on survivors were
-contrary to a soldier’s idea of fair fighting and that I have never put
-my name to any order which could in the slightest degree lead to
-anything of the kind—not even when it was proposed to me as a reprisal
-measure.
-
-SIR DAVID MAXWELL-FYFE: Will you agree that even with the discipline in
-your own branch of the service, there was a possibility that some U-boat
-commanders would have refused to comply with an order to annihilate
-survivors?
-
-DÖNITZ: No such order was ever given.
-
-SIR DAVID MAXWELL-FYFE: I think it is quite a fair question. What if it
-were given in express terms, “Annihilate survivors after you sink a
-ship”? You know your officers. Would there, at any rate, have been some
-danger that some of them would have refused to carry out that order?
-
-DÖNITZ: Yes. As I know my U-boat forces, there would have been a storm
-of indignation against such an order. The clean and honest idealism of
-these would never have allowed them to do it; and I would never have
-given such an order or permitted it to be given.
-
-SIR DAVID MAXWELL-FYFE: Yes, that is what I put to you.
-
-Now, just look at Page 33 of the English document book. That contains
-your own Standing Order Number 154 (Exhibit Number GB-196). Let me read
-it to you, rather slowly, if the Tribunal does not mind. It says:
-
- “Do not pick up survivors and take them with you; do not worry
- about the merchant ship’s boats; weather conditions and distance
- from land play no part. Have a care only for your own ship and
- strive only to attain your next success as soon as possible. We
- must be harsh in this war.”
-
-First of all, tell me, what do you mean by “your next success”? Doesn’t
-that mean the next attack on a vessel?
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: Now, just look at that order of yours and
-compare it with the words of the London Treaty. The Treaty, you
-remember, says that a warship, including a submarine, may not sink or
-render incapable of navigation a merchant vessel without first having
-placed passengers, crew, and ship’s papers in a place of safety. For
-this purpose, the ship’s boats are not regarded as a place of safety
-unless the safety of the passengers and crew is assured in the existing
-sea and weather conditions, by the proximity of land or the presence of
-another vessel.
-
-Defendant, you had that article of the London Treaty in front of you,
-had you not, when you were drafting this order? And you were
-deliberately excluding from your order the matters mentioned in the
-London Treaty? Listen to your order: “Do not worry about the boats;
-weather conditions”—one thing mentioned in the Treaty—“and distance
-from land”—another thing mentioned in the Treaty—“play no part.”
-
-Your order could have been put in other language almost as clearly:
-“Disregard all the matters that are stated in Paragraph 2 of the London
-Treaty.”
-
-Now tell me, didn’t you have the London Treaty in front of you when you
-drew that order?
-
-DÖNITZ: Of course I had the London Treaty in my mind and in front of me.
-I stated in detail yesterday, however, that we were thinking in terms of
-an engagement, a ship under escort, as is shown by the order as a whole.
-You have taken just one paragraph. There was, therefore, no question of
-applying the London Agreement, which does not refer to ships under
-escort.
-
-Secondly, we were thinking of an area in the immediate vicinity of the
-permanent positions, enemy defenses off the harbors on the British
-coast. The London Agreement has nothing to do with fighting ships under
-escort. Those are two entirely different things; and that order applied
-to this area and the combating of ships under escort. I explained that
-in detail yesterday.
-
-SIR DAVID MAXWELL-FYFE: But if you say that that only applied when it
-was a question of attacking ships in convoy, would you look at Page 26
-of the English document book and at Page 57 of the German document book?
-There you will find the account of the sinking of the _Sheaf Mead_ on 27
-May 1940. And if you will look at the U-boat’s log, opposite the time
-group 1648 hours—which is on Page 27 of the English and Page 57 of the
-German (Exhibit Number GB-192)—this is what the log says:
-
- “A large heap of wreckage floats up. We approach it to identify
- the name. The crew have saved themselves on wreckage and
- capsized boats. We fish out a buoy; no name on it. I ask a man
- on the raft. He says, hardly turning his head ‘Nixname.’ A young
- boy in the water calls, ‘Help, help, please.’ The others are
- very composed; they look damp and somewhat tired and have a look
- of cold hatred on their faces. Then on to the old course.”
-
-If you turn to Page 57 of the German document book, or Page 28 of the
-English, you will find the last sentence from the survivors’ report
-describes the submarine as doing this:
-
- “They cruised around for half an hour, taking photographs of us
- in the water. Otherwise they just watched us but said nothing.
- Then she submerged and went off without offering us any
- assistance whatever.”
-
-There you see the point, Defendant, that your own commander says that
-there was a young boy in the water calling, “Help, help, please,” and
-your submarine takes a few photographs, submerges, and then goes off.
-
-THE PRESIDENT: Sir David, ought you not to refer to the passage just
-after the name of the vessel, under 1648, “It is not clear....”?
-
-SIR DAVID MAXWELL-FYFE: “It is not clear whether she was sailing as a
-normal merchant ship. The following seemed to point to the contrary.”
-
-And then, My Lord, it gives a number of matters.
-
-Of course, My Lord, I am on the point of survivors at the moment. I am
-not taking this instance as a matter of wrongful sinking; I am taking it
-as an instance of carrying out this order.
-
-I am very much obliged to Your Lordship, but that is why I didn’t do it.
-
-THE PRESIDENT: The Tribunal will adjourn now.
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-SIR DAVID MAXWELL-FYFE: Defendant has now had the opportunity of looking
-at the log of _U-37_. Was it not your practice in May 1940 to see
-personally the logs of all U-boats when they arrived?
-
-DÖNITZ: I had the commanders of submarines report verbally to me every
-time. The logs, which arrived or were finished several weeks later or
-some time after the entries were made since they had to be written in
-the port, were only submitted to me by my Chief of Staff if they
-contained something special in addition to the verbal report.
-
-SIR DAVID MAXWELL-FYFE: Did you remember seeing the log of _U-37_ that
-was involved in this incident?
-
-DÖNITZ: No.
-
-SIR DAVID MAXWELL-FYFE: Do you now observe that the _Sheaf Mead_ was not
-sailing in convoy?
-
-DÖNITZ: Yes, I know that. And I know that she was an armed ship and
-that, according to the orders which the commander had, he was justified
-in sinking her as an armed ship. It also appears from his log that he
-could not decide on firing the torpedo until he had ascertained that the
-ship was armed. That is very clearly expressed here.
-
-SIR DAVID MAXWELL-FYFE: May I please explain to His Lordship that I am
-not on the question of sinking. I am on the question of survivors. Did
-you take any action with the U-boat commander, Kapitänleutnant Ernst,
-for not having assisted in the rescue of survivors?
-
-DÖNITZ: No. But I did tell him that if he was on the spot where this
-rescue went on he should also have helped.
-
-SIR DAVID MAXWELL-FYFE: Was he not simply carrying out your Order 154 of
-November or December 1939?
-
-DÖNITZ: No, he was not.
-
-SIR DAVID MAXWELL-FYFE: Well, now...
-
-DÖNITZ: I have already stated to which waters it applied and that it
-only applied to ships which were protected.
-
-SIR DAVID MAXWELL-FYFE: Well, now, would you look at Page 34 in the
-English document book, Page 69 in the German document book. That is the
-report of the conversation between Hitler and Oshima, and you say that
-you were told nothing about it. Now I want you just to follow about
-halfway down, halfway through the extract, where it says:
-
- “After having given further explanations on the map, the Führer
- pointed out that however many ships the United States built, one
- of its main problems would be the lack of personnel. For that
- reason merchant ships would be sunk without warning, with the
- intention of killing as many of the crew as possible. Once it
- gets around that most of the seamen are lost in the sinkings,
- the Americans would soon have difficulties in enlisting new
- people. The training of seagoing personnel takes a long time.”
-
-Now, did you agree with that argument of Hitler’s that once it gets
-around that most of the seamen are lost in the sinkings, the Americans
-would soon have difficulties in enlisting new people? Did you think that
-that was a sound argument on the question of sea warfare against the
-United States?
-
-DÖNITZ: I have already given my answer to that question in writing to
-the Foreign Office, and I clearly stated my opinion, which was that I
-did not believe that it would take a long time to train seamen, and that
-America had no lack of them. Consequently I would also not be of the
-opinion that this would serve as a deterrent if they had enough men.
-
-SIR DAVID MAXWELL-FYFE: So you do not agree with the Führer’s reasoning
-on that point?
-
-DÖNITZ: No, I do not agree with the last part, namely, that there would
-be a shortage of seamen.
-
-SIR DAVID MAXWELL-FYFE: No, it is the first point that I want your
-opinion on expressly: “Once it gets around that most of the seamen are
-lost in the sinkings, the Americans would soon have difficulties in
-enlisting new people.” That is, I suggest to you, that the new people
-would be scared off by the news of the sinking and killing of the first
-people. Did you agree that that was a sound argument? That is what I
-want your view on.
-
-DÖNITZ: That is his personal point of view. Whether they would be scared
-off or not is an American matter which I cannot judge.
-
-SIR DAVID MAXWELL-FYFE: Would you look at your own document book, Volume
-I, Page 29 in the English version, which is your report to the Führer on
-14 May 1942. Do you see the last sentence where you are advocating a
-range pistol? You say:
-
- “A range pistol will also have the great advantage that the crew
- will not be able to rescue themselves on account of the quick
- sinking of the torpedoed ship. This greater loss of crews will
- no doubt cause difficulties for the assignment of crews for the
- great American construction program.”
-
-DÖNITZ: It is perfectly clear, it is correct. If I have not got the old
-crews any more, I have to have new ones. It makes it more difficult. It
-says nothing about scaring off there, but the positive fact is stated
-that new crews have to be trained.
-
-SIR DAVID MAXWELL-FYFE: So are we to take it that you did not think that
-would have any frightening or terrorizing effect on the getting of new
-crews, if the old crews were sunk under conditions where they would
-probably lose their lives.
-
-DÖNITZ: That is a matter of opinion, it depends on the courage, the
-bravery of the people. The American Secretary Knox said that if in
-peacetime—in 1941—the sinkings of German U-boats were not published he
-expected it would have a deterrent effect on my U-boats. That was his
-opinion. I can only say that the silent disappearance through American
-sinkings in peacetime did not scare off my U-boats. It is a matter of
-taste.
-
-SIR DAVID MAXWELL-FYFE: Well, on 14 May the Führer was pressing you to
-take action against the crews after the vessel was sunk. Is that not so?
-
-DÖNITZ: Yes. He asked whether we could not take action against the crew
-and I have already said, after I heard of the Oshima discussion here,
-that I believe this question to Grossadmiral Raeder and myself was the
-result of that Oshima discussion.
-
-My answer to that, of course, is known; it was “no.”
-
-SIR DAVID MAXWELL-FYFE: Your answer was “no,” it would be far better to
-have a range pistol and kill them while they were still on the boat.
-That was your answer, was it not?
-
-DÖNITZ: No. My answer was: Taking action against shipwrecked personnel
-is out of the question, but it is taken for granted that in a fight one
-must use the best possible weapon. Every nation does that.
-
-SIR DAVID MAXWELL-FYFE: Yes, but the object of your weapon, as quite
-clearly set out, was that the crew would not be able to rescue
-themselves on account of the quick sinking of the ship. That is why you
-wanted to use the range pistol.
-
-DÖNITZ: Yes. And also of course, because we considered the crews of the
-steamers as combatants since they were fighting with weapons.
-
-SIR DAVID MAXWELL-FYFE: Well, I am not going back to deal with that
-point again, but that was in your mind. Now, the Führer raised this
-point again on 5 September 1942, as is shown in your document book,
-Volume II, Page 81.
-
-DÖNITZ: I do not have it. Where is it?
-
-SIR DAVID MAXWELL-FYFE: It begins with the discussion in the OKW on 5
-September 1942. It is Exhibit Dönitz-39, Page 81, and it is in the
-English document book, Volume II.
-
-DÖNITZ: Yes, I have it now.
-
-SIR DAVID MAXWELL-FYFE: It arises out of an incident of the sinking of
-the mine boat, _Ulm_, and there is a question of whether British
-destroyers had fired with machine arms on soldiers in lifeboats; and the
-Führer gave orders to the Naval Command to issue an order, according to
-which “our warships would use reprisals”; and if you look a little lower
-down, you will see that the matter had been investigated by your
-operations staff, and it is stated:
-
- “It could not be proved beyond a doubt that the fire had been
- aimed at the crew boarding the lifeboats. The enemy fire was
- evidently aimed at the ship itself.”
-
-Then you discuss the question of applying reprisals, at the foot of that
-page, and you say:
-
- “It is the opinion of the Naval Operations Staff that before
- issuing reprisal orders, one should take into consideration
- whether such measures, if applied by the enemy against us, would
- not in the end be more harmful to us than to the enemy. Even now
- our boats are able only in a few cases to rescue shipwrecked
- enemy crews by towing the lifeboats, _et cetera_, whereas the
- crews of sunken German U-boats and merchant vessels have so far,
- as a rule, been picked up by the enemy. The situation could
- therefore only change in our favor if we were to receive orders,
- as a measure of reprisal, that shipwrecked enemy crews should
- not only not be saved, but that they should be subdued by fire.
- It is significant in this respect that so far it could not be
- proved that in the cases on record where the enemy used arms
- against shipwrecked Germans such action was the result of, or
- was covered by, an order of an official British agency. We
- should therefore bear in mind the fact that knowledge of such a
- German order would be used by enemy propaganda in such a manner
- that its consequences could not easily be foreseen.”
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I object against this manner
-of procedure. The document about which this cross-examination is being
-made is a document from me, and I have not submitted it yet. I do not
-know whether it is customary in this Trial that exhibits of the Defense
-are submitted by the Prosecution. For this reason I had suggested at the
-time to begin with the documentary evidence so that the Prosecution
-should also have an opportunity to use my exhibits in cross-examination.
-
-THE PRESIDENT: Have you any objection to the document which is in your
-document book being offered in evidence?
-
-FLOTTENRICHTER KRANZBÜHLER: I only want to avoid having my documents
-presented by the Prosecution in cross-examination because this upsets my
-entire documentary evidence. This particular case does not play a
-decisive role for me, but if the Prosecution proposes to present other
-documents of mine which have not yet been submitted, I should like to
-ask that the cross-examination be interrupted and I first be afforded an
-opportunity to submit my documents.
-
-THE PRESIDENT: That will only waste time, will it not? It would not do
-any good; it would only waste time.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I do not think it would be a
-waste of time if I, as Defense Counsel, ask that I be allowed to submit
-my own documents to the Tribunal myself and that they shall not be
-quoted to the Tribunal by the Prosecution from my document book, because
-the manner of presentation and the questions asked by the Prosecution
-do, of course, give these documents a quite definite meaning.
-
-THE PRESIDENT: Dr. Kranzbühler, the Tribunal thinks there is no
-objection to the course that is being taken. You have had the
-opportunity already of putting this document to the witness. You will
-have a further opportunity of putting it to him again in re-examination.
-
-SIR DAVID MAXWELL-FYFE: So that there was fresh pressure put on you to
-take this course, that is, to fire on the crews of sunken vessels and
-that in September, was there not?
-
-DÖNITZ: No, that is not correct. I only learned of this document of the
-naval war here; I was not under pressure, therefore; but it is true
-that, in accordance with this document, the Naval Operations Staff had
-apparently had orders from the OKW to compile a list of all such cases
-and that the Naval Operations Staff very correctly took the point of
-view that one would have to be very careful in judging these cases and
-that it advised against reprisal measures. It appears to me that the
-compilation of this document served to convince us that in principle one
-should keep away from these reprisal measures.
-
-SIR DAVID MAXWELL-FYFE: Did you know that on the instructions of Hitler
-the OKW had put through an inquiry to the naval war command on this
-point in September?
-
-DÖNITZ: No, I did not know that. I just said I do not know about this
-entry in the War Diary of the Naval Operations Staff and the appendix
-which is attached to it. I first heard of it here.
-
-SIR DAVID MAXWELL-FYFE: You first heard of it here?
-
-DÖNITZ: I did not know about the entry in the War Diary of the Naval
-Operations Staff. That was done in Berlin, and I was Commander of the
-Submarine Fleet in France at the time.
-
-SIR DAVID MAXWELL-FYFE: Well, if you tell the Tribunal that you did not
-know about it in September, then we will pass on to another document.
-That is what you say, that you did not know about it in September 1942?
-
-DÖNITZ: No.
-
-SIR DAVID MAXWELL-FYFE: Now, I would just like you—I do not want to
-take you through the _Laconia_ in any detail, but I want you just to
-tell me about one, I think, one or two entries. I think it is Page 40 of
-your own document book.
-
-THE PRESIDENT: Is that not on Page 41?
-
-SIR DAVID MAXWELL-FYFE: I am very much obliged to Your Lordship.
-
-[_Turning to the defendant._] It is Page 41, at the bottom. It is on 20
-September, 1320 hours. That is your wireless message to the U-boat
-_Schacht_. Do you see that?
-
-DÖNITZ: Yes, and I explained that in great detail yesterday.
-
-SIR DAVID MAXWELL-FYFE: I just want to know: Is it true what is stated
-in your wireless message that the boat was dispatched to rescue Italian
-allies, not for the rescue and care of Englishmen and Poles? Is that
-true?
-
-DÖNITZ: That is correct, because the vessel had reported to me that it
-had four boats in tow—and it says on Page 40, “...with British in tow.”
-It was clear, considering the whole situation, that a submarine with
-vessels in tow could not remain on the surface without the greatest
-danger to itself. Hence on Page 40 under heading 2 the order and the
-instructions given, “Boats with British and Poles to be cast adrift.” I
-wanted to get rid of the boats. That was the only reason. And it was
-only afterwards—Page 41—when a long radio message came from him, which
-in itself was a repetition but which was interpreted to mean that after
-the two air attacks had taken place he had again endangered his boat by
-stopping and picking up men, only then did he receive this wireless
-message, after it had gradually dawned on me—during the first four
-days, or perhaps three days, I had nothing against rescuing the
-British—that the Italians, who after all were our allies, were getting
-the worst of it, which indeed proved to be the case.
-
-SIR DAVID MAXWELL-FYFE: You have given a long explanation. Now, is that
-wireless message true, that the boat was dispatched to rescue Italian
-allies, not for the rescue and care of Englishmen and Poles? Is that
-true or not true?
-
-DÖNITZ: Of course; this wireless message contained both instructions and
-it becomes unequivocally clear from these two instructions as well as
-from the impression I had that the British who were rescued far
-outnumbered the Italians, who were left to drown.
-
-SIR DAVID MAXWELL-FYFE: Now, there is one point I want you to make a
-little clearer. When you were interrogated about this matter, you said
-that you were under great pressure at the time; and, I think, that the
-pressure came to you from Hitler only through Captain Fricke. Is that
-right?
-
-DÖNITZ: No, “only” is not correct. It was “also.” The pressure, as I
-have very clearly explained here, was due to worry and anxiety regarding
-the fate of my submarines, because I knew that they were now being
-greatly jeopardized. We had evidence of that already from the bombing
-attacks; secondly, of course, from the Führer’s orders which Fricke
-gave. But I have also stated here that in spite of that order, even if
-it was not militarily correct to act in this way, I continued rescuing.
-However, the pressure, my worry and anxiety, were mostly caused by the
-fate of the submarines themselves.
-
-SIR DAVID MAXWELL-FYFE: So that at this time you had had the report to
-the Führer on 14 May; you had then had the _Laconia_ incident, and
-during that incident you had had the pressure from the Führer. Now, was
-it not because of this...
-
-DÖNITZ: I beg your pardon, but...
-
-SIR DAVID MAXWELL-FYFE: Allow me to ask my question.
-
-DÖNITZ: I think there is an error that has crept in here.
-
-SIR DAVID MAXWELL-FYFE: Very well, I will correct it. You had had the
-report to the Führer on 14 May. You have told me that. There was then
-the _Laconia_...
-
-DÖNITZ: That has nothing to do with the Führer’s order in the case of
-the _Laconia_. In the case of the _Laconia_ the Führer had given orders,
-and quite rightly, that no boats should be endangered by the rescue.
-That is something quite different from the subject of 14 May.
-
-SIR DAVID MAXWELL-FYFE: I am trying to assemble for the moment what
-matters you had to deal with. You had had the 14th of May, the _Laconia_
-incident, and then an order to stop, coming through from the Führer.
-
-DÖNITZ: No, in the case of the _Laconia_ incident I never thought at all
-of the order or of the discussion of 14 May with the Führer, and I could
-not, because that was an entirely different subject. This is quite
-another matter, here it was purely a matter of rescue. There is no
-connection whatsoever between the two.
-
-SIR DAVID MAXWELL-FYFE: We will see about that. Turn to Page 36 in the
-British document book, or Pages 71 to 75 in the German document book.
-
-Now, you have told us that what mainly concerned you was the safety of
-your own boats and of your own personnel.
-
-DÖNITZ: Yes.
-
-SIR DAVID MAXWELL-FYFE: Why did you put into the order, “The elementary
-demands of warfare for the destruction of ships and crews are contrary
-to rescuing”? What was the point of putting these words in, unless you
-meant to encourage people to destroy enemy ships and crews?
-
-DÖNITZ: I explained that in great detail yesterday. I preached during
-all these years: You must not rescue when your own safety is in danger.
-In the case of the _Laconia_ I myself in my anxiety and worry wirelessed
-that to the troops many times. Apart from that, I found again and again
-that submarine commanders were taking the danger from the air too
-lightly. I also showed how that is to be explained psychologically. I
-described yesterday the overwhelming increase of the air force, and
-consequently in no circumstances would I have again given my people as a
-reason that, if there is danger from the air, or since you are being
-endangered from the air, _et cetera_, you must not rescue, or rescuing
-would be contrary to the elementary demands of warfare; because I did
-not want to leave it to my commanders to discuss whether there was
-danger from the air or not. After all my experience of the losses
-suffered and in view of the ever-present air force, which as history has
-shown was becoming stronger and stronger, I had to give a clear-cut
-order to the commanders based on that experience: “You cannot go on like
-that, or while we rescue the enemy we shall be attacked and killed by
-the enemy.” Therefore this reasoning must not enter into it. I did not
-wish to give the commanders another opportunity of deliberating or
-discussing. I told you already yesterday that I could have added, “If
-now, in view of the danger from the air, we are killed by that self-same
-enemy while rescuing him, then rescue is contrary to the elementary
-demands of warfare.” I did not want to do that, because I did not want
-any more discussion. We all had the impression that this refrain, “Do
-not rescue if there is danger from the air,” was outworn, because this
-would have meant that the commanders would nevertheless lose their
-liberty of action, and might slip into this thing.
-
-SIR DAVID MAXWELL-FYFE: But if you had simply said, “You are forbidden
-to rescue,” and if you had wanted to give a reason, “You are forbidden
-to rescue because in view of the Allied air cover it is a matter of too
-great danger for the safety of yourself and your boat ever to rescue at
-all,” that would have been quite clear. Why did you not put it that way?
-
-DÖNITZ: No, that is just what I could not do. I have just said so,
-because some commander in some naval theater might get the idea that
-there was no danger from the air, and the next moment the plane would
-appear and he would be struck down. I have already said all that in
-reply to your suggestion.
-
-SIR DAVID MAXWELL-FYFE: Now, you had two experienced staff officers with
-you at the time that you got this order out—Captains Godt and Hessler,
-had you not?
-
-DÖNITZ: Yes, that is right.
-
-SIR DAVID MAXWELL-FYFE: And both Captain Godt and Captain Hessler
-advised you strongly against the issue of this order, did they not?
-
-DÖNITZ: As far as I can remember, they said something like this, “The
-bulk of the submarines”—I have said that here—“the bulk of the
-U-boats, that is, more than 90 percent of the U-boats, are already
-fighting the convoys, so that such an order is out of the question for
-them.”
-
-That was the question: Should we issue such a general order at all, and
-would not the further developments which forced us all the time to issue
-new orders, namely, “Remain on the surface as little as possible,” make
-such an order superfluous? However, since I was responsible for warding
-off every possible danger to a submarine, I had to give this order and
-my staff agreed with me perfectly as far as this measure was concerned.
-
-SIR DAVID MAXWELL-FYFE: Did you not say when you were interrogated on 22
-October and on other occasions: “Godt and Hessler told me, ‘Do not send
-this wireless message—you see, one day there may be a wrong impression
-about it; there may be a misinterpretation of that.’” Did you not say
-that?
-
-DÖNITZ: Yes, I said that, and it is true too that such a remark may have
-been made. But it was not misinterpreted by the U-boats; nobody thought
-of that or we would not have issued the order. But we were thinking of
-the effects on the outside world.
-
-SIR DAVID MAXWELL-FYFE: And was not the effect that you wanted to
-produce: That you would have an order which could be argued was merely a
-prohibition of rescue, and would encourage the submarine commanders who
-felt that way to annihilate the survivors of the crews?
-
-DÖNITZ: No, that is absolutely wrong, and it is also proved by the
-documents which we have submitted.
-
-Apart from the Möhle case, nobody misunderstood this order and when we
-compiled the order we were aware of that fact. That becomes clear from
-the communications which we had with U-boat commanders, and it becomes
-clear from my searching inquiries when I asked whether they had in any
-way thought of that. The order does not show that at all, neither does
-the reason which led to it. The fact is that we were rescuing for all we
-were worth. The question was, “to rescue or not to rescue,” and nothing
-else. That is the key to the _Laconia_ case.
-
-SIR DAVID MAXWELL-FYFE: You said that “we issued the order.” Do you
-remember saying this in an interrogation on 6 October: “I am completely
-and personally responsible for it, because Captains Godt and Hessler
-both expressly stated that they considered the telegram as ambiguous or
-likely to be misinterpreted.”
-
-Do you remember saying that, “I am completely and personally
-responsible” because both your staff officers had pointed out that it
-was ambiguous? Did you say that?
-
-DÖNITZ: I do not think so. I cannot think I said it that way. I am not
-sure, but I will say the following:
-
-During the interrogation I was told that Captains Godt and Hessler made
-this order, and in reply to that I said, “It is quite immaterial, I am
-responsible for the order.” Moreover, the main point of discussion on
-that order was whether one ought to issue such an order. That it should
-ever have entered Captain Godt’s or Captain Hessler’s mind that such an
-order could be misunderstood by us—by the U-boats—is completely
-erroneous. I emphatically stated that, too, during the interrogation. I
-clearly stated that this consideration and the discussion of the
-question whether the order was to be issued or not had nothing whatever
-to do with it as far as these two gentlemen were concerned. That is
-quite clear; and that also was contained in the interrogation.
-
-SIR DAVID MAXWELL-FYFE: You were making clear that it was the first
-occasion. I made it clear that you were not blaming your junior officer
-who had advised you against this, and you were taking the responsibility
-on this occasion yourself. That is true, these junior officers advised
-you against it? In your own words, they both expressly stated that they
-considered the telegram ambiguous and liable to be misinterpreted; that
-is right, is it not, they did say that?
-
-DÖNITZ: I did not see the discussion after it was put down, and I did
-not sign it. I can tell you quite clearly—and this is clear from
-another discussion—that I said that I myself will assume full
-responsibility. For me that was the essential thing. The only reason why
-the whole question came up was because the interrogating officer told me
-these officers had drafted the order, and then, as I recall it, the idea
-was that on no account should these officers be held responsible for my
-order. That was the point of the matter.
-
-SIR DAVID MAXWELL-FYFE: Well, at any rate, you are not changing what you
-said a few minutes ago that both Captain Godt and Captain Hessler
-advised you against issuing this order, are you?
-
-DÖNITZ: According to my recollection, at first both advised against it.
-I have now heard that both are saying they did not advise against it,
-but that perhaps I or somebody else might have advised against it. I do
-not know for certain. I recollect that at first both advised me against
-issuing such an order at a time when 90 percent of our submarines were
-already engaged in fighting convoys and when we were being forced under
-the water anyway and it was absolutely impossible to make any more
-rescues since we were below the surface; and I said, “No; there will
-surely still be cases where such a thing can happen and where the
-commander will be faced with an awkward situation and in that case I
-want to relieve him of such a decision.” That was the reason and the
-meaning of the discussion, nothing else.
-
-SIR DAVID MAXWELL-FYFE: We will continue. That is the first part of the
-order. Now take Paragraph 2, “Orders for bringing in captains and chief
-engineers still apply.” Now, Defendant, you know perfectly well that in
-order to find the captain or chief engineer, the U-boat has got to go
-around the lifeboats or wreckage and make inquiries, “Where is the
-captain?” And you know very well that the usual practice of the British
-merchant navy was to try and hide the captain and prevent them finding
-out who he was. Is that not the practical position that had to be met,
-that you had to go around the lifeboats asking for the captain if you
-wanted to bring him in? Is that not so?
-
-DÖNITZ: Not exactly, no. I stated quite clearly yesterday that, first,
-the risk of taking aboard one man was much less as far as time was
-concerned, and would not limit the crashdiving ability of the boat,
-whereas rescuing activities would limit severely the crashdiving
-ability. Secondly, that that had a military aim ordered by the Naval
-Operations Staff for which, as is always the case in war, a certain risk
-would have to be taken; and, thirdly, that the significance of that
-paragraph appeared to all of us to be unimportant, the results being
-always poor. This order, if you want to construe it like this and take
-it out of its context, militates against your contention that I wanted
-to destroy these people; because I wanted to take prisoners, and if I
-intended to kill somebody first, then I certainly could not have taken
-him prisoner.
-
-SIR DAVID MAXWELL-FYFE: I am putting it to you that the second part of
-the order is that you are to bring in captains and chief engineers to
-find out what you can from them.
-
-Look at the third paragraph: “Rescue ship crews only if their statements
-will be of importance for U-boats,” that is, of importance for you to
-learn from them the position of Allied ships or the measures the Allies
-are taking against submarines. That is the point against two and three,
-is it not? You are only to take prisoners if you can find out some
-useful thing from them?
-
-DÖNITZ: I think it is taken for granted that we should try to get as
-much information as possible, and since I cannot take the whole crew as
-prisoners on a U-boat, I have to confine myself to the most important
-persons. Therefore I remove these people from further engagement,
-whereas the others may engage again. Of course, in view of the limited
-room on a U-boat, I do not take unimportant people but the important
-ones.
-
-SIR DAVID MAXWELL-FYFE: I do not want to take up a lot of time, but I
-want you to tell me this: Did I understand your explanation of the word
-“again” in the War Diary to be that you had drawn the attention of
-certain submarine commanders to your telegrams during the _Laconia_
-incident, is that your explanation?
-
-DÖNITZ: No, it did not refer to U-boat commanders; and I believe the
-word “again,” as my staff says, referred to those four wireless messages
-which we have read as meaning this during the last few days and which
-were submitted to the Tribunal yesterday.
-
-SIR DAVID MAXWELL-FYFE: I put to you a moment ago a question and you
-said the “again” refers to the messages you sent out during the
-_Laconia_ incident. I think you agree with that, do you not? Do not be
-afraid to agree with what I say. When was that?
-
-DÖNITZ: Yesterday it was explained to me that there were four wireless
-messages, and I assumed that the person was summarizing the whole event,
-and that was probably his way of putting it. He was a chief petty
-officer and I do not know what he meant when he used the word “again.”
-
-SIR DAVID MAXWELL-FYFE: Now you say you had never heard of the Hitler
-and Oshima conversations which I put to you a few moments ago?
-
-DÖNITZ: No.
-
-SIR DAVID MAXWELL-FYFE: Therefore, one may assume, may one not, that
-Lieutenant Heisig, who gave evidence, had not heard of the Hitler and
-Oshima conversations either; do you not think he could not have heard
-about it?
-
-DÖNITZ: I assume it was out of the question.
-
-SIR DAVID MAXWELL-FYFE: Did you notice that Heisig said in his evidence
-that during a lecture he heard you put forward the same argument as
-Hitler put forward in his conversations with Oshima?
-
-DÖNITZ: First of all I want to state that Heisig here in this witness
-box said something different from what he said during his interrogation.
-During cross-examination he has admitted here that I have not said
-anything about fighting against shipwrecked personnel; secondly,
-everything else he said is so vague that I do not attach much value to
-its credibility; thirdly, he stated quite clearly that I did not say
-this in a lecture but during a discussion, which is in itself of no
-importance; and fourthly, it may well be that the subject of America’s
-new construction program and the manning of the new ships by trained
-crews was discussed. It was possible during that discussion.
-
-SIR DAVID MAXWELL-FYFE: Do you now say you agree you never opened any
-discussion having reference to the American shipbuilding program and the
-difficulty of finding crews? Do you agree with Heisig on that?
-
-DÖNITZ: The German press was full of that. Everybody read and knew about
-the shipbuilding program. Pictures were made...
-
-SIR DAVID MAXWELL-FYFE: But the argument I am suggesting to you, you
-know, was that the building program would be useless if you could
-destroy or frighten off sufficient merchant navy crews. That is the
-point in Hitler’s conversation, and that Heisig said you said. Did you
-say that?
-
-DÖNITZ: I have always taken the view that losses of crews would make
-replacement difficult, and this is stated in my war diary together with
-similar ideas, and perhaps I said something of the kind to my
-midshipmen.
-
-SIR DAVID MAXWELL-FYFE: Would you look at Page 37 of the Prosecution
-document book, Page 76 in the German translation? It is an order dated 7
-October 1943 (Document Number D-663, Exhibit Number GB-200). I just want
-you to look at the last sentence: “In view of the desired destruction of
-ships’ crews, their sinking is of great value.”
-
-DÖNITZ: I have read it.
-
-SIR DAVID MAXWELL-FYFE: “In view of the desired destruction of ships’
-crews, their sinking is of great value,” and it is continually pressing,
-the need for ships’ crews.
-
-DÖNITZ: Yes, of course, but in the course of fighting. It is perfectly
-clear that these rescue ships were heavily armed. They had aircraft and
-could be sunk just like other convoy ships. If there were steamer crews
-on hand it was naturally our desire to sink them since we were justified
-in sinking such crews. Moreover they were used as U-boat traps near the
-steamers.
-
-SIR DAVID MAXWELL-FYFE: On the question of the rightness or wrongness of
-sinking rescue ships, the destruction of ships’ crews, now, I want to
-ask you one or two questions about Möhle. He commanded the U-boat
-Flotilla from 1942 until the end of the war. That is nearly three years;
-and as he told us, he has a number of decorations for gallant service.
-Are you telling the Tribunal that Commander Möhle went on briefing
-submarine commanders on a completely mistaken basis for three years
-without any of your staff or yourself discovering this? You saw every
-U-boat commander when he came back.
-
-DÖNITZ: I am sorry that Korvettenkapitän Möhle, being the only one who
-said he had doubts in connection with this order, as he declared here,
-did not report this right away. I could not know that he had these
-doubts. He had every opportunity of clearing up these doubts and I did
-not know, and nobody on my staff had any idea, that he had these
-thoughts.
-
-SIR DAVID MAXWELL-FYFE: Now, I have a letter here, a letter from a widow
-of one of your submarine commanders. I cannot get the commander and this
-is a letter from his widow. I want you to say what you think of a
-passage in it.
-
-She says—in the second paragraph—“Captain Möhle says he has not found
-one U-boat commander who objected to the order to fire at helpless
-seamen who were in distress in the water.”
-
-FLOTTENRICHTER KRANZBÜHLER: I object to the use of this letter. I think
-this is the sort of letter which cannot be used as an exhibit. It is not
-sworn, and it is a typical example of the kind of letter which Mr.
-Justice Jackson has already repeatedly characterized.
-
-SIR DAVID MAXWELL-FYFE: The only point I make is this: The man himself
-has not come back. His widow can give information as to how he
-understood his orders before he went out. I should have submitted it
-with probative value. I think it occurs in Article 19. I will not use it
-if there is the slightest doubt about it before the Tribunal.
-
-DÖNITZ: It is full of incorrect statements, too. It says there that he,
-Prien, died in a concentration camp, which is not true.
-
-THE PRESIDENT: Wait just a minute.
-
-DÖNITZ: It is not true.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have only just finished
-reading the whole letter.
-
-THE PRESIDENT: Well, the Tribunal is considering the matter at the
-moment.
-
-FLOTTENRICHTER KRANZBÜHLER: May I state one argument in this connection
-first?
-
-THE PRESIDENT: Well, we have heard your argument and we are considering
-the matter.
-
-The Tribunal thinks that it is undesirable and that this document should
-not be used.
-
-SIR DAVID MAXWELL-FYFE: As Your Lordship pleases.
-
-[_Turning to the defendant._] Now I want to deal just for one moment
-with a passage in your own document book which Dr. Kranzbühler put to
-you yesterday. It is Volume II, Page 92, Exhibit 42. Before I ask you a
-question about it, there is one point that I would like you to help me
-on. In your interrogation you said that on 22 October that about two
-months after that order of 17 September you issued orders forbidding
-U-boats to surface at all. Is that right? You gave orders forbidding
-U-boats to surface, is that right?
-
-DÖNITZ: So far as it is possible for a submarine not to do so at all. We
-were always making changes, day and night, and it depended upon the
-degree of danger and weather conditions whether we gave orders for the
-U-boats to surface and recharge when on the move.
-
-SIR DAVID MAXWELL-FYFE: They were not to surface after attacks, were not
-to surface at all before or after attacks; is that not the effect of
-your order?
-
-DÖNITZ: Of course submarines, for example at night, had to be on the
-surface for attacks, but the main thing was to avoid every risk when on
-the move.
-
-SIR DAVID MAXWELL-FYFE: Then two months later there was an order that
-they were to surface as little as possible, and you tell me it was your
-order?
-
-DÖNITZ: As far as possible they were to try by all means to avoid danger
-from the air.
-
-SIR DAVID MAXWELL-FYFE: Did you give orders as to surfacing?
-
-DÖNITZ: I gave them quite a number of orders, as I have already said,
-according to the weather, according to what part of the sea they were
-in, and whether it was day or night. The orders were different according
-to these factors, because the danger depended on these elements and
-varied accordingly. There were changes too; if we had bad experiences,
-if we found that night was more dangerous than day, then we surfaced
-during the day. We had the impression that in the end it was better to
-surface during the day, because then one could at least locate
-beforehand the aircraft attacking by direction-finding, so we changed.
-
-SIR DAVID MAXWELL-FYFE: But it is a fact that quite soon after this
-order the Allied air cover became so heavy that—I quote your own words;
-you say, “Two months later submarines were no longer in a position to
-surface.” That is, as I understood it, surfacing became very difficult
-in view of the heavy nature of Allied air attacks, is that right?
-
-DÖNITZ: Yes, they did not have a chance to come to the surface in
-certain waters without being attacked immediately. That is just the
-point. The submarines were however in readiness, in the highest degree
-of readiness—and that is the big difference, for in rescue work
-readiness is disrupted; yet these heavy losses and difficulties occurred
-at the height of readiness.
-
-SIR DAVID MAXWELL-FYFE: Now I want you to look at Page 93. It is the
-page after the one I referred you to in Volume II of your document book;
-do you see Paragraph 1?
-
-DÖNITZ: Yes.
-
- SIR DAVID MAXWELL-FYFE: “The percentage of merchant vessels sunk
- out of convoys in 1941 amounted to 40 percent; in the entire
- year of 1942 to barely 30 percent; in the last quarter of 1942
- to 57 percent; in January 1943, to about 65 percent; in February
- to about 70 percent; and in March to 80 percent.”
-
-Your worst period was the first three quarters of 1942, is that not so?
-That appears from your own figures.
-
-DÖNITZ: Which “worst period”? What do you mean? I do not understand.
-
-SIR DAVID MAXWELL-FYFE: Well, it is Page 93, Paragraph 1.
-
-DÖNITZ: Yes, but how do you mean, “worst period”?
-
-SIR DAVID MAXWELL-FYFE: Well, the percentage of sunk merchant vessels in
-convoys in 1941 amounted to 40 percent.
-
-DÖNITZ: You mean merchant ships?
-
-SIR DAVID MAXWELL-FYFE: Yes, I am reading your own war diary, or rather
-the naval war staff War Diary. “In the entire year of 1942 to barely 30
-percent...”
-
-DÖNITZ: From convoys?
-
-SIR DAVID MAXWELL-FYFE: Convoys, yes. So that the worst period that you
-had was the first three quarters of 1942?
-
-DÖNITZ: No. In 1942, as I have already said in my description of the
-entire situation, a large number of submarines were just outside the
-ports, they were off New York, off Trinidad, _et cetera_, so that they
-are not mentioned here. In this list only the sinkings carried out by
-those packs which were attacking the convoys in the North Atlantic are
-mentioned.
-
-SIR DAVID MAXWELL-FYFE: But is it not right that these figures mean that
-your worst period was the first three quarters of 1942? It must have
-been around 30 percent.
-
-DÖNITZ: No, my most successful period was the year 1942.
-
-SIR DAVID MAXWELL-FYFE: Well, how can you call it the most successful
-period if for the entire year of 1942 your percentage of sunk merchant
-vessels in convoys is only 30 percent, whereas in January and February
-and March 1943, it got up to 65, 70, and 80 percent?
-
-DÖNITZ: Quite right, that is so. Of the merchant ships sunk in 1942, 30
-percent were sunk in the Atlantic, but the total figure was much larger
-than, for instance, in 1943, when 65 and 70 percent were sunk; and that
-is simply because at that time in 1943 we could no longer remain outside
-a port like New York. This indicates percentages of sinkings in the
-Atlantic from convoys only.
-
-SIR DAVID MAXWELL-FYFE: You see what I am putting to you is this, that
-in 1942, when your percentage from convoys was low, when you had had
-that pressure that I have gone into with you before, there was every
-reason for you to issue an unequivocal order which would have the effect
-of getting submarine commanders to destroy the crews of the ships. In
-1943 your U-boats were not surfacing, your convoy proportions had gone
-up, and there was not any reason to make your order more explicit. That
-is what I am suggesting to you, Defendant.
-
-DÖNITZ: I consider that that is quite wrong.
-
-SIR DAVID MAXWELL-FYFE: Now I just want to...
-
-DÖNITZ: It was like this. As I already said, from the summer of 1942
-onwards we found that the danger from the air suddenly increased. This
-danger from the air was making itself felt in all waters, also in those
-waters where submarines were not fighting convoys or were not fighting
-just outside the ports.
-
-SIR DAVID MAXWELL-FYFE: Now I just want you to help me on one other
-point. Dr. Kranzbühler put to you yesterday that Kapitänleutnant Eck
-said that if he had come back he would not have expected you to have
-objected or been angry with him for shooting up the crew of the
-_Peleus_. You said you knew that Eck was carrying this order of yours in
-his locker when he did shoot up the crew of the _Peleus_?
-
-DÖNITZ: Yes, but I also know that this order did not have the slightest
-effect on his decision but that, as Eck has expressly said, his decision
-was to shoot up the wreckage; and he had quite a different aim, namely,
-to remove the wreckage because he was afraid for his boat which would
-have been smashed to pieces just like other boats in those wakes. He
-stated clearly that there was no connection whatsoever in his mind
-between the order with reference to the _Laconia_, which he had on board
-quite accidentally, and his decision.
-
-SIR DAVID MAXWELL-FYFE: Now you know there are two other cases before
-the Tribunal, the _Noreen Mary_ and the _Antonico_, which are on Pages
-47 and 52 of the Prosecution’s document book, where witnesses give
-specific evidence of the U-boat carrying out attacks on them when they
-are in one case on wreckage and in the other case in the lifeboat. Will
-you look at the _Noreen Mary_ on Page 47 of the document book? The
-testament of the survivor is on Pages 49 and 50. He deals with this
-point; he says in the fourth paragraph—Page 85 of the German book...
-
-DÖNITZ: I have the English document book.
-
-SIR DAVID MAXWELL-FYFE: It is Page 50 of the English one; I have got the
-English document:
-
- “I swam around until I came across the broken bow of our
- lifeboat, which was upside down, and managed to scramble on top
- of it. Even now the submarine did not submerge but deliberately
- steamed in my direction and when only about 60 to 70 yards away
- fired directly at me with a short burst from the machine gun. As
- their intention was quite obvious I fell into the water and
- remained there until the submarine ceased firing and submerged,
- after which I climbed back on to the bottom of the boat.”
-
-The statement by the Brazilian gentleman you will find on Page 52. Have
-you got it?
-
-DÖNITZ: Yes, I have got it.
-
-SIR DAVID MAXWELL-FYFE: Fifteen lines from the foot, he says, “...the
-enemy ruthlessly machine-gunned the defenseless sailors in Number 2
-lifeboat...”
-
-Assuming—of course one has to assume—that Mr. McAllister and Senhor de
-Oliveira Silva are speaking the truth, are you saying that these U-boat
-officers were acting on their own?
-
-DÖNITZ: It is possible that the men might have imagined these
-happenings. I want to point out, however, that in a night fight—let us
-take the case of the _Antonico_ first—which lasted 20 minutes, it could
-very easily have been imagined that these were shots, or that shots
-directed against the ship hit a lifeboat. At any rate, if someone makes
-a report on a night attack lasting 20 minutes, then it is a subjective
-report and everyone who knows how these reports vary, knows how easily a
-seaman can make a mistake. If, during such a night fight, the U-boat had
-wanted to destroy these people, then it would not have left after 20
-minutes, particularly as the person states that he could not see the
-submarine in the darkness. These are certainly all very vague
-statements.
-
-The case of the _Noreen Mary_ is quite similar. A large number of
-statements are made in this deposition which certainly are not true; for
-instance, that the submarine bore a swastika. Not a single submarine
-went to sea painted in any way. If someone is on some wreckage or in a
-lifeboat and there are shots nearby, then he very easily feels that he
-is being shot at. It was for this very reason that quite a number of
-cases of the Anglo-American side have been mentioned by us; not because
-we wanted to make an accusation, but because we wanted to show how very
-skeptical one has to be regarding these individual reports.
-
-And the only cases in 5½ years of war, during several thousand attacks,
-are the ones brought up here.
-
-SIR DAVID MAXWELL-FYFE: Yes, and of course for the 2½ of these years
-that the submarine commanders have been shooting up survivors, you are
-not likely to get many cases, are you? I just want to ask you one other
-point...
-
-DÖNITZ: Submarine commanders with the exception of the case of Eck have
-never shot up shipwrecked persons. There is not a single instance. That
-is not true.
-
-SIR DAVID MAXWELL-FYFE: That is what you say.
-
-DÖNITZ: In no case is that proved. On the contrary, they made the utmost
-efforts to rescue. No order to proceed against shipwrecked people has
-ever been given the U-boat force, with the exception of the case of Eck,
-and for that there was a definite reason. That is a fact.
-
-SIR DAVID MAXWELL-FYFE: Well, now, tell me this: Did you know that the
-log of the _Athenia_ was faked, after she came in?
-
-DÖNITZ: No, it was not faked, but there was a clear order that the case
-of the _Athenia_ should be kept secret for political reasons and, as a
-result, the log had to be changed.
-
-SIR DAVID MAXWELL-FYFE: I see. You do not like the word “faked.” Well, I
-will use the word “changed”; that a page was cut out of the log and a
-false page had been put in. Did you know about that?
-
-DÖNITZ: I cannot tell you that today. It is possible. Probably Captain
-Lemp received the order either from me or my staff: “The case is to be
-kept secret.” And following that, he or the flotilla took the log, which
-went to ten different departments of the Navy, and altered it. What else
-could he do? He could not do otherwise.
-
-SIR DAVID MAXWELL-FYFE: I want to know, was it your order and with your
-knowledge that that log was altered from, I suppose, the truth into the
-falsity in which it exists today? That is a simple question. Can you
-answer it?
-
-DÖNITZ: Yes. Either it was done by my order or, if it had not been done,
-then I would have ordered it, because the political instructions existed
-that “it must be kept secret.” The fighting men had no other choice,
-therefore, but to alter the log. The U-boat commanders never received
-the order to make a false entry, but in the particular case of the
-_Athenia_, where it was ordered afterwards that it must be kept secret,
-it was not noted in the log.
-
-SIR DAVID MAXWELL-FYFE: Well, now I have only one other point to deal
-with you, and I can deal with it quite shortly. You were a firm adherent
-of ideological education for service personnel, were you not?
-
-DÖNITZ: Yes, I have explained my reasons.
-
-SIR DAVID MAXWELL-FYFE: Well, I just want to get this, and then you can
-explain your reasons afterwards. You thought it nonsense that a soldier
-should have no politics, did you not? If you want to...
-
-DÖNITZ: Of course. The soldier had nothing to do with politics; but, on
-the other hand, he naturally had to stand by his country during the war.
-
-SIR DAVID MAXWELL-FYFE: And you wanted your commanders to indoctrinate
-the Navy with Nazi ideology, did you not?
-
-DÖNITZ: I wanted the troops’ commanders to tell them that the unity of
-the German people as it existed then was a source of strength for our
-conduct of the war and that consequently, since we enjoyed the
-advantages of this unity, we also should see to it that the unity should
-continue, because during the World War we had had very bad experiences
-precisely because of that. Any lack of unity among the people would have
-necessarily affected the conduct of the war.
-
-SIR DAVID MAXWELL-FYFE: Look at Page 7 in the English document book
-(Document Number D-640, Exhibit Number GB-186). I think it puts it
-almost exactly as in my question. The last sentence:
-
- “From the very start the whole of the officers’ corps must be so
- indoctrinated that it feels itself coresponsible for the
- National Socialist State in its entirety. The officer is the
- exponent of the State. The idle chatter that the officer is
- nonpolitical is sheer nonsense.”
-
-That is your view, is it not?
-
-DÖNITZ: I said that. But you have also got to read from the beginning,
-where it says that our discipline and our fighting strength is miles
-above that of 1918 and the reason is because the people as a whole are
-behind us, and if that had not been the case then our troops would have
-become disintegrated long ago; that is the reason why I said that.
-
-SIR DAVID MAXWELL-FYFE: Tell me, how many men were you attempting to
-apply this to, or how many men had you got in the Navy on the 15th of
-February 1944? I want to see what body you were trying to affect. How
-many? A quarter of a million?
-
-DÖNITZ: 600,000 or 700,000.
-
-SIR DAVID MAXWELL-FYFE: Now, I would just like you to turn to the next
-page, Page 8 in the British document book, which gives your speech on
-Heroes’ Day, 12 March 1944. You say this:
-
- “What would have become of our country today if the Führer had
- not united us under National Socialism? Split parties, beset
- with the spreading poison of Jewry, and vulnerable to it because
- we lacked the defense of our present uncompromising ideology, we
- would long since have succumbed under the burden of this war and
- delivered ourselves up to the enemy who would have mercilessly
- destroyed us.” (Document Number 2878-PS)
-
-What did you mean by the “spreading poison of Jewry”?
-
-DÖNITZ: I meant that we were living in a state of unity and that this
-unity represented strength and that all elements and all forces...
-
-SIR DAVID MAXWELL-FYFE: No, that is not what I asked. I am asking you,
-what did you mean by the “spreading poison of Jewry”? It is your phrase,
-and you tell us what you meant by it.
-
-DÖNITZ: I could imagine that it would be very difficult for the
-population in the towns to hold out under the stress of heavy bombing
-attacks if such an influence was allowed to work, that is what I meant.
-
-SIR DAVID MAXWELL-FYFE: Well, now, can you tell me again; what do you
-mean by the “spreading poison of Jewry?”
-
-DÖNITZ: It means that it might have had a disintegrating effect on the
-people’s power of endurance, and in this life-and-death struggle of our
-country I, as a soldier, was especially anxious about this.
-
-SIR DAVID MAXWELL-FYFE: Well, now, that is what I want to know. You were
-the Supreme Commander and indoctrinated 600,000 or 700,000 men. Why were
-you conveying to them that Jews were a spreading poison in party
-politics? Why was that? What was it that you objected to in Jews that
-made you think that they had a bad effect on Germany?
-
-DÖNITZ: That statement was made during my memorial speech on Heroes’
-Day. It shows that I was of the opinion that the endurance, the power to
-endure, of the people, as it was composed, could be better preserved
-than if there were Jewish elements in the nation.
-
-SIR DAVID MAXWELL-FYFE: This sort of talk, “spreading poison of Jewry,”
-produced the attitude in the mind which caused the death of five or six
-million Jews in these last few years. Do you say that you knew nothing
-about the action and the intention to do away with and exterminate the
-Jews?
-
-DÖNITZ: Yes, of course I say that. I did not know anything at all about
-it and if such a statement was made, then that does not furnish evidence
-that I had any idea of any murders of Jews. That was in the year 1943.
-
-SIR DAVID MAXWELL-FYFE: Well, what I am putting to you is that you are
-joining in the hunt against this unfortunate section of your community
-and leading six or seven hundred thousand of the Navy on the same hunt.
-
-Now, just look at Page 76 of the document book in this last reference to
-you...
-
-DÖNITZ: Nobody among my men thought of using violence against Jews, not
-one of them, and nobody can draw that conclusion from that sentence.
-
-SIR DAVID MAXWELL-FYFE: Well, now, just look at Page 76. This is where
-you are dealing with the promotion of under officers and men who have
-shown themselves to be personalities in warfare. You first of all say:
-
- “I want the leaders of units responsible for ratings and the
- flotilla commanders and other commanders superior to them to
- interest themselves more in the promotion of those petty
- officers and men who have shown in special situations in the war
- that, thanks to their inner attitude and firmness, their
- energetic and inner drive, in short, owing to their personal
- qualities, they are capable of taking the right decisions
- independently and of carrying them out without wavering in their
- aim and with willing acceptance of responsibility.
-
- “One example: On the auxiliary cruiser _Cormoran_, which was
- used as a place of detention in Australia, a warrant officer,
- acting as senior camp officer, had all communists who made
- themselves noticeable among the inmates of the camps
- systematically and unobtrusively done away with. This petty
- officer is sure of my full recognition for his decision and its
- execution; and after his return I shall do everything I can to
- promote him, as he has, shown he is fitted to be a leader.”
-
-Was that your idea of leadership in this National Socialist
-indoctrinated Navy; that he should murder political opponents in a way
-that would not be found out by the guards?
-
-DÖNITZ: No, it was not so. It has been reported to me that there was an
-informer there who, when new crews were brought in, was smuggled into
-the camp and, after listening around, passed information on to the
-enemy. The result was that on the strength of that information U-boats
-were lost. And it was then that the senior man in the camp, a petty
-officer, decided to remove that man as a traitor. That is what was
-reported to me and what I shall prove by a witness. In my opinion, and
-every nation will recognize that, the man acted like anyone else who
-finds himself in an extremely difficult situation and he had to...
-
-SIR DAVID MAXWELL-FYFE: Why did you not say that, Defendant? If you had
-stated that this man had killed a spy, who by the spreading of
-information was dangerous, I would not have put this to you. But what
-you say is that it was communists who made themselves noticeable, and
-this man had killed them without knowledge of the guard. Why do you put
-communists in your order if you mean a spy?
-
-DÖNITZ: I think this is an order from a Baltic station. I had been told
-that it concerned a spy, and it is something that a witness will prove.
-If there were reasons—perhaps intelligence reasons—for not divulging
-that...
-
-SIR DAVID MAXWELL-FYFE: Are you putting the responsibility for this
-order on one of your junior officers? Are you saying it was one of your
-junior officers who put the order out like this? It was not what you
-meant at all? Is that what you are saying?
-
-DÖNITZ: I have merely said how the order came about; up to now, I have
-not once shirked the responsibility.
-
-SIR DAVID MAXWELL-FYFE: All right.
-
-THE PRESIDENT: The Tribunal will adjourn.
-
- [_A recess was taken._]
-
-THE PRESIDENT: Is there any further cross-examination?
-
-COLONEL POKROVSKY: My Lord, the Soviet Prosecution has several questions
-to ask the Defendant Dönitz.
-
-[_Turning to the defendant._] Defendant Dönitz, your address to the
-German people and your order to the Armed Forces in connection with
-Hitler’s death were drafted by you on 30 April 1945, is that not so?
-
-DÖNITZ: Yes.
-
-COL. POKROVSKY: In these documents you informed the people that Hitler’s
-successor, appointed by Hitler himself, was you. That is correct, is it
-not?
-
-DÖNITZ: Yes.
-
-COL. POKROVSKY: Did you ask yourself then for what particular reason
-Hitler selected you?
-
-DÖNITZ: Yes, I put that question to myself when I received that
-telegram, and came to the conclusion that after the Reich Marshal had
-been removed, I was the senior officer of an independent branch of the
-Armed Forces, and that that was the reason.
-
-COL. POKROVSKY: In your address to the Army and to the people, you
-demanded the continuation of military operations, and all those who were
-opposed to resistance were called traitors and cowards, is that not so?
-
-DÖNITZ: Yes.
-
-COL. POKROVSKY: A few days afterwards, you gave an order to Keitel to
-capitulate unconditionally, is that not right?
-
-DÖNITZ: Yes. I said quite clearly in the first order that I would fight
-in the East until troops and refugees could be rescued from the East and
-brought to the West and that I would not fight one moment longer. That
-was my intention, and that is also clearly expressed in that order.
-
-COL. POKROVSKY: By the way, there was not a word about it in this order,
-but that is not so important. Do you agree that on 30 April...
-
-DÖNITZ: I...
-
-COL. POKROVSKY: First listen to my question and then answer. Do you
-agree with the fact that on 30 April also, right on the day when you
-published the two documents that we are talking about now, it was
-absolutely clear that further resistance of Hitlerite Germany was
-absolutely aimless and useless?
-
-Do you understand my question? Do you agree with that?
-
-DÖNITZ: Yes, I understood the question. May I say the following: I had
-to continue fighting in the East in order to rescue the refugees who
-were moving to the West. That is certainly very clearly stated. I said
-that we would continue to fight in the East only until the hundreds and
-thousands of families from the German eastern area could be safely
-transferred to the West.
-
-COL. POKROVSKY: Still you did not answer my question, Dönitz, did you,
-even though it was very clearly put. I repeat it once again so that you
-can manage to understand it. Do you agree with the fact that already on
-30 April it was fully clear that further resistance of Hitlerite Germany
-was absolutely aimless and useless? Answer me “yes” or “no.”
-
-DÖNITZ: No, that was not clear. From the military point of view the war
-was absolutely lost, and there was then only the problem of saving as
-many human beings as possible, and therefore we had to continue
-resistance in the East. Therefore that resistance in the East had a
-purpose.
-
-COL. POKROVSKY: Very well, I understand you, but will you deny that your
-order, which called for a continuation of the war, led to further
-bloodshed?
-
-DÖNITZ: That is extremely small, compared to the one or two millions
-which otherwise would have been lost.
-
-COL. POKROVSKY: One moment, please; will you wait. Do not try and make
-any comparisons. First answer and then explain. That is the order that
-we have to follow here all the time. First “yes” or “no,” and then an
-explanation, please.
-
-DÖNITZ: Of course, in the fighting in the East during those few days
-there might be further losses, but they were necessary in order to save
-hundreds of thousands of refugees.
-
-COL. POKROVSKY: You did not answer my question. I shall repeat it for
-the third time.
-
-THE PRESIDENT: He did answer; he said “yes,” that bloodshed would be
-caused. That is an answer to your question.
-
-COL. POKROVSKY: Thank you.
-
-[_Turning to the defendant._] I would like you to explain exactly the
-question of whether you look upon yourself, first and foremost, as a
-politician, or do you look upon yourself as a soldier who obeyed direct
-orders of his own superiors without any analysis of the political
-meaning and content of such orders?
-
-DÖNITZ: I do not understand that question completely. As head of State,
-from 1 May on, I was a political man.
-
-COL. POKROVSKY: And before that time?
-
-DÖNITZ: Purely a soldier.
-
-COL. POKROVSKY: On 8 May 1946, at 1635 hours, in this room you
-mentioned, “As a soldier I did not have in mind such political
-considerations as might have been in existence.” On 10 May, at 1235
-hours, here, you said, when the question of submarine warfare was taken
-up, “All this concerns political aims; but I, as a soldier, was
-concerned with military problems.” Is that not so?
-
-DÖNITZ: Yes, it is quite correct. I said that before 1 May 1945 I was
-purely a soldier. As soon as I became the head of State I relinquished
-the High Command of the Navy because I became the head of State and
-therefore a political personality.
-
-COL. POKROVSKY: Sir David Maxwell-Fyfe, about 15 minutes ago, addressed
-you also and referred to two documents, and in particular to Document
-GB-186, D-640; and he cited one sentence from this, one sentence which
-grossly contradicts what you said just now. You remember this sentence
-“idle chatter”?
-
-DÖNITZ: Yes, I know exactly what you mean.
-
-COL. POKROVSKY: I want to ask you: How can you reconcile these two
-extremely contradictory statements, the statement about “idle chatter,”
-about the fact that the officer is not a politician. This statement took
-place on 15 February 1944, at the time when you were not the supreme
-head of the State. Is that not so?
-
-DÖNITZ: If a soldier during the war stands firmly behind his nation and
-his government, that does not make him a politician; that is said in
-that sentence and that was meant by that sentence.
-
-COL. POKROVSKY: All right. We will be more exact about whether this is
-really the fact. Several times, in a very definite manner, you testified
-here before the Tribunal that for many years before the war and during
-the war you were indoctrinating the Navy in the spirit of pure idealism
-and firm respect for the customs and laws of war. Is that so?
-
-DÖNITZ: Right; yes.
-
-COL. POKROVSKY: In particular, on 9 May, yesterday, at 1254 hours, you
-said, “I educated the submarine fleet in the pure idealism and I
-continued such education during the war. It was necessary for me in
-order to achieve high fighting morale.” Five minutes later on the same
-day, you said, when speaking about the Navy, “I never would have
-tolerated that orders were given to these people which would be
-contradictory to such morale, and it is out of the question that I
-myself could have given such an order.” You acknowledge that those were
-your words, or approximately your words, allowing for the possible
-inexactness of translation; is that not so?
-
-DÖNITZ: Of course, that is what I said.
-
-COL. POKROVSKY: I would like you to take a look at the document which is
-in your possession now, the document presented by your defense counsel
-as Dönitz-91. In this document your defense counsel presents an excerpt
-from the testimony, the affidavit made by Dr. Joachim Rudolphi. In order
-not to waste the Tribunal’s time, I would like you to tell us briefly in
-one word, “yes” or “no,” whether Rudolphi is correct in his testimony;
-that you always strongly opposed the introduction into the German Armed
-Forces of the Hitlerite so-called “People’s Courts.” Did you understand
-me?
-
-DÖNITZ: I was against handing over legal cases from the Navy to other
-courts. I said that, if one bears the responsibility for a branch of the
-Armed Forces, one also must have court-martial jurisdiction. That is
-what it says.
-
-COL. POKROVSKY: And you are familiar with Rudolphi’s affidavit?
-
-DÖNITZ: Yes, I know it.
-
-COL. POKROVSKY: You remember that on the first page of that excerpt
-presented to the Tribunal it says:
-
- “Early in the summer of 1943, the first threatening attempt to
- undermine the nonpolitical jurisdiction of the Armed Forces was
- made.”
-
-Is Rudolphi correct in explaining this question and is it true that you
-were against this attempt to introduce special political courts into the
-Navy and Armed Forces? Is that correct?
-
-DÖNITZ: According to my recollection, my resistance began in the summer
-1943. It may be that already in the spring the jurisdiction of the
-Wehrmacht was threatened. That may be, but I did not learn of it.
-
-COL. POKROVSKY: Do you acknowledge, Dönitz, or not, that these so-called
-“People’s Courts” were to deal, as Rudolphi puts it, with anything that
-smacked, even remotely, of politics? That is his sentence which you can
-find on the first page of Document D-91.
-
-DÖNITZ: As I have already stated, my point of view was the following: I
-wanted to keep my soldiers under my own jurisdiction. I could not judge
-proceedings outside the Navy, because I did not know the legal
-procedure. My point was that my soldiers should remain with me and be
-sentenced by me.
-
-COL. POKROVSKY: For all kinds of crimes, including political crimes, is
-that not so? Did I understand you correctly?
-
-DÖNITZ: Yes, I meant that; I have stated that I was of the opinion that
-they should remain under Navy jurisdiction.
-
-COL. POKROVSKY: Will you deny, Dönitz, that you were always preaching
-and always encouraging in every way the murder of defenseless people
-from among the members of the German Armed Forces for purely political
-reasons and that you always looked upon such murders as acts of military
-valor and heroism?
-
-DÖNITZ: I do not understand you. I do not know what you mean.
-
-COL. POKROVSKY: You did not understand my question?
-
-DÖNITZ: No, I have not understood the meaning of your question at all.
-
-COL. POKROVSKY: I can repeat it. Perhaps it will be clearer to you. I am
-asking you: Will you deny the fact that you preached in favor of the
-murder of members of the German Armed Forces, by other members of the
-German Armed Forces and purely for political reasons? Now, is the
-question clear to you?
-
-DÖNITZ: How do you come to ask this question?
-
-THE PRESIDENT: The Tribunal does not find your question quite clear.
-
-COL. POKROVSKY: What I have in mind, My Lord, is the Order Number 19 for
-the Baltic Fleet, which in part was dealt with by Sir David
-Maxwell-Fyfe. There is one point of this order which elucidates, with
-absolute precision, the motives for publishing and promulgating this
-order. One idea is expressed there in a very clear manner—and with your
-permission I shall read one paragraph from this document. “One
-example”—it says in Order Number 19, last paragraph but one—“On the
-auxiliary cruiser _Cormoran_, which was used as a place of detention in
-Australia a warrant officer...”
-
-THE PRESIDENT: Which paragraph?
-
-COL. POKROVSKY: The last paragraph but one of Document D-650, Page 4 of
-the English text. I beg your pardon, Page 4 of the German text, and the
-last paragraph on the third page of the English copy.
-
-THE PRESIDENT: It was read already in cross-examination.
-
-COL. POKROVSKY: This particular part was not read in the
-cross-examination, and it is really very important for the case.
-
-THE PRESIDENT: We have just heard this very question, this very example,
-read by Sir David Maxwell-Fyfe, not half an hour ago.
-
-COL. POKROVSKY: But Sir David, in reading this example, did not read one
-particular sentence which is of great importance to me and which
-clarifies Dönitz’ position; and that is the reason why I permitted
-myself to come back to this particular passage. It is only one sentence
-which interests me.
-
-THE PRESIDENT: What sentence are you referring to?
-
-COL. POKROVSKY: The first sentence in the second paragraph from the end.
-It is the paragraph which begins, “One example: In a prisoner-of-war
-camp...”
-
-THE PRESIDENT: You are entirely wrong. He read the whole of the
-paragraph. Sir David Maxwell-Fyfe read the whole of the paragraph.
-
-COL. POKROVSKY: When, with your permission, I shall read these few
-words, then you will convince yourself, Sir, that these particular words
-were not read.
-
-THE PRESIDENT: Colonel Pokrovsky, I have a note in my notebook made at
-the time, which shows that the whole of this was read; that the
-defendant was cross-examined about the meaning of the word “communist”;
-and that he explained it by saying that he was referring to a spy among
-the crew who might give away submarine secrets. The whole matter was
-gone into fully by Sir David Maxwell-Fyfe, and the Tribunal does not
-wish to hear any more about it.
-
-COL. POKROVSKY: It is absolutely necessary for me to read two
-expressions from this sentence which were not read into the record here,
-and I ask your permission to read these two words.
-
-THE PRESIDENT: Which two words do you say were not read? State the two
-words.
-
-COL. POKROVSKY: “Systematically” and “unobtrusively,” that is, according
-to plan. They are not talking about one particular instance, but they
-are talking about the whole definite plan, about the system.
-
-THE PRESIDENT: Yes, but that was all read, Colonel Pokrovsky. You must
-have missed it.
-
-COL. POKROVSKY: I am not saying that Sir David has omitted that.
-
-THE PRESIDENT: That was read by Sir David Maxwell-Fyfe and put to the
-witness, to the defendant.
-
-COL. POKROVSKY: Perhaps Sir David may have accidentally omitted this,
-but it is really very important for me, because Dönitz testified here to
-the killing of only one spy; but what is really meant here is that there
-was a plan to exterminate all communists, or rather men who were
-supposed to be communists, according to the idea of some petty officer.
-
-THE PRESIDENT: It is exactly what Sir David Maxwell-Fyfe put to the
-witness. He said, “How can you say that this refers to a case of spies
-or one spy, when it is referring to all communists”? It is exactly the
-question he put to him.
-
-COL. POKROVSKY: Perhaps I did not understand quite correctly what our
-interpreter translated, but in our translation this was not mentioned.
-
-Then with your permission I will go to the next question.
-
-[_Turning to the defendant._] Will you deny, Dönitz, that in this order,
-as the one example of high military valor—that military valor which
-serves as the basis or the reason for extraordinary promotion of
-noncommissioned officers and officers—you used, as one example, the
-treacherous and systematic murder of people for political reasons? Do
-you deny that this order was correctly understood?
-
-DÖNITZ: No, that is quite wrong. This order refers to one incident in a
-prisoner-of-war camp, and it should be considered in what serious
-dilemma the senior member of the camp found himself and that he acted in
-a responsible and correct manner by removing in the interests of our
-warfare as a traitor that communist who was at the same time a spy. It
-would have been easier for him if he had just let things take their
-course, which would have harmed the U-boats and caused losses. He knew
-that after his return home he would have to account for it. That is the
-reason why I gave this order.
-
-COL. POKROVSKY: Perhaps you will agree that the incidents, as you
-explain them now, are absolutely different from what is written in your
-order.
-
-THE PRESIDENT: I have already told you that the Tribunal does not wish
-to hear further cross-examination upon this subject. You are now
-continuing to do that, and I must draw your attention again clearly to
-the ruling of the Tribunal that the Tribunal will not hear further
-cross-examination upon this subject.
-
-COL. POKROVSKY: In the light of this document, I ask you how do you
-explain your statements about your alleged objections in principle to
-special political courts being introduced into the Navy, that is, the
-considerations in principle which were testified to by Dr. Rudolphi? How
-do you explain this contradiction?
-
-DÖNITZ: I did not understand what you said.
-
-COL. POKROVSKY: You say here that the document does not deal with
-political acts, whereas the order is formulated very precisely and Dr.
-Rudolphi testified to the fact that you were against introducing
-political courts into the Army and the Navy. Obviously there is a
-contradiction in terms here, and I would like to have this contradiction
-explained.
-
-DÖNITZ: I do not see any contradiction, because Dr. Rudolphi says that I
-was against handing over legal cases to courts outside of the Navy and
-because the case of the _Cormoran_ deals with an action by the senior
-camp member, far away in a prisoner-of-war camp in a foreign land. He
-decided on this action only after grave deliberation, knowing that at
-home he would have to answer for it before a military court. He did this
-because he considered it necessary, in the interests of the conduct of
-the war, to stop the loss of submarines by treason. Those are two
-entirely different things. Here we deal with an individual case in the
-_Cormoran_ camp.
-
-COL. POKROVSKY: What you are testifying to now is a repetition of what
-you said before; and, as you heard, the Tribunal does not want to listen
-to it any more. This is really not an answer to my question.
-
-DÖNITZ: Yes. In answering your question I cannot say anything but the
-truth, and this is what I have done.
-
-COL. POKROVSKY: Of course our ideas of truth may be altogether
-different. I, for instance, look upon this question in an altogether
-different manner. This fact...
-
-DÖNITZ: Will you excuse me. I am under oath here, and you do not want to
-accuse me of telling an untruth, do you?
-
-COL. POKROVSKY: We are not talking about false testimony, but we are
-talking about a different approach to the idea of truth. I, for
-instance, consider that by this order you revealed yourself as a real...
-
-DÖNITZ: No, I cannot agree with that.
-
-THE PRESIDENT: Will you kindly put the question if you want to put a
-question?
-
-COL. POKROVSKY: I want to ask him one question, My Lord, and I must
-explain to him why I am asking this question.
-
-[_Turning to the defendant._] I consider this order a revelation of your
-loyalty, your fanatical loyalty, to fascism; and in this connection I
-want to ask you whether you consider that it was because of the fact
-that you showed yourself to be a fanatical follower of fascism and
-fascist ideas that Hitler chose you to be his successor—because you
-were known to Hitler as a fanatical follower who was capable of inciting
-the Army to any crime in the spirit of the Hitlerite conspirators and
-that you would still call these crimes pure idealism. Do you understand
-my question?
-
-DÖNITZ: Well, I can only answer to that that I do not know. I have
-already explained to you that the legitimate successor would have been
-the Reich Marshal; but through a regrettable misunderstanding a few days
-before his appointment, he was no longer in the game, and I was the next
-senior officer in command of an independent branch of the Wehrmacht. I
-believe that was the determining factor. That fact that the Führer had
-confidence in me may also have had something to do with it.
-
-COL. POKROVSKY: The Soviet Prosecution, My Lord, has no more questions
-to ask of this defendant.
-
-THE PRESIDENT: Dr. Kranzbühler, do you want to re-examine?
-
-FLOTTENRICHTER KRANZBÜHLER: I should like to put a few more questions,
-Mr. President.
-
-[_Turning to the defendant._] Admiral, during the cross-examination by
-Sir David you were asked about your knowledge of conditions in
-concentration camps; and you wanted to make an additional statement,
-which you could not do at the time. What personal connections did you
-have with any inmates of concentration camps, or did you have any
-connections at all?
-
-DÖNITZ: I had no connections with anybody who had been sent to a
-concentration camp; with the exception of Pastor Niemöller. Pastor
-Niemöller was a former comrade of mine from the Navy. When my last son
-was killed, he expressed his sympathy; and on that occasion I asked him
-how he was.
-
-FLOTTENRICHTER KRANZBÜHLER: When was that?
-
-DÖNITZ: That was in the summer of 1944, and I received the answer that
-he was all right.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you write him directly, or how did it
-happen?
-
-DÖNITZ: No. I received this information through a third person.
-
-FLOTTENRICHTER KRANZBÜHLER: Was that the only message you received from
-a concentration camp?
-
-DÖNITZ: The only one I received.
-
-FLOTTENRICHTER KRANZBÜHLER: In the cross-examination a report by Captain
-Assmann was presented about a conference with the Führer in May 1943.
-You remember its contents. You are alleged to have said that in view of
-the present naval war situation, it was desirable that Germany should
-get possession of Spain and Gibraltar. Did you make a positive
-suggestion in that direction? One cannot see that from the document.
-
-DÖNITZ: Of course, when I discussed the situation, I mentioned the
-danger of the narrow strip along the Bay of Biscay; and I said that it
-would be more favorable to us if we could start our U-boats from a wider
-area. At that time nobody even contemplated a move against Spain, either
-with the consent of Spain or in the form of an attack. It was quite
-obvious that our forces were in no way sufficient for that. On the other
-hand, it is quite understandable that, in showing my concern about that
-narrow strip, I should say that it would have been better if the area
-had been larger. That is what I meant by that statement. I was referring
-to U-boat warfare and not to any move against Spain on land. It
-certainly would have been impossible for me as a naval officer to make a
-suggestion to attack Spain.
-
-FLOTTENRICHTER KRANZBÜHLER: In connection with the sinking of the
-_Athenia_ it has been hinted that your statement was considered an
-excuse; that is, that the commanding officer of the submarine confused
-the _Athenia_ with an auxiliary cruiser. Therefore, I should like to put
-to you an excerpt from the war diary of the officer commanding in that
-action and I want you to confirm that it is really by the same
-commanding officer. I shall read from the document of the Prosecution,
-Exhibit GB-222, on Page 142 of my document book, Volume III. It is the
-war diary of the submarine U-30. The excerpt is dated 11 September 1939,
-Page 142 in document book, Volume III.
-
- “Sighted a blacked-out vessel. Got on its trail. In zigzag
- course recognized as merchant ship. Requested to stop by morse
- lantern. Steamer signals ‘not understood,’ tries to escape in
- the thick squall and sends out SOS ‘chased by submarine’ and
- position by radiotelegraphy.
-
- “Gave ‘stop’ signal by radio and morse lantern.
-
- “Ran ahead. First 5 shots with machine gun C/30 across the bow.
- Steamer does not react. Turns partly, about 90°, directly toward
- the boat. Sends ‘still chased.’ Therefore, fire opened from aft
- bearing with 8.8 cm. English steamer _Blairlogie_, 4,425 tons.
-
- “After 18 shots and three hits, steamer stops. Crew boards
- boats. Last message by radio, ‘Shelled, taking to boats.’ Fire
- immediately ceased when emergency light was shown and steamer
- stopped.
-
- “Went over to lifeboats, gave orders to pull away toward south.
- Steamer sunk by torpedo. Afterwards both boat crews supplied
- with Steinhäger and cigarettes. 32 men in two boats. Fired red
- stars until dawn. Since American steamer, _American Skipper_,
- was nearby, we departed. Crew was rescued.”
-
-Can you confirm, Admiral, that this was an entry by the same commanding
-officer who nine days before had torpedoed the _Athenia_?
-
-DÖNITZ: Yes, that is the same commander of the same operation who
-shortly before had committed this error.
-
-FLOTTENRICHTER KRANZBÜHLER: In the cross-examination it was once more
-maintained, and very definitely, that you had sent an order to destroy
-to the commanders. I should like to put to you a letter which is signed
-by various U-boat commanders. You know the letter and know the
-signatures, and I should like to ask you to tell me whether the U-boat
-commanders who signed were taken prisoner before September 1942, that
-is, before your alleged orders to destroy, or whether they were captured
-afterwards.
-
-I am reading from the document book, Volume II, Page 99, Dönitz-53,
-which I submit to the Tribunal. It is addressed to the camp commander of
-the prisoner-of-war camp, Camp 18, in the Featherstone Park camp in
-England. I received it through the British War Ministry and the General
-Secretary of the Court. I read under the date of 18 January 1946, and
-the text is as follows:
-
- “The undersigned commanders, who are now here in this camp and
- whose U-boats were active on the front, wish to make the
- following statement before you, Sir, and to express the request
- that this statement should be forwarded to the International
- Military Tribunal in Nürnberg.
-
- “From the press and radio we learn that Grossadmiral Dönitz is
- charged with having issued the order to destroy survivors from
- the crews of torpedoed ships and not to take any prisoners. The
- undersigned state under oath that neither in writing nor orally
- was such an order ever given by Grossadmiral Dönitz. There was
- an order that for reasons of security of the boat, because of
- increased danger through defense measures of all kinds, we were
- not to surface after torpedoing. The reason for that was that
- experience had shown that if the boat surfaced for a rescue
- action, as was done in the first years of the war, we had to
- expect our own destruction. This order could not be
- misunderstood. It has never been regarded as an order to
- annihilate shipwrecked crews.
-
- “The undersigned declare that the German Navy has always been
- trained by its leaders to respect the written and unwritten laws
- and rules of the sea. We have always regarded it as our honor to
- obey these laws and to fight chivalrously while at sea.”
-
-Then come the signatures of 67 German submarine commanders who are at
-present prisoners of war in British hands.
-
-I ask you, Admiral—you know these signatures—were these commanders
-captured before September 1942 or after September 1942?
-
-DÖNITZ: Most of them beyond doubt were made prisoner after September
-1942. In order to examine that exactly from both sides, I should like to
-see the list again. But most of them beyond doubt were captured after
-September 1942.
-
-FLOTTENRICHTER KRANZBÜHLER: That is enough. I have no further questions.
-
-DR. LATERNSER: Mr. President, I should like to clarify only one point
-which came up during the cross-examination.
-
-Admiral, during the cross-examination you have stated that you were
-present at the situation conferences on 19 and 20 February 1945, and you
-said...
-
-DÖNITZ: No, that this date...
-
-DR. LATERNSER: I made a note of it and you will recognize the conference
-at once. During the situation conference of 19 February, Hitler is
-alleged to have made the suggestion to leave the Geneva Convention. I
-ask you now to tell me: Which high military leaders were present during
-that situation conference?
-
-DÖNITZ: I believe there is a mistake here. I did not hear this question
-or suggestion of the Führer from his own lips, but I was told about it
-by a naval officer who regularly took part in these situation
-conferences. Therefore I do not know for certain whether the date is
-correct, and I also do not know who was present when the Führer first
-made that statement. In any case, I remember the matter was again
-discussed the next day or two days later; and then I believe the Reich
-Marshal, and of course Jodl and Field Marshal Keitel, were present. At
-any rate, the whole of the Wehrmacht were unanimously against it; and to
-my recollection, the Führer, because he saw our objection, did not come
-back to this question again.
-
-DR. LATERNSER: Thank you. I have no further questions.
-
-THE PRESIDENT: The defendant can return to the dock.
-
-[_The defendant left the stand._]
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, after the experience of the
-cross-examination of today, I consider it proper to submit my documents
-to the Tribunal now, if it pleases the Tribunal, before I call further
-witnesses. I believe that I can thereby shorten the questioning of the
-witness and that it will be more easily understood.
-
-THE PRESIDENT: Very well, Dr. Kranzbühler.
-
-FLOTTENRICHTER KRANZBÜHLER: May I first remind the Tribunal that the
-Prosecution Exhibits GB-224 and GB-191 contain the same general
-accusations against U-boat warfare as are referred to in many of my
-following documents. The documents dealing with these general
-accusations are in Document Books 3 and 4.
-
-First, I submit Document Dönitz-54 which contains the German declaration
-of adherence to the London Submarine Protocol. I do not need to read it
-because it has already been mentioned repeatedly.
-
-Then, I ask the Tribunal to take judicial notice of the German Prize
-Ordinance, an excerpt of which can be found on Page 137. I should like
-to point out that Article 74 agrees word for word with the regulations
-of the London Protocol.
-
-May I point out at the same time that, as shown on Page 138, this Prize
-Ordinance was not signed by the Commander-in-Chief of the Navy. That is
-a contribution to the question as to whether the Commander-in-Chief of
-the Navy was a member of the Reich Government. He had no authority to
-sign this ordinance.
-
-The next document which I submit is Dönitz-55. That is the order of 3
-September 1939, with which the U-boats entered the war. I do not know
-whether these documents are so well known to the Tribunal that I need
-merely sum them up or whether it is better to read parts of them.
-
-THE PRESIDENT: I think you might mention them together, really,
-specifying shortly what they relate to.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes. The order of 3 September directs the
-boats to pay strict attention to all the rules of naval warfare. It
-orders the war to be conducted according to the Prize Ordinance.
-Furthermore, it provides for a preparatory order for the intensification
-of economic warfare, because of the arming of enemy merchant ships. This
-order is on Page 140. Since I shall refer to that later when examining a
-witness, I need not read it now.
-
-I should like to read to the Tribunal from an English document, to show
-that the boats were really acting according to these orders. It is
-Exhibit Number GB-191. It is in the original on Page 5, Mr. President.
-That sentence is not in the English excerpt, and that is why I will read
-it in English from the original:
-
- “Thus the Germans started with the Ordinance which was, at any
- rate, a clear, reasonable, and not inhuman document.
-
- “German submarine commanders, with some exceptions, behaved in
- accordance with its provisions during the first months of the
- war. Indeed, in one case, a submarine had ordered the crew of a
- trawler to take to their boat as the ship was to be sunk. But
- when the commander saw the state of the boat, he said: ‘Thirteen
- men in that boat! You English are no good, sending a ship to sea
- with a boat like that.’ And the skipper was told to re-embark
- his crew on the trawler and make for home at full speed, with a
- bottle of German gin and the submarine commander’s compliments.”
-
-That is an English opinion taken out of a document of the Prosecution.
-
-My next document is Dönitz-56, an excerpt from the War Diary of the
-Naval Operations Staff of 9 September 1939, on Page 141.
-
- “English information office disseminates the news through
- Reuters that Germany has opened total U-boat warfare.”
-
-Then, as Dönitz-57, on Page 143, I should like to submit to the Tribunal
-an account of the experiences which the Naval Operations Staff had in
-U-boat warfare up to that date. It is an entry of 21 September 1939 in
-the War Diary of the Naval Operations Staff. I read under Figure 2:
-
- “The commanders of U-boats which have returned report the
- following valuable experiences:
-
- “...(b) English, partly also neutral steamers, sharp zigzags,
- partly blacked-out. English steamers, when stopped, immediately
- radio SOS with exact position. Thereupon English planes come in
- to fight U-boats.
-
- “(c) English steamers have repeatedly tried to escape. Some
- steamers are armed, one steamer returned fire.
-
- “(d) Up to now no cases of abuse by neutral steamers.”
-
-The document on Page 144 of the document book is already in evidence. It
-is an excerpt from Exhibit GB-222, war diary of the U-boat U-30, of 14
-September. I will only read a few sentences from the beginning:
-
- “Smoke clouds. Steamer on sharp zigzag course. Easterly course.
- Ran towards her. When recognized, turns to counter-course and
- signals SOS.
-
- “English steamer _Fanad Head_, 5200 tons, bound for Belfast.
-
- “Pursued at full speed. Since steamer does not react to order to
- stop, one shot fired across her bows from a distance of 2,000
- meters. Steamer stops. Crew takes to the boats. Boats pulled out
- of the danger zone.”
-
-I summarize the following: It shows how the U-boat, as a result of the
-wireless message from the steamer, was attacked by airplanes, what
-difficulties it had in getting the prize crew on board again, and how,
-in spite of the bombing attacks of the planes, it did not sink the
-steamer until two English officers who were still on deck had jumped
-overboard and had been rescued by the U-boat. The depth charge pursuit
-lasted for ten hours.
-
-The next document, Dönitz-58, shows that merchant ships acted
-aggressively against U-boats; and that also is an excerpt from the War
-Diary of the Naval Operations Staff. I read the entry of 24 September:
-
- “Commander, Submarine Fleet, reports that on 6 September the
- English steamer _Manaar_, on being told to stop by _U-38_ after
- a warning shot, tried to escape. Steamer sent wireless message
- and opened fire from rear gun. Abandoned ship only after four or
- five hits, then sank it.”
-
-Then, another message of 22 September:
-
- “English reports that, when the English steamer _Akenside_ was
- sunk, a German U-boat was rammed by a steam trawler.”
-
-From the document of the Prosecution, Exhibit GB-193, which is copied on
-Page 147, I should only like to point out the opinion from the point of
-view of the Naval Operations Staff as to radio messages. I read from
-Figure 2, two sentences, beginning with the second:
-
- “In almost every instance English steamers, on sighting U-boats,
- have sent out wireless SOS messages and given their positions.
- Following these SOS messages from the ship, after a certain time
- English airplanes always appeared which makes it clear that with
- the English it is a matter of a military measure and organized
- procedure. The SOS call together with the giving of the position
- may therefore be considered as the giving of military
- information, even as resistance.”
-
-The next document, Dönitz-59, shows the approval of the entry submitted
-by the Commander of the Submarine Fleet that ships which used their
-wireless when stopped should be sunk. I read the entry of 24 November
-1939. It is quite at the bottom, Figure 4:
-
- “On the basis of the Führer’s approval, the following order is
- given to Groups and Commander, Submarine Fleet:
-
- “4) Armed force should be employed against all merchant vessels
- using wireless when ordered to stop. They are subject to seizure
- or sinking without exception. Efforts should be made to rescue
- the crew.”
-
-THE PRESIDENT: The Tribunal will adjourn.
-
- [_The Tribunal adjourned until 11 May 1946, at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-SEVENTH DAY
- Saturday, 11 May 1946
-
-
- _Morning Session_
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I continue to submit
-documents concerning naval warfare. My next document is printed on Page
-149 of Document Book Number 3. It is a declaration of 26 September 1939
-by the British First Lord of the Admiralty concerning the arming of the
-British merchant fleet. In this declaration he announces that within a
-short time the entire British merchant fleet will be armed. Then he
-speaks about the training of the crews, and in conclusion he thanks his
-predecessors for the care with which they prepared that work before the
-beginning of the war.
-
-I submit Document Dönitz-60. Dönitz-60 is a large collection of
-documents concerning laws of naval warfare. It contains altogether 550
-documents. In accordance with the request of the President, I have given
-special numbers to the later documents.
-
-I come now to some documents which deal with the treatment of ships
-which acted suspiciously and were for that reason attacked by U-boats.
-The first document of this series is Dönitz-61, Page 150. It is a
-warning to neutral shipping against suspicious tactics. That warning was
-sent in a note to all neutral missions. At the end it points out that
-ships should avoid being mistaken for enemy warships or auxiliary
-cruisers, especially during the night. There is a warning against all
-suspicious tactics, for instance, changing course, use of wireless on
-sighting German naval forces, zig-zagging, blacking-out, not stopping
-upon demand, and the acceptance of enemy escort.
-
-That warning is repeated in Document Dönitz-62, which is on Page 153, a
-renewed note of 19 October 1939 to the neutral governments. Document 63
-is an example of how a neutral government, namely the Danish Government,
-in accordance with the German notes, warned its merchant shipping
-against suspicious conduct. It is found on Page 154. I should like to
-remind you again that the first warning was given on 28 September.
-
-My next Document, Dönitz-64, shows that on 2 October the order was
-issued to the submarines to attack blacked-out vessels in certain
-operational areas close to the British coast. That order is particularly
-significant in view of the cross-examination of yesterday where the
-question was put as to whether an order of that kind had been issued at
-all, or whether that subject was transmitted to the commanders orally
-with instructions to falsify their logs. I read the order of 2 October
-1939 on Page 155.
-
- “Order by the SKL (Naval Operations Staff) to the Front:
-
- “Inasmuch as it must be assumed that blacked-out vessels
- encountered on the English and French coasts are warships or
- auxiliary warships, full armed action is authorized against
- blacked-out vessels in the following waters.”
-
-An area around the British coast follows. The excerpt under it is taken
-from the War Diary of Commander of Submarines of the same date and shows
-the transmission of this order to the submarines.
-
-The readiness of British merchant shipping to commit aggression against
-German submarines is motivated or furthered by the next document which I
-am going to show. It is numbered Dönitz-101 and is on Page 156. The old
-number was Dönitz-60, Mr. President. It is an announcement by the
-British Admiralty, which I will read:
-
- “The British Admiralty circulated the following warning to the
- British merchant marine on 1 October:
-
- “Within the last few days some German U-boats have been attacked
- by British merchant marine vessels. In this connection the
- German radio announces that the German U-boats have so far
- observed the rules of international law in warning the merchant
- marine vessels before attacking them.
-
- “Now, however, Germany intends to retaliate by considering every
- British merchant marine vessel as a warship. While the
- first-mentioned fact is absolutely untrue, it may indicate an
- immediate change in the policy of German submarine warfare.
-
- “Be prepared to meet it. Admiralty.”
-
-On Page 157 there is a second report of the same date. “The British
-Admiralty announces that German submarines are pursuing a new strategy.
-English boats are called upon to ram every German submarine.”
-
-The next document, Dönitz-65, contains orders issued as a result of the
-armament of, and armed resistance by, merchant vessels. I read the order
-of 4 October 1939, which was issued by the SKL to the Front.
-
- “Immediate attack in any manner available is permitted
- submarines against enemy merchant vessels which are obviously
- armed or have been proclaimed as such on the basis of conclusive
- evidence received by the Naval Operations Staff. As far as
- circumstances permit, measures are to be taken to save the crew
- after every possibility of danger for the submarine has been
- eliminated. Passenger ships not used to transport troops are
- still not to be attacked, even if armed.”
-
-The excerpt below shows the transmission of the order to the submarines.
-The experiences gained in the war up to that period are summarized in a
-document on Page 159, which is an excerpt from the Prosecution’s Exhibit
-GB-196, “Standing War Order 171,” by Commander of Submarines. I should
-only like to read from Paragraph 4, the first sentence:
-
- “Tactics of Enemy Merchant Vessels. The following instructions
- have been issued for British shipping...”
-
-THE PRESIDENT: What is the date of this document?
-
-FLOTTENRICHTER KRANZBÜHLER: The document was issued before May 1940. I
-shall have to call on a witness to give the correct date, Mr. President;
-I assume it was in October 1939:
-
- “The British Merchant Navy has received the following
- instructions:
-
- “(a) To fight every German submarine with all the means at hand,
- to ram it or attack it with depth charges, if equipped to do
- so.”
-
-Further details follow.
-
-Experiences drawn, from the entire operations of the British Merchant
-Service are summarized in the next document in an order. It has been
-numbered Dönitz-66, and is on Page 161. I shall read the order, which is
-dated 17 October 1939:
-
- “At 1500 hours the following order was issued to Commander of
- Submarines:
-
- “Submarines are permitted immediate and full use of armed force
- against all merchant vessels recognizable with certainty as
- being of enemy nationality, as in every case attempts to ram or
- other forms of active resistance may be expected. Exceptions to
- be made as hitherto in the case of enemy passenger boats.”
-
-On Page 162 I have reproduced another part of Document Dönitz-62, which
-has been submitted already. It is a note to the neutral countries dated
-22 October 1939, defining conduct on the part of ships which is,
-according to German opinion, incompatible with the peaceful character of
-a merchant ship. I read from the long paragraph, the second sentence:
-
- “According to previous experiences such tactics may be expected
- with certainty from English and French boats, particularly when
- sailing in convoys: inadmissible use of wireless, sailing
- without lights, and in addition armed resistance and aggressive
- action.”
-
-In the next, the German Government warns neutral nations against the use
-of enemy ships for this reason. The German orders were issued in
-consequence of the experiences gained by our U-boats.
-
-I have already submitted the next document, Dönitz-67, on Page 163 _et
-sequentes_ and I only wish to explain on the basis of a report made by
-the British Admiralty, which is on Page 163, that the orders for
-merchant shipping were published in the _Handbook for the Defense of
-Merchant Ships_ of January 1938—they were issued before the war.
-
-Now I come to several documents dealing with the treatment of passenger
-ships. They have an important bearing on the _Athenia_ case, since the
-_Athenia_ was a passenger ship.
-
-Document Dönitz-68 presents some evidence on the treatment of passenger
-ships. First comes an order issued on 4 September 1939, which I should
-like to read:
-
- “On the Führer’s orders, no hostile action is to be taken
- against passenger ships for the time being, even when in
- convoy.”
-
-The next excerpt from the same page contains reports on the use of
-passenger ships as troop transports.
-
-I will now read an excerpt from the Directives for the Conduct of the
-War against Merchant Shipping, from October to the middle of November
-1939, Page 3. As the fullest possible use was made of enemy passenger
-boats for the transport of troops, it was no longer possible to justify
-their being spared, at least when they were sailing in convoy. The
-following order was issued on 29 October: I will read the order, which
-is dated 29 October. It is at the bottom of the page:
-
- “Passenger liners in enemy convoys may be subjected to immediate
- unrestricted armed attack by U-boats.”
-
-The next document, Dönitz-69, on Page 170, is to show that in November
-and December the German press issued a warning against the use of armed
-passenger ships by publishing lists of these ships.
-
-The next document is Dönitz-70, on Page 171. It is an order issued on 7
-November 1939 by the SKL to Commander of U-boats. I read the order:
-
- “U-boats are permitted to attack immediately with all weapons at
- their command all passenger ships which can be identified with
- certainty as enemy ships and whose armament is detected or is
- already known.”
-
-That was about 6 weeks after permission to attack other armed ships had
-been given.
-
-Dönitz-71 shows that the U-boats were also not permitted to attack
-blacked-out passenger ships until as late as 23 February 1940, 5
-months—no, 4 months—after they were given permission to attack other
-ships.
-
-Now I come to the Prosecution’s Exhibit GB-224, which is reproduced on
-Pages 199 to 203 in Volume IV of my document book. I should like to
-emphasize again that the object of this document was to incriminate
-Admiral Raeder in particular; and that it was described by the
-Prosecution as a cynical denial of international law. I should like to
-point out, to begin with, that according to the title it concerns
-deliberations by the Naval Operations Staff on the possibilities of
-intensifying economic warfare against England. I shall read a few
-paragraphs, or give a short account of them, to show that a very
-thorough investigation of international law was made. The first
-paragraph is headed “War Aims.”
-
- “The Führer’s proposal to restore a just and honorable peace and
- establish a new political order in Central Europe has been
- rejected. The enemy powers want war, with Germany’s destruction
- as the goal. In the struggle in which Germany is now forced to
- defend her existence and rights, Germany must employ her weapons
- ruthlessly while fully respecting the rules of soldierly conduct
- in warfare.”
-
-Then there follows a paragraph in which it is stated that the enemy is
-also ruthless in carrying out his plans. On the next page, Page 200,
-there are a few sentences of basic importance which I should like to
-read. I read from the paragraph “Military Requirements” the fourth
-sentence:
-
- “It is still desirable to base military measures on the existing
- principle of international law; but military measures recognized
- as necessary must be taken if they seem likely to lead to
- decisive military successes, even if they are not admitted by
- international law. For that reason, the military weapon which
- effectively breaks the enemy’s powers of resistance must on
- principle be given a legal base, even if new rules of naval
- warfare have to be created for the purpose.
-
- “After weighing political, military, and economic considerations
- with regard to the war as a whole, Supreme War Command must
- decide on the military procedure and legal rules of warfare to
- be applied.”
-
-Then there are a number of excerpts to show the way in which the Naval
-Operations Staff investigated the legal aspect of the situation; that is
-to say, the present legal aspect of the situation, the situation which
-would arise in the case of a siege of England or a blockade against
-England. The end, which is on Page 203, emphasizes the political
-character of the final decision. I shall read it:
-
- “The decision as to the form to be taken by the intensification
- of economic warfare and the time fixed for changing over to the
- most intensified and therefore final form of naval warfare in
- this war is of far-reaching political importance. It can be made
- only by the Supreme War Command, which will weigh the military,
- political, and economic requirements against each other.”
-
-I should like to add that this document is dated 15 October 1939.
-
-At the end of November 1939 the Naval Operations Staff took the
-consequent...
-
-THE PRESIDENT: In our document it is 3 November. You said just now it
-was some date in October.
-
-FLOTTENRICHTER KRANZBÜHLER: 15 October, Mr. President. It is a
-memorandum dated 15 October, which was submitted.
-
-THE PRESIDENT: Well, I thought you were dealing with Exhibit GB-224.
-That is the one you have been reading just now.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: That is headed on our Page 199, 3 November 1939.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. The 3rd of November is
-the date on which the memorandum was distributed to the High Command of
-the Armed Forces and to the Foreign Office. I have just been told that
-in the English text, above the word “Memorandum,” the date is apparently
-not printed. In the original it says, right above the word “Memorandum,”
-“Berlin, 15 October 1939.”
-
-THE PRESIDENT: Very well.
-
-FLOTTENRICHTER KRANZBÜHLER: I have already submitted Document Dönitz-73,
-on Page 206, in which neutrals are warned against entry into the zone
-which corresponds to the American combat zone declared by President
-Roosevelt on 4 November.
-
-The German point of view, that entry into this zone constitutes a danger
-to all neutrals by their own action, was also published in the press.
-Therefore, I submit Document Dönitz-103 on Page 210. It is an interview
-given by Admiral Raeder to a representative of the National Broadcasting
-Company, New York, on 4 March 1940. I should like to read a few
-sentences from that document. In the second paragraph Admiral Raeder
-points out the danger existing for neutral merchant ships if they act in
-a warlike manner and are consequently taken for enemy ships. The last
-sentence of that paragraph reads:
-
- “The German standpoint may be concisely expressed by the
- formula: Whoever depends on the use of arms must be prepared for
- attack by arms.”
-
-I shall read the two last paragraphs:
-
- “In discussing the possibility that there might be frequent
- differences of opinion, the Commander-in-Chief of the Navy
- mentioned President Roosevelt’s order prohibiting American
- shipping in the dangerous zones around England. He said, ‘This
- prohibition is the best proof against England’s practice of
- forcing neutrals to sail through these zones without being able
- to guarantee their security. Germany can only advise all
- neutrals to imitate the policy of your President.’
-
- “Question: ‘Thus, according to this state of affairs, there is
- no protection for neutral shipping in the war-endangered zones?’
-
- “Answer: ‘Probably not, so long as England adheres to her
- methods....’”
-
-With the collapse of France, the entire U.S.A. combat zone was declared
-a German blockade area. That is shown by the next document, Dönitz-104,
-Page 212. I read from the middle of the long paragraph on that page:
-
- “The entire sea area around England has thus become a theater of
- operations. Every ship sailing this zone runs the risk of being
- destroyed not only by mines but also by other combat means....”
-
-THE PRESIDENT: Dr. Kranzbühler, did you call that Exhibit Dönitz-60
-or...
-
-FLOTTENRICHTER KRANZBÜHLER: That was originally also one of the
-documents from Dönitz-60, Mr. President, to which I have now given a new
-number. It is now Dönitz-104.
-
-THE PRESIDENT: Yes, thank you.
-
- FLOTTENRICHTER KRANZBÜHLER: “Every ship sailing this zone runs
- the risk of being destroyed not only by mines but also by other
- combat means. For that reason the German Government issues a
- fresh and most urgent warning against sailing in the danger
- zone.”
-
-At the end of the note, the German Government refuses to assume any
-responsibility for damage or loss incurred in this area.
-
-I produce as the next document, on Page 214, with the new Exhibit Number
-Dönitz-105, an official German statement made on the occasion of the
-announcement of the total blockade of 17 August 1940. I only want to
-mention it.
-
-I now come to several documents dealing with the treatment of neutrals
-outside the declared danger zones. As the first document, I submit, on
-Page 226, an excerpt of the Prosecution’s Exhibit GB-196. It is a
-standing war order from the Commander of U-boats which was also issued
-before May 1940. I read the first sentences:
-
- “Not to be sunk are:
-
- “(a) All ships readily recognized as neutral so long as they do
- not (1) move in any enemy convoy, (2) move into a declared
- danger zone.”
-
-The next document, Dönitz-76, Page 227, shows the concern of the Naval
-Operations Staff that the neutrals should really be recognizable as
-such. I read the first sentences of the entry of 10 January 1942:
-
- “In view of the further extension of the war, the Naval
- Operations Staff has asked the Foreign Office to point out again
- to the neutral seafaring nations, with the exception of Sweden,
- the necessity of carefully marking their ships in order that
- they shall not be mistaken for enemy ships.”
-
-The next Document, Dönitz-77, on Page 228, is an entry dated 24 June
-1942, from the War Diary of the Flag Officer of U-boats:
-
- “All commanders will again be given detailed instructions as to
- their conduct toward neutrals.”
-
-I have already submitted Dönitz-78—excuse me, it has not been
-submitted. Dönitz-78, Page 229, contains examples of the consideration
-which the Commander of U-boats showed to neutrals. The entry of 23
-November 1942 shows that a submarine was ordered to leave one area
-solely because there was a great deal of neutral traffic in that area.
-The second entry of December 1942 specifies that Portuguese naval
-tankers had to be treated in accordance with directives, in other words,
-allowed to proceed.
-
-On Page 230 there is a document which I have already mentioned. It
-contains an account of court-martial proceedings taken against a
-commanding officer who had torpedoed a neutral by mistake.
-
-The next document, Dönitz-79, on Page 231, is an order decreeing the
-manner of treating neutrals which remained in force up to the end of the
-war. I do not think I have to read it. It again stresses the necessity
-of neutral ships being easily recognizable as such and refers to
-shipping agreements which have been made with a number of countries,
-such as Spain, Portugal, Sweden, and Switzerland.
-
-THE PRESIDENT: What is the correct date of it? You said...
-
-FLOTTENRICHTER KRANZBÜHLER: August 1944, Mr. President.
-
-THE PRESIDENT: That is on the original...
-
-FLOTTENRICHTER KRANZBÜHLER: The original date was 1 April 1943. The
-order was revised on 1 August 1944 on the basis of the revisions
-necessitated by the shipping agreements.
-
-So far I have dealt with the general principles which have been attacked
-by the Prosecution’s Exhibit GB-191 and GB-224. Now I should like to
-submit several documents on individual points contained in the
-Prosecution’s Exhibit GB-191. Mention is made there of a speech by Adolf
-Hitler ending with the words:
-
- “Every ship, with or without escort, which comes within range of
- our torpedo tubes will be torpedoed.”
-
-I now wish to present as Dönitz-80, on Page 232, an excerpt from that
-speech. It shows that in that context the Führer’s statement only
-applied to ships carrying war materials to England.
-
-I now come to two examples mentioned in GB-191 as characteristic
-examples of illegal German naval warfare. The first is the case of the
-Danish steamer _Vendia_. The Prosecution’s document says:
-
- “On 30 September 1939 the first sinking of a neutral ship by a
- submarine took place without a warning signal having been given.
- On that occasion some people lost their lives. The ship was the
- Danish steamer _Vendia_.”
-
-With reference to this I am submitting Dönitz-83, on Page 235. That is
-the War Log of Submarine U-3, which sank the _Vendia_. I should like to
-read parts of it on account of its importance. I begin with the second
-sentence:
-
- “The steamer turns away gradually and increases speed. The boat
- comes up only very slowly. Obvious attempt to escape. The
- steamer is clearly recognizable as the Danish steamer _Vendia_.
- Boat reduces speed and uncovers her machine gun. Several warning
- shots are fired across the steamer’s bow. Thereupon the steamer
- stops very slowly; nothing more happens for a while. Then some
- more shots are fired. The _Vendia_ lies into the wind.
-
- “For 10 minutes nothing is visible on deck to remove suspicion
- of possible intended resistance; at 1124 hours I suddenly see
- bow waves and screw movements. The steamer swings sharply round
- toward the boat. The officer on watch and the first mate agree
- with my view that this is an attempt at ramming. For this reason
- I turn in the same angle as the steamer. A torpedo is fired 30
- seconds later; point of aim, bow; point of impact, extreme rear
- of stern. The stern is torn off and goes down. The front part
- remains afloat.
-
- “By risking the loss of our own crew and boat (heavy sea and
- numerous floating pieces of wreckage) six men of the Danish crew
- are rescued, among them the captain and helmsman. No further
- survivors can be seen. In the meantime the Danish steamer
- _Swawa_ approaches and is stopped. She is requested to send her
- papers across in a boat. She is carrying a mixed cargo from
- Amsterdam to Copenhagen. The six persons rescued are transferred
- to the steamer for repatriation.”
-
-I read the second to the last sentence on the next page:
-
- “After the crew of the steamer had been handed over, it was
- learned that the engineer artificer of the steamer had told the
- stoker Blank that the captain had intended to ram the
- submarine.”
-
-The document on Page 237, an excerpt from the Prosecution’s Exhibit
-GB-82, shows that the _Vendia_ case formed the subject of a protest by
-the German Government to the Danish Government.
-
-I shall deal now with the sinking of the _City of Benares_ on 18
-September 1940. In this connection I should like first to read several
-sentences from the Prosecution’s document, because in my opinion it is
-characteristic of the probative value of the entire Exhibit GB-191. I
-read from the British Document Book, Page 23, starting at the passage
-where the Prosecution stopped reading. The Tribunal will remember that
-the _City of Benares_ had children on board. The Foreign Office report
-says here:
-
- “The captain of the U-boat presumably did not know that there
- were children on board the _City of Benares_ when he fired the
- torpedoes. Perhaps he did not even know the name of the ship,
- although there the evidence suggests strongly that he had been
- dogging her for several hours before torpedoing her. He must
- have known, however, that this was a large merchant ship,
- probably with civilian passengers on board, and certainly with a
- crew of merchant seamen. He knew the state of the weather, and
- he knew that they were six hundred miles from land and yet he
- followed them outside the blockade area and deliberately
- abstained from firing his torpedo until after nightfall when the
- chances of rescue would be enormously reduced.”
-
-The next document I submit is Dönitz-84, Page 238, the War Log of U-boat
-48, which sank the _City of Benares_. I read the entry of 17 September
-1940:
-
- “Time 1002. Convoy sighted. Course about 240 degrees, speed 7
- nautical miles. Contact maintained, since underwater attack is
- no longer possible because of the heavy swell. No escort can be
- seen with the convoy.”
-
-I will summarize the entry of 18 September 1940.
-
-It describes the firing of a torpedo on a ship belonging to that
-convoy—the _City of Benares_.
-
-A few minutes later, at 0007 hours, the submarine attacked a second ship
-in the convoy, the British steamer _Marina_. Both ships sent wireless
-messages. Twenty minutes later the submarine again had an artillery
-combat with a tanker from the convoy. That is the true story of the
-_City of Benares_.
-
-I reproduce the Prosecution’s Exhibit GB-192 again on Page 240. It
-concerns the sinking of the _Sheaf Mead_. In this connection I should
-like to point out that that ship was heavily armed and that it probably
-was no merchant vessel but a submarine trap. The Prosecution’s Exhibit
-GB-195, which was dealt with in yesterday’s hearing, contains an order
-issued by the Führer in July 1941 concerning attacks on United States
-merchant vessels in the blockade zone which had been declared around
-England. On the basis of this document, the Prosecution charges Dönitz
-with conducting a cynical and opportunistic warfare against neutrals.
-
-My next document is Donitz-86, Page 243. It shows the efforts which were
-made to avoid a conflict with the United States. I read the entry, dated
-5 March 1940, from the War Diary of the Naval Operations Staff:
-
- “With reference to the conduct of economic warfare, orders are
- given to the Naval Forces that U.S. ships are not to be stopped,
- seized, or sunk. The reason is the assurance given by the
- Commander-in-Chief to the American Naval Attaché, whom he
- received on 20 February, that German submarines had orders not
- to stop any American ships whatsoever. All possibility of
- difficulties arising between the U.S.A. and Germany as a result
- of economic warfare are thereby to be eliminated from the
- start.”
-
-This order means, therefore, that prize law measures were renounced.
-
-The next document, Dönitz-87, Page 244, shows the practical recognition
-of the American zone of neutrality. It reads:
-
- “4 April 1941. The following WIT message is directed to all
- ships at sea:
-
- “American neutrality zone from now on to be observed south of
- 20° North only at a distance of 300 nautical miles from the
- coast. For reasons of foreign policy, the hitherto existing
- limitation will for the time being continue to be observed north
- of the above-mentioned line.”
-
-That means full recognition of the neutral zone.
-
-The next document, Dönitz-88, shows President Roosevelt’s attitude to
-the question of neutrality toward Germany in that war. It is an excerpt
-from the speech of 11 September 1941 and is well known:
-
- “Hitler knows that he must win the mastery of the seas if he
- wants to win the mastery of the world. He knows that he must
- first tear down the bridge of ships which we are building over
- the Atlantic and over which we constantly transport the war
- material that will help, in the end, to destroy him and all his
- works. He has to destroy our patrols on the sea and in the air.”
-
-I should like to say a few words about the view also expressed in
-Exhibit GB-191, namely, that the crews of enemy merchant ships were
-civilians and noncombatants. On Page 254 of the document book I have
-reproduced part of Document Dönitz-67, which I have already submitted.
-It is an excerpt from the confidential Admiralty Fleet Orders and deals
-with gunnery training for the civilian crews of merchant ships. I only
-wish to refer to the first page of these orders which say that, as a
-general rule, there should be only one navy man at a gun, all the rest
-being taken from the crew of the ship. I read from the paragraph headed
-“Training,” Section (d):
-
- “In addition to the gunlayer and the men specially trained for
- serving guns, five to seven men more—depending on the size of
- the gun—are needed to complete the gun crew and to bring
- ammunition from the magazine.”
-
-This is followed by regulations for training in port and gunnery drill
-for the crews.
-
-The next document, re-numbered Dönitz-106, is a circular decree issued
-by the French Minister for the Merchant Marine on 11 November 1939. It
-deals with the creation of a special badge for men serving on merchant
-ships who are liable for military service. That is on Page 256. I should
-like to point out that this decree was signed by the head of the
-Military Cabinet, a rear admiral. The character of the order is
-demonstrated by the second to the last paragraph:
-
- “This armband may only be worn in France or in the French
- colonies. In no case may men issued the armband wear it in
- foreign waters.”
-
-I come now to several documents dealing with the question of the rescue
-of survivors. These documents can be found in Document Books 1 and 2.
-
-THE PRESIDENT: Dr. Kranzbühler, do you not think it would be sufficient
-if you were to refer to these documents and give us the numbers without
-reading from them? They are all dealing, as you say, with rescue.
-
-FLOTTENRICHTER KRANZBÜHLER: I believe I can do this with most of them.
-On Page 9 there is reproduced the Hague Convention regarding the
-application of the Geneva Convention to naval warfare. Page 10 is
-Document Dönitz-8, the order of 4 October 1939 concerning the sinking of
-armed merchantmen. It contains the order already read, namely, that
-rescues should be effected wherever possible without endangering their
-own ship.
-
-Dönitz-9, Page 12, gives examples of exaggerated rescue measures by
-German submarines which even let enemy ships pass without attack while
-so engaged. Dönitz-10 deals with the same subject and gives a further
-example.
-
-The collection of statements made by commanding officers in Dönitz-13
-can be found on Pages 19 to 26. I should like to deal with it along with
-War Order 154, which is the Prosecution’s Exhibit GB-196. These
-statements contain numerous examples, taken from all the war years, of
-rescue measures on the part of German submarines. One of these
-statements is supplemented by photographs—Page 21—which are included
-in the original. The facts stated in these statements are confirmed by
-Document Dönitz-14, Page 27, where there is a report on rescue measures
-in the war diary of a submarine; and at the end we find the sentence:
-“Taking British airmen on board is sanctioned.” It is signed by the
-Commander of U-boats.
-
-The next document, Donitz-15, is again an excerpt from the war diary,
-giving an example of rescue measures after a battle with a convoy on 21
-October 1941. It is on Page 28. The next two documents concern the
-_Laconia_ order. The Tribunal has permitted me to use Standing War
-Orders 511 and 513 in cross-examining Möhle. They deal with the capture
-of captains, chief engineers, and air crews. I submit them as Dönitz-24
-and 25, and they can be found on Pages 46 and 47. I should like to point
-out that both orders explicitly state that capture should only be
-effected as far as is possible without endangering the boats.
-
-Document Dönitz-24 explains that the British Admiralty, on their part,
-had issued orders to prevent the capture of British captains by German
-submarines. The next excerpt, on Page 48, cites an example showing that
-this British order was carried out and that a U-boat searched in vain
-among the lifeboats for the captain.
-
-THE PRESIDENT: Dr. Kranzbühler, could you inform the Tribunal what
-Paragraph 2 on Page 46 refers to and means?
-
-FLOTTENRICHTER KRANZBÜHLER: The paragraph refers to Standing War Order
-Number 101, that is, the order specifying which neutral ships can be
-sunk. That is, of course, in the blockade area.
-
-THE PRESIDENT: Would it mean that those officers have to be sunk with
-the ship, or what?
-
-FLOTTENRICHTER KRANZBÜHLER: No, Mr. President. That means that captains
-and ships’ officers of neutral ships might be left in the lifeboats and
-need not be taken aboard the submarine from the lifeboats. The fact that
-it was actually much safer in the lifeboats than on the submarine is
-seen from the English order instructing captains to remain in the
-lifeboats and hide from the U-boats.
-
-THE PRESIDENT: What if they do not have lifeboats?
-
-FLOTTENRICHTER KRANZBÜHLER: I believe, Mr. President, that that case has
-not been ruled on here. I know of no case where a ship did not have
-lifeboats, especially in 1943, in which year the order originated. Every
-ship was provided not only with lifeboats but also with automatically
-inflating rafts.
-
-Figure 2 refers only to the question of capture of neutral captains. May
-I continue, please?
-
-THE PRESIDENT: Yes, you may.
-
-FLOTTENRICHTER KRANZBÜHLER: A number of instances showing that captains
-were rescued after these orders were issued are quoted in the statements
-by commanders reproduced on Pages 22, 25, and 26, under Exhibit Number
-Dönitz-13.
-
-I now come to the case of Submarine _U-386_, which figures very largely
-in Korvettenkapitän Möhle’s statement. The Tribunal will remember that
-this case was the decisive reason for the way in which Möhle interpreted
-the _Laconia_ order. With reference to this case, I submit Exhibit
-Number Dönitz-26, the affidavit made by Captain Witt. I should like to
-read a few paragraphs from that.
-
-THE PRESIDENT: What page?
-
-FLOTTENRICHTER KRANZBÜHLER: On Page 50, Mr. President.
-
- “In November 1943, in the course of my official duties as a
- member of the staff of Commander of U-boats, I had to interview
- Lieutenant Albrecht, commander of U-boat _U-386_, on his
- experiences during the action which had just terminated.
- Albrecht reported to me that in the latitude of Cape Finisterre
- he had sighted in daylight a rubber boat with shipwrecked
- British airmen in the Bay of Biscay. He did not take any steps
- to rescue them because he was on his way to a convoy in process
- of formation. He could only reach his position by continuing
- without a stop. Besides he was afraid...”
-
-THE PRESIDENT: Dr. Kranzbühler, is it necessary to go into the details
-of each particular case? I mean, they all depend upon their own
-particular circumstances. You need not read the documents very
-carefully. It is not necessary at this stage of the case.
-
-FLOTTENRICHTER KRANZBÜHLER: Very well, Mr. President, I shall only
-report.
-
-The affidavit states briefly that the commander has been informed that
-he should have brought the airmen back. That is, in other words, the
-opposite of what Möhle has said in this courtroom. The correctness of
-Captain Witt’s statements is confirmed by the next document, Dönitz-27,
-which is the U-boat’s war log and contains the comments of the Commander
-of U-boats expressing disapproval of the fact that the Englishmen
-floating on the raft were not taken aboard.
-
-The fact that Admiral Dönitz’ attitude toward rescues was not based on
-cruelty but on military expediency is shown by Page 53 of the following
-document, Dönitz-28. He is considering the rescue of our own personnel
-and comes to the conclusion that military considerations may forbid such
-a rescue. The following Document Dönitz-29 deals with the statement made
-by witness Heisig. It is on Page 54 and the following. It begins with an
-affidavit made by the Adjutant, Kapitänleutnant Fuhrmann, who describes
-the general ideas on which Admiral Dönitz’ talks were based. At the end
-he stresses the fact that he was never, in connection with Admiral
-Dönitz’ pronouncements, approached by young officers, who expressed any
-doubts as to the treatment of shipwrecked persons.
-
-On Page 56 there is a statement made by Lieutenant Kress, who was
-present at the same lecture as Heisig. He says that neither directly nor
-indirectly did Admiral Dönitz order the survivors to be killed.
-
-That is confirmed by Lieutenant Steinhoff’s statement on Page 59. The
-considerations which weighed with the Naval Operations Staff at that
-time in the question of fighting the crews are illustrated by the
-following document, Donitz-30, which is reproduced on Pages 60 and 61.
-Here again, no mention is made of the killing of survivors. It is the
-record of a conference with the Führer on 28 September 1942, which was
-attended by Admiral Raeder and Admiral Dönitz.
-
-The Tribunal will remember Exhibit GB-200 which describes rescue ships
-as desirable targets. The same document states that they have the
-significance of submarine traps. For that reason I have reproduced on
-Page 63 Standing War Order Number 173, dated 2 May 1940. That order
-States that, in accordance with instructions from the British Admiralty,
-U-boat traps are employed in convoys. Document Dönitz-34, on Page 67 of
-Document Book 2, shows that the treatment of rescue ships has nothing to
-do with the sanctity of hospital ships. It is the last of the Standing
-Orders referring to hospital ships and is dated 1 August 1944. It begins
-with the words, “Hospital ships must not be sunk.”
-
-My next document, Dönitz-35, is meant to show that the Naval Operations
-Staff actually went beyond the provisions of international law in regard
-to the sanctity of hospital ships, for, as the entry of 17 July 1941
-proves, the Soviet Government on its part rejected the hospital ship
-agreement, basing its action on violations of international law
-committed by Germany on land. According to Article 18 of the hospital
-ship agreement, this meant that the agreement was no longer binding on
-any of the signatories.
-
-In Document Dönitz-36, Pages 69 and following, I submit the only known
-instance of a U-boat commander’s actually firing on means of rescue.
-This is the interrogation of Kapitänleutnant Eck, carried out on 21
-November 1945 by order of this Tribunal. That was 10 days before he was
-shot.
-
-According to the wish of the Tribunal, I shall confine myself to a
-summary.
-
-After sinking the Greek steamer _Peleus_, Eck tried to sink the
-lifeboats and wreckage by means of gunfire. The reason he gave was that
-he wanted in this way to get rid of the debris and avoid being detected
-by enemy aircraft. He states that he had the _Laconia_ order aboard, but
-that this order had no influence whatsoever upon his decision. In fact,
-he had not even thought of it. He had received his instructions from
-Möhle but had heard nothing about the killing of survivors which is
-alleged to have been desired; and he knew nothing about the instance of
-_U-386_. At the end of his examination, Eck states that he expected his
-action to be approved by Admiral Dönitz. A further reference was made in
-cross-examination yesterday to the question of whether Admiral Dönitz...
-
-THE PRESIDENT: Dr. Kranzbühler, we will adjourn now for a few
-minutes—only for a short time.
-
-FLOTTENRICHTER KRANZBÜHLER: Very well.
-
- [_A recess was taken._]
-
-THE PRESIDENT: Dr. Kranzbühler, the Tribunal, as you know, was going to
-deal with the applications for documents and witnesses, but if you could
-finish your documents in a short time, they would like to go on with
-that and get them finished, if you can.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I believe that even at my
-present speed, I shall need about an hour. I should like to ask you,
-therefore, for permission to continue on Monday morning.
-
-THE PRESIDENT: Well, Dr. Kranzbühler, if you think it will be as long as
-that, of course we must put it off to Monday morning, but the Tribunal
-does hope that you would not take anything like so long as that, because
-going in detail into these documents does not really help the Tribunal.
-They have all got to be gone into again in great detail, both in your
-speeches and in further consideration by the Tribunal.
-
-FLOTTENRICHTER KRANZBÜHLER: I shall confine myself to making clear the
-connections, Mr. President, but in spite of that, I think it would be
-better if I did so on Monday morning.
-
-THE PRESIDENT: Very well, yes. Then the Tribunal will now deal with the
-applications. Yes, Sir David.
-
-SIR DAVID MAXWELL-FYFE: If Your Lordship pleases, the first application
-is on behalf of the Defendant Von Schirach, who asked for one Hans
-Marsalek as a witness for cross-examination. The Prosecution have
-already introduced an affidavit from this man, and they have no
-objection to him being called for cross-examination.
-
-My Lord, the second application on behalf of the Defendant Von Schirach
-is in respect of one Kaufmann. The Defense desires to administer
-interrogatories to Kaufmann in lieu of calling Kaufmann, who has already
-been allowed as a witness. There is no objection to that.
-
-My Lord, the next matter is an application by Dr. Seidl on behalf of the
-Defendant Hess, and it is a request for five documents relating to the
-German-Soviet agreements in August and September 1939. And it is also a
-request for the calling of Ambassador Gaus as a witness in connection
-with the above. But the position with regard to previous applications is
-somewhat lengthy, and without going into details, I tell the Tribunal
-that this matter has already been before them on six occasions. I have
-the details if the Tribunal would like them.
-
-THE PRESIDENT: No, because the Tribunal made an order, did they not,
-that these documents were to be translated?
-
-SIR DAVID MAXWELL-FYFE: Yes, My Lord.
-
-THE PRESIDENT: And that they would then be considered by the Tribunal?
-
-SIR DAVID MAXWELL-FYFE: That is so, My Lord. The Tribunal made an order
-for them to be translated on 25 March and, My Lord, if I may just remind
-Your Lordship of the bare facts, on 28 March Fräulein Blank, the private
-secretary of the Defendant Von Ribbentrop, was asked about the
-agreement. Your Lordship may remember that my friend General Rudenko
-objected, but the Tribunal ruled that the questions were admissible, and
-the witness said she knew of the existence of the secret pact, but gave
-no details.
-
-Then, on 1 April, in the course of Dr. Seidl’s cross-examination of the
-Defendant Von Ribbentrop, the Gaus affidavit was read, and on 3 April,
-Dr. Seidl applied for Hilger and Weizsäcker to be called as witnesses on
-this point, and on 15 April Dr. Seidl applied for Ambassador Gaus to be
-called.
-
-Now, My Lord, it was discussed before the Tribunal on 17 April, when I
-said that in view of the Tribunal’s previous ruling I could not contest
-the question of the agreement, but I objected to the witnesses. General
-Rudenko, I think, stated that he had submitted written objections, and
-the Tribunal said they would consider the matter. The position today
-appears to be, taking the five documents, that the affidavit of Dr. Gaus
-is already in evidence. My Lord, that is the first affidavit. But the
-second affidavit of Dr. Gaus is not in evidence. With regard to the
-Non-Aggression Pact between Germany and the Soviet Union, that is
-already in evidence. As to the Secret Supplementary Protocol appended to
-the Non-Aggression Pact between Germany and the Soviet Union, the
-substance is already in evidence. It was given in the Gaus affidavit.
-
-Then, My Lord, we have the German-Soviet Frontier and Friendship Pact of
-28 September 1939, and the Secret Supplementary Protocol to that pact.
-The Prosecution submit that these documents have no relevance to the
-defense of the Defendant Hess, and they cannot see any reason for them
-being wanted. If necessary, my Soviet colleague can deal further with
-the matter, but that is the general position. And we also submit that
-the second affidavit of Ambassador Gaus is unnecessary in view of his
-previous affidavit, and without stating them again, I refer to and
-repeat my objections to witnesses to the discussions preceding the
-conclusion of the agreement. It is submitted that this is really an
-irrelevant matter, and unnecessary to occupy the time of the Tribunal
-regarding it. My Lord, I do not know whether it is convenient...
-
-THE PRESIDENT: Sir David, the Tribunal, as I have said, is going to
-consider this matter. They have not yet had an opportunity to consider
-these documents, but I should like to ask you whether there is any
-reason why Ambassador Gaus should be called as a witness.
-
-SIR DAVID MAXWELL-FYFE: None at all, My Lord.
-
-THE PRESIDENT: He has already stated the substance of these documents,
-as has the Defendant Ribbentrop, and if the documents are now produced
-and supposing that the Tribunal took the view that they ought to be
-admitted, it would be entirely irrelevant to call Gaus as a witness.
-
-SIR DAVID MAXWELL-FYFE: In my submission that is so, My Lord.
-
-THE PRESIDENT: Well, I think the Tribunal had better consider these
-documents, as they had stated in their order they were going to do when
-the documents had been produced.
-
-SIR DAVID MAXWELL-FYFE: If Your Lordship pleases.
-
-Now, My Lord, the next application is on behalf of the Defendant Funk,
-and he requests permission to read the affidavit of the witness Kallus.
-The permission was previously granted to the Defendant Funk to submit an
-interrogatory to Kallus, which has been done, and the interrogatory has
-already been introduced in evidence. The affidavit now in question has
-been received and supplements the interrogatory, and the Prosecution
-have no objection.
-
-The next application is on behalf of the Defendant Streicher, and he
-desires to call the witness Gassner as a witness, and he is desired to
-speak as to the _Stürmer_ and the size of the circulation and the
-profits. The Prosecution submit that it is unnecessary to call a witness
-as to the form of the _Stürmer_ after 1933. A representative number of
-copies of the newspaper are before the Tribunal and the form of the
-newspaper can be seen from them.
-
-On the second point, both the Defendant Streicher and the witness Hiemer
-have given evidence as to the _Stürmer’s_ circulation, and it is
-respectfully submitted that the takings of the _Stürmer_ and the use to
-which they were put are irrelevant.
-
-Then, My Lord, the next application, on behalf of the Defendant Sauckel,
-is for one Biedermann as a witness, instead of a witness allowed
-previously who cannot be found. The Prosecution have no objection to
-that, and they have no objection to the documents that are asked for, so
-with the approval of the Tribunal I shall not go through them in detail.
-
-THE PRESIDENT: Sir David, we should like to know when you think the most
-appropriate time would be to hear the evidence on behalf of those
-defendants whose cases have already been presented, whether to hear it
-at the end of all the evidence or to hear it earlier?
-
-SIR DAVID MAXWELL-FYFE: My Lord, I should have thought that it was
-better to hear it earlier if the Tribunal could put aside a Saturday
-morning for it, or something of that kind, before the cases of the
-various defendants have gone too far into the background.
-
-THE PRESIDENT: We will consider that and let you know.
-
-SIR DAVID MAXWELL-FYFE: If Your Lordship pleases. Now, My Lord, the next
-application is in behalf of the Defendant Seyss-Inquart, and he asks for
-an interrogatory to be submitted to Dr. Stuckart to complement the
-testimony of the witness Lammers. The Prosecution have no objection to
-such an interrogatory. They reserve the right, or they ask the Tribunal
-to let them reserve the right, to put in a cross-interrogatory. The
-Defendant Frick asks for Dr. Konrad as a witness on the question of
-Church persecution, and the Prosecution suggest that an interrogatory
-would be sufficient on this point. I think there is a little confusion
-here; I think that what is desired is an affidavit. The original
-application says:
-
- “Contrary to the charge to the effect that the defendant
- participated in the persecution of the Churches, an affidavit by
- the witness is to establish that Frick strongly defended Church
- interests.”
-
-So the only question is between an affidavit and interrogatory, not
-between an oral witness and an interrogatory. Then, if I might leave the
-next one, the application on behalf of the Defendant Göring, to my
-friend Colonel Pokrovsky, who is going to deal with that. I pass to the
-applications of the Defendants Hess and Frank. That is Dr. Seidl’s
-application; and if I might just read what is stated in the Secretary
-General’s note, it is official information from the ministry of war of
-the United States of America, or another ministerial service official of
-the Office of Strategic Services. It is stated that such a report is
-desired to show that the witness Gisevius had perjured himself on the
-witness stand and that they desire to show this to attack his
-credibility. It is alleged that the perjuring consists of his denial
-under cross-examination that he acted on behalf of foreign powers and
-his denial of receiving any favors from any power at war with Germany,
-which is supposed to be at variance with his statement that he had
-friendly and political relations with the American Secret Service and
-with some subsequently published reports. Confirmation of these two
-factors, alleged to be at variance with his prior statements, is sought
-by requesting official statement; and they ask for United States
-Secretary of War, Mr. Patterson, as a witness for the essential points,
-in case the Tribunal does not consider an official report admissible or
-sufficient or the United States ministry of war refuses the information.
-
-Now, My Lord, I deal with this matter simply as a question of
-jurisprudence on which I submit that the English view is a sound one and
-should be followed by this Tribunal. The law of England, as I understand
-it, is that when you cross-examine a witness to credit, you are bound by
-his answers. There is only one exception to that which, in my
-recollection, is contained in a note in Roscoe’s Criminal Evidence, that
-when you have cross-examined a witness to credit, you may call a witness
-to say that, knowing the general reputation of the witness who has been
-cross-examined to credit, on that general reputation, and only on that
-general reputation, the witness would not believe him on it. That is the
-only exception that I know in English Law.
-
-THE PRESIDENT: And, of course, if he is cross-examined as to a crime or
-a misdemeanor, he may be contradicted.
-
-SIR DAVID MAXWELL-FYFE: Certainly; Your Lordship is quite right. I
-should have put that as an exception; that if he is cross-examined as to
-a specific conviction, then the conviction may be proved. I am very
-grateful to Your Lordship. But, My Lord, what is not permissible in
-English jurisprudence is that when a witness has been cross-examined to
-credit on particular facts other than a conviction by the State,
-evidence may be adduced as to these particular facts. I should submit
-that the principle which I am sure obtains in all systems of
-jurisprudence, _interest rei publicae ut sit finis litium_ must apply
-and support that condition. Now, I will put it in English—I am sorry.
-“It is in the interest of the community that there should be an end of
-the legal proceedings.”
-
-My Lord, if one did not apply the limit which English jurisprudence has
-applied, one would then call evidence to attack the credit of witnesses
-for the Prosecution. The Prosecution would then render a rebuttal and
-call evidence to attack the credit of each of these witnesses who had
-attacked the credit of the Prosecution’s witnesses and there would never
-be an end to legal proceedings at all. My Lord, on that point which is a
-general point—and I do not mean to be academic; it is a point of
-practical importance for preserving some decent limit to legal
-proceedings—I would submit that this application should be refused. My
-Lord, I think that covers all the points except the question of the
-Defendant Göring’s application with which my friend Colonel Pokrovsky
-will deal.
-
-COL. POKROVSKY: The Defendant Göring is applying, My Lord, for the
-calling of supplementary witnesses in connection with the Katyn Forest
-shootings to clarify the matter from the point of view of the Wehrmacht.
-That is to say he intends to prove that German Armed Forces were not in
-any way concerned with this Hitler provocation. The Prosecution of the
-Soviet Union categorically protests.
-
-THE PRESIDENT: Colonel Pokrovsky, we have this matter fully in our mind
-as we have already had to consider it; therefore, it is not necessary
-for you to deal with it in detail, for I understand that these are new
-witnesses who have not before been applied for.
-
-COL. POKROVSKY: I had in mind the fact that the new witnesses have been
-called and I would like to inform the Tribunal of our exact point of
-view with regard to the calling of the new witnesses, without going into
-detail about the Katyn Forest incident. The Soviet Prosecution, from the
-very beginning, considered the Katyn Forest incident as common
-knowledge. The Tribunal can see, by the limited space allotted to this
-crime in the Indictment and by the fact that we found it possible to
-limit ourselves to reading into the record only a few short excerpts
-from the report of the Commission, that we consider this episode to be
-only an episode. If the question mentioned by Sir David should be
-raised, that is, the fact that the Tribunal may have doubts about the
-credibility of certain witnesses or certain documents accepted as
-evidence—then, once again, we would be forced to present new evidence
-in order to discredit the new material again presented by the Defense.
-
-Thus, if the Tribunal considers it necessary to admit two new witnesses
-relative to the Katyn Forest shootings, the Soviet Prosecution will find
-itself obliged to call about ten more new witnesses who are experts and
-specialists, and to present to the Tribunal new evidence put at our
-disposal and which we have recently received—new documents.
-
-Furthermore, we shall have to return to the question of reading into the
-record all of the documents of the Special Commission, excerpts from
-which were read before the Tribunal. We think that it will greatly delay
-the proceedings, and it will not be a matter of hours but of days. So
-far as we are concerned, there is no necessity for doing this, and I
-think that this request should be refused, since there is absolutely no
-basis or reason for it. That, My Lord, is what I wanted to say in regard
-to the Defendant Göring’s application.
-
-I would also like to add a few words to what Sir David said in regard to
-Dr. Seidl’s application. I will not go into all our motives. We
-certainly support Sir David fully, and we consider that Dr. Seidl’s
-applications should be refused. But I want to report to you that this
-morning I signed a document which is being sent to you, Your Honor, and
-which contains a full and detailed statement of our motives and
-considerations in regard to this question; and this document is
-presented to the Tribunal. Therefore, without taking up your time, I
-have found another way of informing the Tribunal about our position.
-
-THE PRESIDENT: Now, it is not necessary, I think, to ask counsel for the
-Defendant Schirach to address the Tribunal, because there is no
-objection to those two applications with reference to the witness
-Marsalek and the interrogatory of Kaufmann.
-
-With reference to the Hess matter, the Tribunal will consider that. They
-are going to consider it as they said they would in their previous
-order.
-
-With reference to the Defendant Funk, there is no objection to the
-affidavit of Kallus, and so unless counsel for Funk wants to address us
-upon it, we need not bother about that.
-
-With reference to Streicher, there is an objection to Gassner as a
-witness, so perhaps the counsel for Streicher had better say anything
-that he wishes to say.
-
-[_There was no response._]
-
-Well, the Tribunal will consider that, then.
-
-As to Sauckel there has been no objection. As to Seyss-Inquart, an
-interrogatory—there is no objection there.
-
-As to the Defendant Frick, Sir David suggested an interrogatory. It was
-not quite clear whether the application meant that. Is counsel for the
-Defendant Frick here or not?
-
-[_There was no response._]
-
-Well, we will consider that. And with reference to Göring, the Tribunal
-will consider the applications for the Defendant Göring.
-
-And with reference to Hess and Frank, as to Gisevius’ evidence—Dr.
-Seidl, do you wish to say anything about that?
-
-DR. ALFRED SEIDL (Counsel for Defendants Hess and Frank): Mr. President,
-the application regarding the obtaining of official information from the
-minister of war was made for the sole purpose of obtaining evidence as
-to the credibility of the witness Gisevius. Afterwards I made another
-application to examine Secretary of War Patterson by means of an
-interrogatory dealing with the same subject. On the following day I made
-an application to examine the Chief of the O.S.S., General Donovan, also
-by means of an interrogatory. I think that this new application is in
-the hands of the Tribunal.
-
-I have made this further application only because the first-named
-witness, Patterson, was minister of war for only a comparatively short
-period, and because it seemed helpful to have the chief of that
-organization himself as an additional witness. As a reason for these
-applications, I refer to my written statement of 1 May this year, which
-I have also submitted as Appendix 1 of the form. I further refer to
-Appendix 2, a report by Associated Press on this incident. I should like
-to reply very briefly to Sir David Maxwell-Fyfe’s statement here.
-
-The Tribunal does not appear to be bound by any particular rules in
-dealing with the question of additional witnesses in connection with the
-credibility of other witnesses. Neither the Charter of the International
-Military Tribunal nor the regulations governing its procedure contain
-any definite rules. In my opinion, it is rather left exclusively to the
-free judgment of the Tribunal whether such additional evidence referring
-to the credibility of a witness should be admitted or not, and in what
-circumstances. In German criminal procedure such evidence is admissible
-without question.
-
-However, since the Tribunal in setting up this procedure is not bound by
-any rules of procedure, I see no reason why the decision should be based
-on any of the customary Anglo-American legal procedure, since the
-Charter is not based on either the Anglo-American legal procedure or the
-continental European legal procedure. This Tribunal and its rules of
-procedure are entirely independent and give complete freedom to the
-judgment of the court.
-
-That is all I wanted to say in that connection.
-
-THE PRESIDENT: One moment, Dr. Seidl. Do the questions which you wish to
-put with reference to the witness Gisevius relate solely to credit?
-
-DR. SEIDL: In my written application I have already said that as far as
-I am concerned, it is not a question of whether in certain circumstances
-the witness Gisevius was guilty of an action which from the German legal
-standpoint might constitute the crime of treason. I only put that
-question in connection with the examination of the credibility of the
-witness before the Tribunal.
-
-THE PRESIDENT: That is what I thought. Now, one other question I wanted
-to ask you. Are these pacts or agreements, which you say existed between
-the Soviet Republics and Germany—are they published in print? Have all
-the documents which you wish to use been typewritten or mimeographed and
-circulated to the Tribunal?
-
-DR. SEIDL: Mr. President, on 13 November of last year, I gave six copies
-of those five documents to the Secretary General, and I also gave a
-corresponding number of documents to the Prosecution. All these
-documents are typewritten, or, rather, they are mimeographed.
-
-THE PRESIDENT: Yes.
-
-DR. SEIDL: Perhaps I might add one point. On an earlier occasion the
-Tribunal admitted as evidence an affidavit made by Ambassador Gaus. This
-first affidavit is a statement of the contents of these secret
-agreements. It is my opinion...
-
-THE PRESIDENT: I know that, yes.
-
-DR. SEIDL: ...that if we have the agreements, we should refer to the
-agreements themselves and not merely to a summary. If the Tribunal so
-desires, and considers it necessary, then I should be prepared, now or
-at some later date, to discuss the relevancy of these agreements.
-
-I have noted down eight points from which only these agreements appear
-relevant as evidence, and perhaps I may point out that these additional
-agreements...
-
-THE PRESIDENT: The Tribunal has already ordered that these documents
-should be submitted, and they will then consider them and that is what
-they propose to do; so it is not necessary to go into them in detail. We
-will consider the matter.
-
-DR. SAUTER: Mr. President, during the examination of Defendant Funk, a
-film was shown here on the screen and an affidavit by a
-witness—Puhl—was read—Emil Puhl, the Vice President of the
-Reichsbank. At that time, following an application of mine, the Tribunal
-decided that this witness, Emil Puhl, should be called here for
-examination. Now I should like to ask you to amend your decision in one
-respect. I think it would be useful to show to the witness Puhl the film
-which you saw on this screen a few days ago, so that he may state
-whether in fact the steel vaults of the Reichsbank looked as they were
-shown in this film.
-
-I should like to ask, therefore, Mr. President, that you order this
-short film which we were shown twice recently to be shown also to the
-witness Puhl before his examination. It is, of course, not necessary
-that this should be done during a session of the Tribunal; it can be
-done in the presence of the prosecutor and myself, outside this
-courtroom. I have various questions to put to the witness Puhl, and for
-that it is necessary that he should first see this film. I wanted to
-make this application today so that there may be no delay when the
-witness Puhl is examined.
-
-THE PRESIDENT: Does the witness Puhl know the vaults in Frankfurt which
-were photographed?
-
-DR. SAUTER: Yes.
-
-THE PRESIDENT: He was a director in Berlin, was he not?
-
-DR. SAUTER: Yes; but I assume, Mr. President, that the witness Puhl, who
-was the managing Vice President, would also know the steel vaults in
-Frankfurt. Apart from that, I believe that these vaults in the various
-branches of the Reichsbank were all built on the same pattern, and were
-also treated in the same way in practice. He will be able, also, to
-state whether the method of safekeeping shown in the film was the type
-actually used by the Reichsbank in looking after deposits.
-
-THE PRESIDENT: Has the Prosecution anything to say about this?
-
-MR. RALPH G. ALBRECHT (Associate Trial Counsel for the United States):
-If Your Honor please, I think, as it is a document belonging to the
-case, we would be very glad to show them to the witness before he is
-cross-examined by Dr. Sauter.
-
-THE PRESIDENT: Yes. And perhaps the most convenient way would be, as Dr.
-Sauter suggests, that he should be shown the film in some room in this
-court; not actually in this room, but in another room.
-
-MR. ALBRECHT: Yes; we can do so in the presence of the Prosecution.
-
-THE PRESIDENT: Then you can arrange that between yourself and Dr.
-Sauter?
-
-MR. ALBRECHT: Very well, Sir.
-
-DR. SAUTER: Thank you very much indeed.
-
-THE PRESIDENT: Dr. Sauter, has any time been arranged for the calling of
-Puhl?
-
-DR. SAUTER: No; nothing has been arranged yet. As far as I have heard,
-the witness is already here. I do not know when he is to be heard. I
-shall leave that entirely to the Prosecution.
-
-THE PRESIDENT: What would be the most convenient time?
-
-SIR DAVID MAXWELL-FYFE: My Lord, Mr. Dalton suggests to me, at the close
-of the case of the Defendant Dönitz.
-
-THE PRESIDENT: Would that be convenient? Would it not be better to put
-it after the Defendant Raeder—I do not know, they are rather connected
-cases?
-
-SIR DAVID MAXWELL-FYFE: If the Tribunal would prefer that, we could make
-it after Raeder.
-
-THE PRESIDENT: I do not know whether Dr. Kranzbühler and Dr. Siemers
-would prefer that.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: Perhaps you could arrange that with them.
-
-SIR DAVID MAXWELL-FYFE: Certainly, My Lord.
-
-THE PRESIDENT: That is to say, we would take Puhl’s evidence as soon as
-convenient, either after the evidence on behalf of the Defendant Dönitz
-or after the evidence on behalf of the Defendant Raeder, whichever you
-prefer.
-
-SIR DAVID MAXWELL-FYFE: If Your Lordship prefers, we will do that.
-
-DR. LATERNSER: Mr. President, I should like to inform the Tribunal that
-my colleague Dr. Stahmer’s applications for the Defendant Göring, which
-were made with a view to clarifying the Katyn case, are also of interest
-to me with reference to my clients. I gathered from the application made
-by the Russian prosecutor that this complex, too, was submitted to
-implicate the General Staff and the OKW, although no evidence has been
-submitted to suggest that these events took place either by order or
-with the approval of the General Staff and the OKW.
-
-THE PRESIDENT: Does this not, perhaps, interest all the defendants?
-
-DR. LATERNSER: Yes. But I only wish to inform the Tribunal that I am
-interested in my colleague Dr. Stahmer’s applications, and that I also
-request you to allow them. We have agreed to share the task, and that is
-my colleague Dr. Stahmer’s reason for making the application. I wanted
-first to inform the Tribunal of that arrangement.
-
-I should also like to remind the Tribunal that some time ago, when my
-colleague Dr. Nelte, acting on behalf of the Defendant Keitel, forfeited
-the examination of the witness Halder, I pointed out to the Tribunal
-that this action encroached upon my privileges, and that the witness
-Halder must be allowed for cross-examination by the Russian Prosecution.
-At that time, I was told that the witness Halder would probably appear
-for examination, and I have checked it in the record. When I referred to
-the point during that session, the Tribunal said that it would announce
-its decision in a few days. Although some considerable time has elapsed
-since then, no announcement has been made. I merely draw the attention
-of the Tribunal to this point.
-
-THE PRESIDENT: Your witnesses have not been dealt with yet, have they?
-You have not applied for your witnesses yet? They have not been
-proffered? The matter has not been dealt with?
-
-DR. LATERNSER: Mr. President; this is a repetition of the
-misunderstanding which arose when I pointed out to you at that time that
-the forfeiture of the witness Halder constituted an infringement of my
-rights. The situation at the time was that the Russian Prosecution
-submitted an affidavit made by General Halder, and when the Defense
-objected, which at that time was done in my name too, the Tribunal
-decided that the witness Halder would have to appear for examination
-here. I have the right to cross-examine him, and therefore this is the
-proper time to call that to the attention of the Tribunal.
-
-THE PRESIDENT: Yes, but the convenient time is the question. You will
-have the opportunity to cross-examine him. But the question is when. You
-want to cross-examine him yourself on behalf of the High Command?
-
-DR. LATERNSER: Yes.
-
-THE PRESIDENT: We will consider that, Dr. Laternser.
-
-The Tribunal will now adjourn.
-
- [_The Tribunal adjourned until 13 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-EIGHTH DAY
- Monday, 13 May 1946
-
-
- _Morning Session_
-
-FLOTTENRICHTER KRANZBÜHLER: With the permission of the Tribunal I would
-like to submit my remaining documents, and then call Admiral Wagner as
-my first witness.
-
-The next document I come to is Dönitz-37. It is an extract from
-_Dokumente der Deutschen Politik_ on the _Altmark_ case. I do not
-propose to read it. It concerns a report of the captain of the
-_Altmark_, which shows how the sailors of the _Altmark_ were shot at
-while trying to escape by water and across the ice. There were seven
-dead. It can be found, Mr. President, on Page 78 of Volume II; from Page
-79 it can be seen that this action on the whole found full recognition
-in spite of the casualties which, no doubt were regretted by the
-Admiralty too.
-
-The next document, Dönitz-39, has partly been read by Sir David
-Maxwell-Fyfe during cross-examination. It can be found on Page 81 and
-the following pages. It deals with the question of reprisals following a
-report received regarding the shooting of survivors of the German
-mine-layer _Ulm_.
-
-On Page 83 there is a summary regarding the incidents which had been
-reported to the Naval Operations Staff at that time and which contained
-examples dealing with cases where survivors were shot at by Allied naval
-forces. I am not so much interested in these 12 actual examples as in
-the attitude adopted by the Naval Operations Staff in transmitting these
-examples to the OKW. It is so important that I would like to read the
-three sentences. They are on Page 83, at the top.
-
- “The following accounts deal with incidents which have already
- been reported, and in making use of them it must also be
- considered that:
-
- “a) some of these incidents occurred while fighting was still
- going on;
-
- “b) shipwrecked persons swimming about in the water easily think
- that shots which missed their real target are directed against
- them;
-
- “c) so far no evidence whatsoever has been found that a written
- or oral order for the shooting of shipwrecked persons has been
- issued.”
-
-The idea of reprisals did not only occur to the Command, but it also
-occurred to the personnel serving on the ships at the front.
-
-Now, we come to Document Dönitz-41, which is on Page 87 and deals with a
-conversation between Admiral Dönitz and a commander. The conversation
-took place in June 1943, and it is dealt with in an affidavit made by
-Korvettenkapitän Witt. Following descriptions of attacks made by British
-fliers on shipwrecked German submarine crews, the opinion was expressed
-by the crews that in reprisal the survivors of enemy ships should also
-be shot at.
-
-The affidavit also says in the third paragraph:
-
- “The Admiral sharply declined the idea of attacking an enemy
- rendered defenseless in combat; it was incompatible with our way
- of waging war.”
-
-In connection with the Prosecution’s Exhibit GB-205 I shall submit a
-document of my own which deals with the question of terroristic actions.
-It is an extract from Exhibit GB-194 of the Prosecution, and it can be
-found on Page 91. It deals with the question of whether the crews of
-scuttled German ships should be rescued or not. The French press tends
-to say they should not, in view of the pressing need of the Allies for
-freight space. The same entry contains a report according to which
-British warships also had special instructions to prevent further
-scuttling of German ships.
-
-I now shall try to prove that the principle according to which no
-commander undertakes rescue actions if he thereby endangers a valuable
-ship is justified. For that purpose I refer to Document Dönitz-90, which
-is in the Volume IV of the document book, Page 258. It is an affidavit
-of Vice Admiral Rogge, retired. He reports that in November 1941 his
-auxiliary cruiser was sunk from a great distance by a British cruiser
-and that the survivors had taken to the boats. They were towed away by a
-German submarine to a German supply ship and this supply ship too, a few
-days later, was sunk from a great distance by a British cruiser. Once
-again the survivors took to the boats and to floats. The affidavit
-closes with the words:
-
- “At both sinkings no attempt was made, presumably due to danger
- involved for the British cruiser, to save even individual crew
- members.”
-
-The principle that a valuable ship must not risk rescue actions to save
-even members of its own crew is expressed with classical clarity and
-severity in the British Admiralty Orders which I have already submitted
-as Dönitz-67. The extract is printed on Page 96. There it says:
-
- “Aid to ships attacked by submarines: No British ocean-going
- merchant ship should aid a ship attacked by U-boats. Small
- coastal ships, fishing steamers, and other small ships with
- little draught should give all possible aid.”
-
-The next document I submit is Dönitz-44, which is on Page 97. It is a
-questionnaire for Vice Admiral Kreisch who, according to a decision by
-the Tribunal, was interrogated in a British camp for prisoners of war.
-From January 1942 to January 1944 he was the officer in charge of
-submarines in Italy, which means that he was responsible for submarine
-warfare in the Mediterranean. According to his statements he knows of no
-order or suggestions regarding the killing of survivors. He advised his
-commanders that rescue measures must not endanger the task and safety of
-their own ships.
-
-In connection with the question whether Admiral Dönitz was a member of
-the Reich Government I should like to ask the Tribunal to take judicial
-notice of the German Armed Forces Law of 1935 which can be found on Page
-105 of Volume II of my document books. Paragraph 3 will show that there
-was only one Minister for the German Armed Forces and that was the Reich
-Minister of War. On the following page in Paragraph 37 it is shown that
-this one Minister was assigned the right to issue legislative orders.
-
-On Page 107 I again have the decree which has been submitted to the
-Tribunal as Document 1915-PS, in which, dated 4 February, the post of
-the Reich Minister of War is abolished and the tasks of his Ministry are
-transferred to the Chief of the OKW. No new Ministry for the Army or the
-Navy is established.
-
-The Prosecution has described Admiral Dönitz as a fanatical follower of
-the Nazi Party. The first document to prove this statement is dated 17
-December 1943; it is Exhibit GB-185. Considering the time factor, I
-shall refrain from reading a few sentences from it to show that anything
-that Admiral Dönitz may have said about political questions was said
-from the point of view of the unity and strength of his sailors. May I
-ask the Tribunal to take judicial notice of this document, which again
-appears on Pages 103 and 104 of Volume II.
-
-I only want to draw your attention to the last paragraph on Page 104. It
-deals with the handing over of Navy shipyards to the Ministry of
-Armament in the autumn of 1943. It is an important question, important
-for the responsibility regarding the use of labor in the shipyards, and
-has been touched upon repeatedly in this Court. This sole tendency
-toward unity becomes clear from yet another document of the Prosecution
-from which I propose to read one sentence. It is Exhibit GB-186. In the
-British trial brief it is on Page 7. I shall only read the second and
-third sentences: “As officers we have the duty to be guardians of this
-unity of our people. Any disunity would also affect our troops.” The
-following sentence deals with the same thought at greater length.
-
-THE PRESIDENT: British trial brief, Page 7? Mine has only five pages.
-You mean the document book?
-
-FLOTTENRICHTER KRANZBÜHLER: It is the British document book; not the
-trial brief, but the document book, second and third sentences on Page
-7, which I have read, Mr. President.
-
-The fact that Admiral Dönitz was not a fanatical follower of the Party
-but on the contrary fought against a political influence exercised upon
-the Armed Forces by the Party is shown in my following document,
-Dönitz-91. It is on Page 260 of Document Book 4. It is an affidavit from
-the chief of the legal department in the High Command of the Navy, Dr.
-Joachim Rudolphi. The Soviet Prosecution has already used this document
-during its cross-examination. I should like to give a brief summary of
-the contents:
-
-In the summer of 1943 Reichsleiter Bormann made an attempt through the
-Reich Minister of Justice to deprive the Armed Forces courts of their
-jurisdiction in so-called political cases. They were to be transferred
-to the Peoples’ Court and other courts. The attempt, however, failed. It
-failed due to a report which Admiral Dönitz made verbally to the Führer
-on this subject and during which he violently opposed the intentions of
-the Party. After the assassination attempt on 20 July, Bormann renewed
-his attempt. Again Admiral Dönitz raised objections, but this time
-without success. A decree was issued on 20 September 1944 which deprived
-the Armed Forces courts of their jurisdiction regarding so-called
-political perpetrations. This decree, which was signed by Adolf Hitler,
-was not carried out in the Navy by explicit order of the
-Commander-in-Chief of the Navy.
-
-I shall read the last paragraph but one of the affidavit, which says:
-
- “This attitude of the Commander-in-Chief of the Navy made it
- possible for the Navy, as the only branch of the Armed Forces
- until the end of the war, not to have to transfer to the
- Peoples’ Court or to a special court any criminal procedures of
- political coloring.”
-
-On page 113 in Volume II of my document book I have included a lengthy
-extract from Exhibit GB-211, a document of the Prosecution; and this is
-an application by the Commander-in-Chief of the Navy addressed to the
-Führer and asking for supplies for the construction and repair of naval
-and merchant ships. During the interrogation and cross-examination of
-Admiral Dönitz this document has already been referred to. I should
-merely like to point out that this is a memorandum containing more than
-20 pages; the Prosecution took up two points contained therein.
-
-The origin of the document is dealt with in Document Dönitz-46, Page 117
-and the following pages. This is an affidavit from the officer who had
-drafted this memorandum. I can summarize the contents. The memorandum is
-concerned with measures which did not actually come within the sphere of
-the Commander-in-Chief of the Navy. It arose on the basis of a
-discussion which took place between all departments taking part in the
-construction and repair of war and merchant vessels. All these measures
-are summarized in this memorandum. The point objected to in particular
-by the Prosecution as amounting to a suggestion in favor of punitive
-measures against sabotage in shipyards is dealt with in detail on Page
-119. I should like to point out particularly that at that time seven out
-of eight ships under construction were destroyed by sabotage.
-
-It was not a question of terror measures but of punitive measures
-entailing the forfeiting of certain advantages and, if necessary, the
-concentration of workers in camps adjoining the shipyards, so as to cut
-them off from any sabotage agents.
-
-Following Exhibit GB-209 of the Prosecution, which deals with the
-alleged renunciation of the Geneva Convention, I submit Dönitz-48, which
-is on Page 122 and the following pages. It will show the model treatment
-afforded Allied prisoners of war in the only prisoner-of-war camp which
-was under the jurisdiction of Admiral Dönitz as the Commander-in-Chief
-of the Navy.
-
-To begin with, the document contains an affidavit from two officers who
-dealt with prisoner-of-war affairs in the High Command of the Navy. This
-statement is to the effect that all the suggestions of the International
-Red Cross regarding these camps were followed.
-
-The next extract is a report by the last commandant of that camp,
-Korvettenkapitän Rogge, and I should like to read the second paragraph
-from that report:
-
- “In the camp Westertimke there were housed at my time about
- 5,500 to 7,000, at the end 8,000, prisoners of war and internees
- of different nations, mainly members of the British Navy. The
- camp had a good reputation, as was generally known. It was the
- best in Germany. This was expressly stated at a congress of
- British and other prisoner-of-war physicians of all German
- camps, which took place in Schwanenwerder near Berlin at the
- villa of Goebbels about December 1944. This statement was
- confirmed by the British chief camp physician in Westertimke,
- Major Dr. Harvey, British Royal Army, whom I am naming as a
- witness.”
-
-I shall also read the last paragraph on Page 126:
-
- “As I was deputy commandant I stayed at the camp up to the
- capitulation and gave up the camp in the regular way to British
- troops who were quite satisfied with the transfer. Squadron
- Leader A. J. Evans gave me a letter confirming this. I enclose a
- photostat of this letter.”
-
-This photostat copy appears on the following page, and it says:
-
- “Korvettenkapitän W. Rogge was for 10 months chief camp officer
- at the Marlag Camp at Westertimke. Without exception all the
- prisoners of war in that camp have reported that he treated them
- with fairness and consideration.”
-
-Then follows another affidavit from the intelligence officer in that
-camp. I should like to point out that this officer was born in February
-1865 and that his age alone would, I think, exclude the use of any
-terror measures. I shall read from Page 129, the third from the last
-paragraph:
-
-“No means of pressure were employed at Dulag Nord. If a man told
-falsehoods he was sent back to his room and was not interrogated for 2
-or 3 days. I believe I can say that no blow was ever struck at Dulag
-Nord.”
-
-I should now like to refer briefly to the accusation raised against the
-defendant according to which he as “a fanatical Nazi” prolonged a
-hopeless war. I submit Dönitz-50, which contains statements made by
-Admiral Darlan, Mr. Chamberlain, and Mr. Churchill in 1940. They will be
-found on Pages 132 and 133 of the document book and they will show that
-the afore-mentioned persons also considered it expedient in a critical
-situation to call upon the nation—partly with success and partly
-without—to render the utmost resistance.
-
-During his examination Admiral Dönitz gave as the reason for his views
-that he wanted to save German nationals in the East. As evidence for
-this I draw your attention to Exhibit GB-212, which can be found on Page
-73 of the British document book. It is a decree of 11 April 1945, and I
-shall read two sentences under heading 1:
-
- “Capitulation means for certain the occupation of the whole of
- Germany by the Allies along the lines of partition discussed by
- them at Yalta. It also means, therefore, the ceding to Russia of
- further considerable parts of Germany west of the river Oder. Or
- does anyone think that at that stage the Anglo-Saxons will not
- keep to their agreements and will oppose a further advance of
- the Russian hordes into Germany with armed forces, and will
- begin a war with Russia for our sake? The reasoning, ‘Let the
- Anglo-Saxons into the country; then at least the Russians will
- not come,’ is faulty, too.”
-
-I shall also quote from Exhibit GB-188, which is on Page 10 of the
-document book of the Prosecution—I beg your pardon, Page 11. It is an
-order to the German Armed Forces dated 1 May 1945. I shall quote the
-second paragraph:
-
- “The Führer has designated me to be his successor as head of
- State and as Supreme Commander of the Armed Forces. I am taking
- over the Supreme Command of all branches of the German Armed
- Forces with the will to carry on the struggle against the
- Bolsheviks until the fighting forces and hundreds of thousands
- of families of the German eastern areas have been saved from
- slavery and destruction.”
-
-This, Mr. President, is the end of my documentary evidence.
-
-Two interrogatories are still outstanding. One is that of Kapitän zur
-See Rösing and the other of Fregattenkapitän Suhren. Furthermore—and
-this is something I particularly regret—the interrogatory from the
-Commander-in-Chief of the American Navy, Admiral Nimitz, has still not
-been received. I will submit these documents as soon as I have received
-them.
-
-And now, with permission of the Tribunal, I should like to call my
-witness, Admiral Wagner.
-
-MR. DODD: Mr. President, while the witness is being called in, I would
-like to raise one matter with the Tribunal. On Saturday I understand
-that the question of when the witness Puhl would be called was raised
-before the Tribunal. And as I understand it from the record, it was left
-for counsel to settle the matter as to whether he should be called
-before the Raeder case comes on or after the Raeder case.
-
-I should like to say that we have some reasons for asking that he be
-called before the Raeder case, and there are two: First of all, he is
-here in the prison under a kind of confinement different from that under
-which he has been held by the French in the French territory; and
-secondly, the officer, Lieutenant Meltzer, who has been assisting in the
-Funk case, is very anxious—for compelling personal reasons—to return
-to the United States, and of course he will not be able to do so until
-we have concluded the Funk case. And, Mr. President, it will not take
-very long in my judgment to hear this witness. He is only here for
-cross-examination on his affidavit and we would appreciate it if he
-could come on at the conclusion of the Dönitz case.
-
-THE PRESIDENT: Very well, Mr. Dodd, he can be brought for
-cross-examination after the Dönitz case.
-
-[_The witness Wagner took the stand._]
-
-THE PRESIDENT: Will you state your full name, please?
-
-GERHARD WAGNER (Witness): Gerhard Wagner.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The witness repeated the oath._]
-
-THE PRESIDENT: Will you sit down.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral, when did you join the Navy?
-
-WAGNER: On 4 June 1916.
-
-FLOTTENRICHTER KRANZBÜHLER: Which positions did you hold in the High
-Command of the Navy, and at what time?
-
-WAGNER: From summer 1933 until the summer of 1935 I was adviser in the
-operational department of the High Command. I was Kapitänleutnant and
-then Korvettenkapitän. In 1937, from January until September, I had the
-same position. From April 1939 until June 1941 I was the head of the
-operational group, known as “IA,” in the operations section of the Naval
-Operations Staff. From June 1941 until June 1944 I was the chief of the
-operations section of the Naval Operations Staff. From June 1944 until
-May 1945, I was admiral for special tasks attached to the
-Commander-in-Chief of the Navy.
-
-FLOTTENRICHTER KRANZBÜHLER: So that during the entire war you were a
-member of the Naval Operations Staff?
-
-WAGNER: Yes, that is so.
-
-FLOTTENRICHTER KRANZBÜHLER: What were the general tasks of the Naval
-Operations Staff?
-
-WAGNER: The tasks of the Naval Operations Staff included all those
-involved in naval warfare, both at sea and in the defense of the coasts,
-and also in the protection of our own merchant shipping. As far as
-territorial tasks were concerned, the Naval Operations Staff did not
-have any, neither at home nor in the occupied territories.
-
-FLOTTENRICHTER KRANZBÜHLER: Was the Naval Operations Staff part of the
-High Command of the Navy, the OKM?
-
-WAGNER: The Naval Operations Staff was part of the High Command of the
-Navy.
-
-FLOTTENRICHTER KRANZBÜHLER: What was the relationship between the Naval
-Operations Staff and the Supreme Command of the Armed Forces, the OKW?
-
-WAGNER: The OKW passed on the instructions and orders of Hitler, who was
-the Supreme Commander of the Armed Forces, regarding the conduct of the
-war; usually, as far as naval warfare particularly was concerned, after
-examination and review by the Naval Operations Staff. General questions
-of the conduct of the war were decided without previous consultations
-with members of the Naval Operations Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: In which manner were the preparations of the
-High Command of the Navy for a possible war carried out?
-
-WAGNER: Generally speaking, they consisted of mobilization preparations,
-tactical training, and strategic considerations for the event of a
-possible conflict.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations Staff during your
-time receive an order to prepare for a definite possibility of war?
-
-WAGNER: The first instance was the order for “Case White,” the war
-against Poland. Before that, only tasks regarding security measures were
-given us.
-
-FLOTTENRICHTER KRANZBÜHLER: Were plans elaborated for the naval war
-against England?
-
-WAGNER: A plan for the war against England did not exist at all before
-the beginning of the war. Such a war seemed to us outside the realm of
-possibility. Considering the overwhelming superiority of the British
-fleet, which can hardly be expressed in proportionate figures, and
-considering England’s strategical domination of the seas such a war
-appeared to us to be absolutely hopeless. The only means by which
-Britain could have been damaged effectively was by submarine warfare;
-but even the submarine weapon was by no means being given preferential
-treatment nor was its production accelerated. It was merely given its
-corresponding place in the creation of a well-balanced homogeneous
-fleet.
-
-At the beginning of the war all we had were 40 submarines ready for
-action, of which, as far as I can remember, barely half could have been
-used in the Atlantic. That, in comparison with the earth-girdling naval
-means at the disposal of the first-ranking world power England, is as
-good as nothing. As a comparison, I should like to cite the fact that
-both the British and the French Navy at the same time had more than 100
-submarines each.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the then Captain Dönitz, as chief of the
-submarines, have anything to do with the planning of the war?
-
-WAGNER: Captain Dönitz at that time was a subordinate front-line
-commander, under the command of the chief of the fleet and he, because
-of his warfare experience, had the task of training and tactically
-guiding the inexperienced submarine personnel.
-
-FLOTTENRICHTER KRANZBÜHLER: Did he in turn make any suggestions or
-instigate any plans for the war?
-
-WAGNER: No, these preparations and this war planning, in particular for
-the “Case White,” were exclusively the task of the Naval Operations
-Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Dönitz at any previous time hear about
-the military intentions of the Naval Operations Staff?
-
-WAGNER: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Admiral Dönitz hear of the military
-intentions of the Naval Operations Staff at a time earlier than
-necessary for the carrying out of the orders given him?
-
-WAGNER: No, he heard of it by means of the orders reaching him from the
-Naval Operations Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral Wagner, you know of the London
-Agreement of 1936 regarding submarine warfare. Did the Naval Operations
-Staff draw any conclusions from that agreement for their preparation for
-a war, in particular, for carrying on a possible economic war?
-
-WAGNER: The Prize Regulations still existing from the last war were
-revised and made to conform with the London Agreement. For that purpose
-a committee was formed which included representatives from the High
-Command of the Navy, the Foreign Office, the Reich Ministry of Justice,
-and scientific experts.
-
-FLOTTENRICHTER KRANZBÜHLER: Were these new Prize Regulations made known
-to the commandants some time before the war or were they communicated to
-them just when they were published shortly before the outbreak of the
-war?
-
-WAGNER: These new Prize Regulations were published in 1938 as an
-internal ordinance of the Navy, which was available for the purpose of
-training officers. During the autumn maneuvers of the Fleet in 1938 a
-number of exercises were arranged for the purpose of acquainting the
-officer corps with these new regulations. I, myself, at that time...
-
-THE PRESIDENT: Where are the new Prize Regulations you are referring to?
-
-FLOTTENRICHTER KRANZBÜHLER: I am talking about the regulations published
-on 26 August 1939, which are contained in my document book. They are on
-Page 137, in Volume III of my document book.
-
-THE PRESIDENT: Thank you.
-
-FLOTTENRICHTER KRANZBÜHLER: I beg your pardon, Mr. President; the date
-is not 26, but 28 August.
-
-THE PRESIDENT: The witness was saying that exercises were carried out?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, in the year 1938.
-
-THE PRESIDENT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: [_Turning to the witness._] Which
-conceptions did the Naval Operations Staff have after the beginning of
-the war regarding the development of the naval war against Britain?
-
-WAGNER: The Naval Operations Staff thought that Great Britain would
-probably start in where she had stopped at the end of the first World
-War. That meant that there would be a hunger blockade against Germany, a
-control of the merchandise of neutral countries, introduction of a
-system of control, the arming of merchant ships, and the delimitation of
-operational waters.
-
-FLOTTENRICHTER KRANZBÜHLER: I am now going to have the battle order of 3
-September 1939 shown to you. It is Document Dönitz-55. It can be found
-on Page 139, in Volume III of the document book. You will see from this
-that submarines, like all naval forces, had orders to adhere to this
-Prize Ordinance in the economic warfare.
-
-Then, at the end, you will find an order which I propose to read to you.
-This is on Page 140:
-
- “Order prepared for intensifying the economic war because of the
- arming of enemy merchant ships.
-
- “1) Arming of, and therefore resistance from, the majority of
- English and French merchant ships is to be expected.
-
- “2) Submarines will stop merchant ships only if own vessel is
- not endangered. Attack without warning by submarines is allowed
- against plainly recognized enemy merchant ships.
-
- “3) Battleships and auxiliary cruisers will watch for
- possibility of use of arms by merchant ships when stopped.”
-
-I should like to ask you whether this order was prepared long ago or
-whether it was improvised at the last moment?
-
-WAGNER: At the beginning of the war we were forced to improvise a great
-many orders we were issuing, because they were not prepared thoroughly.
-
-FLOTTENRICHTER KRANZBÜHLER: Did this order become operative at all?
-
-WAGNER: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Why not?
-
-WAGNER: After consultation with the Foreign Office, we had decided that
-we would strictly adhere to the London Agreement until we had clear-cut
-evidence of the British merchant navy being used for military purposes.
-We remembered from the last war the power which the enemy propaganda
-had, and we did not under any circumstances want to give anyone cause
-once more to decry us as pirates.
-
-FLOTTENRICHTER KRANZBÜHLER: When, at what stage, did the military use of
-enemy merchant ships become clear to the Naval Operations Staff?
-
-WAGNER: The fact that enemy merchant vessels were armed became clear
-after a few weeks of the war. We had a large number of reports about
-artillery fights which had occurred between U-boats and armed enemy
-merchant ships. Certainly one, and probably several boats were lost by
-us. One British steamer, I think it was called _Stonepool_, was praised
-publicly by the British Admiralty for its success in combating
-submarines.
-
-FLOTTENRICHTER KRANZBÜHLER: The Tribunal already has knowledge of the
-order of 4 October allowing attacks against all armed merchant ships of
-the enemy and also of the order of 17 October allowing attacks on all
-enemy merchant ships with certain exceptions.
-
-Were these orders the result of experiences which the Naval Operations
-Staff had regarding the military use of enemy merchant ships?
-
-WAGNER: Yes, exclusively.
-
-FLOTTENRICHTER KRANZBÜHLER: Both orders contain exceptions favoring
-passenger ships. They were not to be attacked even when they were
-members of an enemy convoy. To what were these exceptions due?
-
-WAGNER: They were due to an order from the Führer. At the beginning of
-the war he had stated that Germany did not have any intention of waging
-war against women and children. He wished, for that reason, that also in
-naval war any incidents in which women and children might lose their
-lives should be avoided. Consequently, even the stopping of passenger
-ships was prohibited. The military necessities of naval warfare made it
-very difficult to adhere to this order, particularly where passenger
-ships were traveling in enemy convoys. Later on, step by step, this
-order was altered as it became evident that there was no longer any
-peaceful passenger traffic at all and that enemy passenger ships were
-particularly heavily armed and used more and more as auxiliary cruisers
-and troop transport ships.
-
-FLOTTENRICHTER KRANZBÜHLER: Were the orders of the German Naval
-Operations Staff regarding the combating of armed enemy ships and later
-enemy ships as a whole made known to the British Admiralty?
-
-WAGNER: Neither side made its war measures known during the war, and
-that held true in this case also. But in October the German press left
-no doubt whatsoever that every armed enemy merchant ship would be sunk
-by us without warning, and later on it was equally well known that we
-were forced to consider the entire enemy merchant marine as being under
-military direction and in military use.
-
-These statements by our press must no doubt have been known to the
-British Admiralty and the neutral governments. Apart from that, and I
-think this was in October, Grossadmiral Raeder gave an interview to the
-press on the same theme.
-
-FLOTTENRICHTER KRANZBÜHLER: A memorandum of the Naval Operations Staff
-was issued in the middle of October: “On the Possibilities of
-Intensifying the War against Merchant Shipping”; I am going to have this
-memorandum shown to you. Its number is GB-224. After looking at this
-memorandum please tell me what its purpose was and what the memorandum
-contains.
-
-Mr. President, some extracts can be found on Page 199, in Volume IV of
-the document book.
-
-WAGNER: This memorandum was issued due to the situation that existed
-since the beginning of the war. On 3 September 1939 Britain had begun a
-total hunger blockade against Germany. Naturally that was not directed
-only against the fighting men, but against all nonfighting members,
-including women, children, the aged, and the sick. It meant that Britain
-would declare all food rations, all luxury goods, all clothing, as well
-as all raw materials necessary for these items, as contraband and would
-also exercise a strict control of neutral shipping of which Germany
-would be deprived insofar as it would have to go through waters
-controlled by Great Britain. Apart from that, England exercised a
-growing political and economic pressure upon the European neighbors of
-Germany to cease all commerce with Germany.
-
-That intention of the total hunger blockade was emphatically confirmed
-by the Head of the British Government, Prime Minister Chamberlain,
-during a speech before the House of Commons at the end of September. He
-described Germany as a beleaguered fort; and he added that it was not
-customary for beleaguered forts to be accorded free rations. That
-expression of the beleaguered fort was also taken up by the French
-press.
-
-Furthermore, Prime Minister Chamberlain stated around the beginning of
-October—according to this memorandum it was on 12 October—that in this
-war Britain would utilize her entire strength for the destruction of
-Germany. From this we drew the conclusion, aided by the experiences of
-the last World War, that England would soon hit German exports under
-some pretext or other.
-
-With the shadow of the total hunger blockade, which no doubt had been
-thoroughly prepared during long years of peace, creeping in upon us we
-now had a great deal to do to catch up, since we had not prepared for
-war against Great Britain. We examined, both from the legal and military
-point of view, the possibilities at our disposal by which we in turn
-might cut off Britain’s supplies. That was the aim and purpose of that
-memorandum.
-
-FLOTTENRICHTER KRANZBÜHLER: You are saying, therefore, that this
-memorandum contains considerations regarding means for countering the
-British measures with correspondingly effective German measures?
-
-WAGNER: Yes, that was definitely the purpose of that memorandum.
-
-FLOTTENRICHTER KRANZBÜHLER: Studying that memorandum you will find a
-sentence—C. 1. is the paragraph—according to which the Naval
-Operations Staff must remain basically within the limits of
-international law, but that decisive war measures would have to be
-carried out even if the existing international law could not be applied
-to them.
-
-Did this mean that international law was to be generally disregarded by
-the Naval Operations Staff, or what is the meaning of this sentence?
-
-WAGNER: That question was duly studied by the Naval Operations Staff and
-discussed at great length. I should like to point out that on Page 2 of
-the memorandum, in the first paragraph, it states that obedience to the
-laws of chivalry comes before all else in naval warfare. That, from the
-outset, would prevent a barbarous waging of war at sea. We did think,
-however, that the modern technical developments would create conditions
-for naval warfare which would certainly justify and necessitate further
-development of the laws of naval warfare.
-
-FLOTTENRICHTER KRANZBÜHLER: Which technical developments do you mean?
-
-WAGNER: I am thinking mainly of two points: First, the large-scale use
-of the airplane in naval warfare. As a result of the speed and wide
-range of the airplane, militarily guarded zones could be created before
-the coasts of all warfaring nations, and in respect to these zones one
-could no longer speak of freedom of the seas. Secondly, the introduction
-of electrical orientation equipment which made it possible, even at the
-beginning of the war, to spot an unseen opponent and to send fighting
-forces against him.
-
-FLOTTENRICHTER KRANZBÜHLER: It says in this memorandum that decisive war
-measures are to be taken even though they create new laws at sea. Did
-occasion arise for such measures?
-
-WAGNER: No; at any rate, not at once. In the meantime, I think on 4
-November, the United States of America declared the so-called American
-combat zone, and the specific reason given for it was that in that zone
-actual belligerent actions rendered the sea dangerous for American
-shipping. By this announcement some of the points of that memorandum
-were in immediate need of being revised. As a rule we remained within
-the limits of the measures as they had been employed by both parties
-during the first World War.
-
-FLOTTENRICHTER KRANZBÜHLER: By these measures do you mean the warning
-against navigating in certain zones?
-
-WAGNER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: According to some of the exhibits used by
-the Prosecution, Numbers GB-194 and 226, submarines were permitted to
-attack all ships without warning in certain areas, beginning with
-January 1940. The attacks were to be carried out, if possible, unseen,
-while maintaining the fiction that the ships struck mines.
-
-Will you please tell the Tribunal which sea lanes or areas were
-concerned in this? I shall have a sea-chart handed to you for that
-purpose. I am submitting it to the Tribunal as Exhibit Dönitz-93.
-
-Will you please explain what can be seen on that map.
-
-WAGNER: In the middle of the map you will find the British Isles. The
-large part of the ocean which is shaded on the edge shows the
-afore-mentioned American combat zone. The shaded parts of the sea near
-the British coast are those parts which were ordered to be German
-submarine operational zones. They were given letters from A to F in
-accordance with the time when they were set up.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you tell us up to which depth these
-German operational zones went?
-
-WAGNER: I think perhaps as far as the 200 meter line.
-
-FLOTTENRICHTER KRANZBÜHLER: Does this depth guarantee favorable use of
-mines?
-
-WAGNER: Yes, down to 200 meters the use of anchored mines is possible
-without any difficulty.
-
-FLOTTENRICHTER KRANZBÜHLER: In these operational zones certain dates
-have been entered. Will you please explain how it happened that on those
-particular dates, and in that sequence, these territories were made
-operational zones?
-
-WAGNER: All those areas were declared to be operational zones where our
-fighting forces came into contact with enemy traffic and a concentration
-of the enemy defense, resulting in main combat areas.
-
-To begin with, they were the zones at the northern and southern end of
-the German-mined zones which had been declared along the British East
-Coast and in the Bristol Channel. You can see, therefore, that Zone A
-lies to the east of Scotland and is dated 6 January. The Bristol Channel
-Zone is dated 12 January, and finally at the southern end of this danger
-zone, that is, to the east of London, there is the date of 24 January.
-
-Later on, according to the fluctuations of the actual fighting, further
-areas around the British Isles and then off the French Coast were
-designated.
-
-FLOTTENRICHTER KRANZBÜHLER: Up to what date did this development
-continue?
-
-WAGNER: The last zone was declared on 28 May 1940.
-
-FLOTTENRICHTER KRANZBÜHLER: Had neutrals been warned against navigating
-in these zones?
-
-WAGNER: Yes, an official note had informed neutral countries that the
-entire U.S.A. fighting zone had to be considered as being dangerous, and
-that they should negotiate the North Sea to the east and to the south of
-the German mine area which was north of Holland.
-
-FLOTTENRICHTER KRANZBÜHLER: What difference is there between the
-situation as shown by this map, and the German declaration of a blockade
-of 17 August 1940?
-
-That is, Mr. President, the declaration I have submitted as Dönitz-104,
-which can be found on Page 214 in Volume IV of the document book.
-
-WAGNER: As far as the limits of the danger zone are concerned, there was
-really no difference. This fact was also stated by Prime Minister
-Churchill in the House of Commons at the time. However, the difference
-which did exist was that up to that time we confined ourselves to the
-area I have just described, near the British Coast, whereas now we
-considered the entire U.S.A. combat zone as an operational zone.
-
-The declaration regarding a blockade was based on the fact that in the
-meantime France had been eliminated from the war, and that Britain now
-was the focal point of all belligerent action.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the German blockade zone in its entirety
-correspond exactly or more or less with the U.S.A. combat zone?
-
-WAGNER: It was nearly exactly the same as the U.S.A. combat zone. There
-were merely a few insignificant corrections.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I am submitting another
-sea-chart as Dönitz-92, in which...
-
-THE PRESIDENT: I think perhaps that would be a good time to break off
-then.
-
- [_A recess was taken._]
-
-FLOTTENRICHTER KRANZBÜHLER: Now, Mr. President, as Dönitz-94, I submit a
-chart of the German blockade zone dated 17 August.
-
-Admiral Wagner, just for the sake of repeating, what were the limits of
-the German blockade region in relation to the U.S. fighting zone?
-
-THE PRESIDENT: I thought you had already told us that. You told us that
-the blockade zone was the same as the American zone, didn’t you?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President, I thought that we had
-not been understood quite correctly before the recess.
-
-[_Turning to the witness._] What was the naval practice of the enemy as
-far as this operational zone was concerned? Was there any practice that
-they followed?
-
-WAGNER: Yes, the practice on the part of the enemy was identical with
-ours. In the areas controlled by us in the Baltic, in the eastern part
-of the North Sea, around Skagerrak and later on in the Norwegian and
-French waters, the enemy used every suitable weapon without giving
-previous warning, without notifying us in advance by which means of
-combat other ships were to be sunk—submarines, mines, aircraft, or
-surface vessels. In these regions the same thing applied to neutrals,
-and especially to Sweden.
-
-FLOTTENRICHTER KRANZBÜHLER: Now, I would like to confront you with a
-statement by the First Lord of the British Admiralty. You will find this
-on Page 208 of the document book, Volume IV. This statement is dated 8
-May 1940, and I have ascertained, Mr. President, that unfortunately it
-is wrongly reproduced in the British document book; so I shall quote
-from the original.
-
- “Therefore we limited our operations in the Skagerrak to the
- submarines. In order to make this work as effective as possible,
- the usual restrictions which we have imposed on the actions of
- our submarines were relaxed. As I told the House, all German
- ships by day and all ships by night were to be sunk as
- opportunity served.”
-
-I should like to submit this as Exhibit Dönitz-102.
-
-THE PRESIDENT: What is the difference that you were making in the copy
-we have before us—“...all ships were to be sunk by day and German ships
-by night...” Is that it?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. It should be corrected
-to read, “all German ships by day and all ships by night were to be
-sunk.”
-
-THE PRESIDENT: I see; I said it wrong—“and all ships by night.” Yes,
-very well.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral Wagner, what was the significance of
-this statement and this practice so far as the German ships were
-concerned?
-
-WAGNER: It means that all German ships by day and by night in this area
-were to be sunk without warning.
-
-FLOTTENRICHTER KRANZBÜHLER: And what does it mean for the neutral ships?
-
-WAGNER: It means that without warning all neutral ships in this area by
-night...
-
-THE PRESIDENT: Dr. Kranzbühler, surely the document speaks for itself.
-We don’t need to have it interpreted by a witness who isn’t a lawyer.
-
-FLOTTENRICHTER KRANZBÜHLER: Very well.
-
-[_Turning to the witness._] Then, tell me, please, from what period of
-time onward, according to German experiences, did this practice exist in
-the Skagerrak?
-
-WAGNER: With certainty from 8 April 1940, but I believe I recall that
-even on 7 April this practice was already in existence.
-
-FLOTTENRICHTER KRANZBÜHLER: Had this area at this period of time, that
-is, the 7th or 8th of April, already been declared a danger zone?
-
-WAGNER: No, the first declaration of danger zone for this area took
-place on 12 April 1940.
-
-FLOTTENRICHTER KRANZBÜHLER: Now I shall have a sea-chart handed to you
-dealing with the British danger zones, and this shall be Dönitz-92.
-Please explain the significance of this chart briefly to the Tribunal.
-
-WAGNER: This chart shows the danger zones in European waters as declared
-by England on the basis of German data. The following areas are of
-special significance:
-
-First of all, the area in the Bay of Helgoland which on 4 September
-1939, that is, on the second day of the war, was declared dangerous.
-Then the afore-mentioned danger zone, Skagerrak and the area south of
-Norway, which was declared on 12 April 1940. Then the danger zone in the
-Baltic, on 14 April 1940; and following upon that, the other danger
-zones as declared in the course of the year 1940.
-
-I should like to remark also that, according to my recollection, these
-danger zones were all declared mine danger zones, with the exception of
-the Channel zone and of the Bay of Biscay, on 17 August 1940. These were
-generally dangerous zones.
-
-FLOTTENRICHTER KRANZBÜHLER: Were these areas actually dominated by the
-British sea and air forces, or did German traffic still continue?
-
-WAGNER: In these areas there was even very lively German traffic. Thus
-the Baltic Sea, which in its entire expanse from East to West, about 400
-nautical miles in length, had been declared a danger zone, was in
-reality controlled by us during the entire war. In this area there was
-an extensive freight traffic, the entire ore traffic from Sweden and the
-corresponding exports to Sweden.
-
-FLOTTENRICHTER KRANZBÜHLER: Was there only traffic of German ships or
-also of neutral ships?
-
-WAGNER: This traffic was in German and Swedish ships, but other neutrals
-also participated in this traffic, for instance, Finland. A similar
-situation applied in the Skagerrak where, besides the German supply
-traffic, a large part of the foodstuffs for the Norwegian population was
-transported. Of course, during this time both German and neutral ships
-were lost.
-
-FLOTTENRICHTER KRANZBÜHLER: I assume, therefore, that both German and
-neutral seamen lost their lives. Is that correct?
-
-WAGNER: Of course, personnel losses took place as well.
-
-FLOTTENRICHTER KRANZBÜHLER: Were the German merchantmen, at the time
-when these operational zones were declared, armed—that is, at the end
-of 1939 or the beginning of 1940?
-
-WAGNER: Until the middle of 1940 German merchantmen were not at all
-armed. From then on they were comparatively slightly armed, especially
-with antiaircraft weapons.
-
-Transport ships of the Navy had always been armed, that is, government
-ships, which supplied German cruisers and auxiliary cruisers in the
-Atlantic.
-
-FLOTTENRICHTER KRANZBÜHLER: Now I shall submit to you a document of the
-Prosecution, Exhibit GB-193, which is found in the Prosecution’s
-document book on Page 29. This document deals with a proposal by the
-Commander of the U-boats that “...in the Channel, ships with blacked-out
-lights may be sunk without warning.” Can you tell me just whose ideas we
-are dealing with in the statements set forth in this document?
-
-WAGNER: From the signature found in this document it appears that we are
-concerned with a document by a U-boat expert in the Naval Operations
-Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: Who was that?
-
-WAGNER: Lieutenant Fresdorf, who was my subordinate.
-
-FLOTTENRICHTER KRANZBÜHLER: Are these statements in accord with the
-actual circumstances and were they approved by the Naval Operations
-Staff, or just what was the situation?
-
-WAGNER: Here we are concerned with the rather romantic ideas of a young
-expert, ideas which were in no way commensurate with the situation. The
-situation was rather as follows: At this time, that is, in September
-1939, the second wave of the British Expeditionary Corps left England
-for France. The transports ran mostly during the night and were blacked
-out. At this same time an order existed according to which French ships
-were neither to be stopped nor attacked; this was still in force for
-political reasons.
-
-It is quite obvious that at night a blacked-out French ship cannot be
-told from a blacked-out English ship, just as at night a merchant ship
-cannot, or only with difficulty, be told from a warship.
-
-These orders, therefore, meant that at night, in order to avoid a
-mistake, practically no shooting could be done, and therefore the
-English troop transport was entirely unhampered. This brought about
-really grotesque situations. It was ascertained that a German U-boat in
-a favorable position of attack let a fully-loaded English troop
-transport ship of 20,000 tons pass by, since there was the possibility
-of making a mistake. The Naval Operations Staff agreed completely with
-the commanders of the U-boats that no naval war could be carried on in
-this manner. If a blacked-out ship sails in a belligerent area, better
-still, in an area where there is a large supply and troop transport
-traffic, it is liable to suspicion and cannot expect the war to be
-halted at night for its sake.
-
-Therefore it was not a question of our explaining or excusing ourselves
-for sinking a ship without warning because we had mistaken it, but the
-obvious fact at hand was that the blacked-out ship alone was to blame if
-it was not properly recognized and was sunk without warning.
-
-FLOTTENRICHTER KRANZBÜHLER: In these notes we find that the commanders
-of U-boats, when sinking a merchant ship without warning, were required
-to make the notation in their log that they had taken it for a warship
-and that an order, a verbal order, to this effect was to be given to the
-commanders of the U-boats. Is that correct, and was it done in actual
-practice?
-
-WAGNER: No, we never did anything like that.
-
-FLOTTENRICHTER KRANZBÜHLER: Was the Flag Officer of the U-boats given
-strict and clear orders that blacked-out ships at night in the Channel
-might be attacked without warning?
-
-WAGNER: Yes. This clear order was issued, but nothing more.
-
-FLOTTENRICHTER KRANZBÜHLER: If the statements of this young officer are
-not correct, and if no orders were issued accordingly, how is it that
-these things can be found in the War Diary of the Naval Operations
-Staff?
-
-WAGNER: This paper is not a direct part of the War Diary of the Naval
-Operations Staff. The War Diary itself, in which the daily happenings
-were recorded, was signed by me, by the Chief of Staff of the Naval
-Operations Staff, and by the Commander-in-Chief of the Navy. Here we are
-concerned with the entry of an expert which was destined for a file
-collection and motivated by the War Diary.
-
-FLOTTENRICHTER KRANZBÜHLER: That means, then, that the considerations
-and opinions of experts were collected and filed no matter whether they
-were approved of or put into actual practice?
-
-WAGNER: Yes. All of these files were collected for later purposes.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations Staff receive news
-of the incidents which happened after the sinking of the _Laconia_, and
-did it approve of the measures taken by the Commander of the U-boats?
-
-WAGNER: The Naval Operations Staff, then as always, listened in on all
-the wireless messages of the Commander-in-Chief in the _Laconia_ case.
-It approved of the measures taken by him, but it would not have been at
-all surprised if the Commander of the U-boats had stopped the entire
-rescue work at the very first air attack upon the U-boats.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations Staff know of the
-order of the Commander of the U-boats, dated 17 September, in which
-rescue work by U-boats was expressly prohibited?
-
-WAGNER: This order given by the Commander of the U-boats was also heard
-by wireless.
-
-FLOTTENRICHTER KRANZBÜHLER: Was this order interpreted by the Naval
-Operations Staff to the effect that it was to be an order for the
-shooting of shipwrecked people?
-
-WAGNER: No; no one ever had this idea.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, at this point I should like
-to put several questions to the witness which have a bearing on the
-credibility of the statements made by the witness Heisig. But I should
-like to ask in advance whether there are any objections to my putting
-these questions, since my documents referring to the witness Heisig were
-not ruled admissible.
-
-THE PRESIDENT: Was the object of the questions which you were offering
-to put to this witness to show that the witness Heisig was not a witness
-who could be believed upon his oath? Was that your object?
-
-FLOTTENRICHTER KRANZBÜHLER: The general object is to show how the
-testimony of this witness originated; that is, the testimony which was
-submitted to the Court.
-
-THE PRESIDENT: What do you mean by “originated”?
-
-FLOTTENRICHTER KRANZBÜHLER: That is to say, what influence on the
-witness Heisig forms the basis of this testimony.
-
-THE PRESIDENT: What is the exact question you wanted to ask? You may
-state it, and we will let the witness wait until we have seen what the
-question is.
-
-FLOTTENRICHTER KRANZBÜHLER: I should like to ask the witness, “Did the
-witness Heisig report to you about the manner in which his affidavit,
-which was submitted to the High Tribunal as evidence by the Prosecution,
-originated?”
-
-THE PRESIDENT: The question that you put, as I took it down, was: What
-did the witness Heisig report to you about the way his affidavit came
-about? Is that the question?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Your Honor.
-
-THE PRESIDENT: What are you purporting to prove by getting the reports
-that Heisig may have made to this witness?
-
-FLOTTENRICHTER KRANZBÜHLER: I should like to prove therewith, Mr.
-President, that Heisig was under a certain influence, that is, that he
-wrongly assumed that he could help a comrade through his testimony.
-
-THE PRESIDENT: Who applied for Heisig’s affidavit?
-
-FLOTTENRICHTER KRANZBÜHLER: I did not understand, Mr. President.
-
-THE PRESIDENT: Heisig has given an affidavit, has he not?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: That was for the Prosecution, was it?
-
-FLOTTENRICHTER KRANZBÜHLER: That is right.
-
-THE PRESIDENT: And have you asked to cross-examine him?
-
-FLOTTENRICHTER KRANZBÜHLER: I interrogated him about this affidavit, Mr.
-President.
-
-THE PRESIDENT: You did?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, I did question him; and I called his
-attention to the contradictions between his affidavit and his testimony
-here in Court.
-
-SIR DAVID MAXWELL-FYFE: My Lord, I have not read the transcript on this
-point for about 10 days. But I did read it then, and my recollection is
-that it was never suggested to the witness Heisig that he gave his
-affidavit under pressure, which I gather is the suggestion now. Your
-Lordship will remember that although we had the affidavit, we called the
-witness Heisig. He said that what was in his affidavit was true; and
-then he gave his evidence, giving a detailed account of all the relevant
-matters. So we made it perfectly possible for Dr. Kranzbühler to
-cross-examine him at the time and to show any differences, as Dr.
-Kranzbühler just said he purported to do, between the affidavit and his
-oral evidence.
-
-THE PRESIDENT: Dr. Kranzbühler has just said, I think, that he did
-actually cross-examine him.
-
-SIR DAVID MAXWELL-FYFE: He did cross-examine him on that point—on any
-differences that appeared between his affidavit and his oral testimony.
-But he was here to be cross-examined, and if it is going to be suggested
-that the affidavit was obtained by improper means, that suggestion ought
-to have been made at the time, and then it could have been dealt with.
-
-My Lord, I object to its coming in at this stage, after the witness
-Heisig has been away, and therefore no opportunity has been given to us
-either to investigate the matter or to have the evidence there, which
-could have been done when Heisig gave his evidence; and we could have
-been prepared for any contradictory evidence now.
-
-My Lord, as a matter of strictness, surely, if I may put it that way,
-there are two distinct lines. If it was a question of whether Heisig’s
-evidence was admissible or whether it had been obtained under pressure,
-then it would be quite possible to have this trial within a trial as to
-whether it was admissible or not. But if this evidence is, broadly,
-merely directed to the credibility of Heisig’s evidence, then I
-respectfully submit it falls within the same objections I made on
-Saturday to general evidence directed against the credibility of a
-witness.
-
-THE PRESIDENT: I do not think it is suggested that there was any
-pressure put by the Prosecution upon Heisig. I do not understand that
-that is what you are suggesting, Dr. Kranzbühler, is it?
-
-FLOTTENRICHTER KRANZBÜHLER: No, no pressure; but the picture as drawn
-was not true.
-
-SIR DAVID MAXWELL-FYFE: I understood Dr. Kranzbühler—if I misunderstood
-him, so much the easier—I understood him to say that he wanted to give
-this evidence as to certain influence. I thought that was the word used.
-
-THE PRESIDENT: I think he meant, not influence exerted by the
-Prosecution, but exerted by a mistaken notion in the witness’ own mind
-that he was helping a friend.
-
-SIR DAVID MAXWELL-FYFE: I see. My Lord, then that merely goes to
-credibility and it does then fall within my general objection; that is,
-if we are going to have evidence as directed on credibility, we go on
-_ad infinitum_.
-
-THE PRESIDENT: Dr. Kranzbühler, the Tribunal will allow this question to
-be put in this particular instance, but they make no general rule as to
-the admissibility of such questions.
-
-FLOTTENRICHTER KRANZBÜHLER: Thank you very much, Mr. President.
-
-Admiral Wagner, in December you were in the prison here together with
-the witness Heisig. Is that correct?
-
-WAGNER: Yes, from the first until the fifth of December.
-
-FLOTTENRICHTER KRANZBÜHLER: And what did Heisig tell you about the
-underlying considerations of his affidavit?
-
-WAGNER: He told me the following personally: At the interrogation he had
-been told that Lieutenant Hoffmann, officer of the watch of
-Kapitänleutnant Eck, had testified that at that time he had listened to
-the speech by Admiral Dönitz at Gotenhafen in the autumn of 1942, and
-that he had considered this as a demand for the killing of survivors of
-shipwrecks. Heisig had been told:
-
- “If you confirm this testimony of Hoffmann, then you will save
- not only Eck and Hoffmann, but also two others who would have
- been sentenced to death. You will prevent any kind of judicial
- proceeding against Captain Möhle from being instituted. Of
- course, you will thus incriminate Grossadmiral Dönitz but the
- material against Admiral Dönitz is of such tremendous weight
- that his life has been forfeited anyway.”
-
-Further he told me, and without prompting, that at that time, on the
-occasion of the speech by the Admiral Dönitz, he had been deeply
-distressed. He had just returned from Lübeck, where he had experienced
-and seen the frightful consequences of an air attack; that is he had
-perhaps not experienced it, but at least he had seen the consequences.
-His mind was set on revenge for these brutal measures, and he considered
-it possible that this emotional state might have influenced his
-interpretation of Grossadmiral Dönitz’ speech.
-
-FLOTTENRICHTER KRANZBÜHLER: Now we shall turn to a different point.
-
-THE PRESIDENT: Sir David.
-
-SIR DAVID MAXWELL-FYFE: Yes, My Lord.
-
-THE PRESIDENT: If the Prosecution desire to do so, they can, of course,
-recall Heisig for the purpose of investigating this further.
-
-SIR DAVID MAXWELL-FYFE: If Your Lordship pleases, Heisig is no longer
-here; that is the difficulty when this is done in this order. However,
-we can consider the matter, My Lord, and we are grateful to the Tribunal
-for the permission.
-
-THE PRESIDENT: Is Heisig not in custody? Is that what you mean?
-
-SIR DAVID MAXWELL-FYFE: Yes, My Lord, he is no longer in custody.
-
-FLOTTENRICHTER KRANZBÜHLER: He is studying medicine at Munich; he can be
-very easily reached.
-
-SIR DAVID MAXWELL-FYFE: Thank you.
-
-FLOTTENRICHTER KRANZBÜHLER: From when on were you admiral for special
-tasks attached to the Commander-in-Chief of the Navy and what were your
-tasks in that capacity?
-
-WAGNER: From the end of June 1944 onward, and the purpose of my
-assignment was the following: After the success of the Anglo-Saxon
-invasion in northern France, Admiral Dönitz counted on an increased
-tension in the military situation. He believed that one day he might be
-forced to leave the Naval Operations Staff, either to remain permanently
-at the Führer’s headquarters, or at least for a longer period of time,
-in order to keep up with the development of the entire war situation, or
-because a transfer of the Naval Operations Staff might be necessary
-because of the increasingly heavy air attacks on Berlin. For this
-purpose the Grossadmiral wanted an older and experienced naval officer
-in his immediate vicinity, an officer who was well-versed in the
-problems of sea warfare and who was acquainted with the duties and tasks
-of the Naval Operations Staff.
-
-My mission was, therefore, a sort of liaison between the
-Commander-in-Chief of the Navy, the Naval Operations Staff and the other
-offices of the High Command for the duration of the Grossadmiral’s
-absence from the High Command.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you accompany the Grossadmiral regularly
-on his visits to the Führer’s headquarters?
-
-WAGNER: Yes; from the period mentioned I was present regularly.
-
-FLOTTENRICHTER KRANZBÜHLER: Now I hand you a list of these visits which
-has been submitted by the Prosecution as GB-207. This may be found in
-the document book of the Prosecution on Page 56. Please look at this
-list and tell me whether the dates recorded there are essentially
-correct.
-
-WAGNER: The dates are essentially correct. At the end the list is not
-complete, for the period from 3—no; from 10 April until 21 April 1945
-is missing. On that day the Grossadmiral participated for the last time
-at the conferences in the Führer’s headquarters. Beyond that, it seems
-to me that the list of the people present is incomplete. I also do not
-know according to what point of view or with what idea in mind this was
-compiled.
-
-FLOTTENRICHTER KRANZBÜHLER: If you carefully examine this list of
-people, can you tell me whether Admiral Dönitz was always with these
-people on the dates mentioned, or does this mean only that these persons
-were at the Führer’s headquarters at the same time he was? Can you still
-recall these points?
-
-WAGNER: Yes. If these people participated in the military conferences,
-then Admiral Dönitz at least saw them. Of course, people in high
-positions were frequently at the Führer’s headquarters who did not
-participate in the military conferences and whom the Grossadmiral did
-not see unless he had special conversations with them.
-
-FLOTTENRICHTER KRANZBÜHLER: For what reason did Admiral Dönitz...
-
-SIR DAVID MAXWELL-FYFE: My Lord, upon this point, if the witness is
-saying that any one of these minutes is incomplete, I should be very
-grateful if he would specify it, because we can get the original German
-minutes here and confirm the affidavit.
-
-FLOTTENRICHTER KRANZBÜHLER: I believe the witness said only that
-additional people participated in these discussions and that, at the
-end, some of the conferences are lacking. However, I do not know just
-what details I should question him about. Perhaps the Prosecution will
-deal with that matter later in cross-examination?
-
-THE PRESIDENT: But Sir David wants him to specify which are the ones, if
-he can.
-
-FLOTTENRICHTER KRANZBÜHLER: Very well.
-
-[_Turning to the witness._] Can you tell me more specifically as to any
-one of these dates, whether those present are correctly named or whether
-there were other people present, or whether Grossadmiral Dönitz was not
-present?
-
-WAGNER: I can tell you exactly that this list is incorrect because it
-never occurred that neither Field Marshal Keitel nor Generaloberst Jodl
-was present at the headquarters. For example, on 4 March 1945 neither
-one of these men is mentioned, nor on 6 March or 8 March. Therefore I
-conclude that this list cannot be complete. In other places, however,
-the name of Jodl appears; for example, on 18 March 1945.
-
-FLOTTENRICHTER KRANZBÜHLER: The decisive point seems to be whether
-Admiral Dönitz was present in the Führer’s headquarters on all of these
-days. Can you confirm that point?
-
-WAGNER: Of course, from memory I cannot confirm that with reference to
-every single day. However, I am under the impression that the list is
-correct in that connection, for the frequency of the visits of the
-Grossadmiral corresponds with the notes in this list, and spot checks
-show me that the dates are correct.
-
-FLOTTENRICHTER KRANZBÜHLER: Why did Grossadmiral Dönitz come to the
-Führer’s headquarters? What were the reasons?
-
-WAGNER: The chief reason for the frequent visits, which became even more
-frequent toward the end of the war, was the desire to keep up with the
-development of the general war situation so that he, Dönitz, could lead
-the Navy and carry on the naval war accordingly. Beyond that, questions
-usually came up which the Admiral could not decide for himself out of
-his own authority and which, because of their importance, he wanted to
-bring up personally or to discuss with the representatives of the OKW
-and of the General Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: In each of these cases was there a personal
-report of the Grossadmiral to the Führer?
-
-WAGNER: This is what happened: Most of the problems and reports for the
-Führer were taken care of during the conference in connection with the
-Admiral’s report on the naval warfare situation.
-
-FLOTTENRICHTER KRANZBÜHLER: One moment. Was the Admiral always present
-at the military conferences when he was at the headquarters?
-
-WAGNER: The Admiral took part at least in the discussion of the main
-session every day.
-
-FLOTTENRICHTER KRANZBÜHLER: And what is the main session?
-
-WAGNER: At noon every day there was a military conference which lasted
-several hours. This was the main conference. In addition, for months,
-sessions, including special sessions, were held in the evening or at
-night, at which the Admiral participated only when very important
-matters were to be discussed—matters of special importance for the
-conduct of the war. Then, as I said, he participated.
-
-FLOTTENRICHTER KRANZBÜHLER: Now you say that most of the questions which
-the Grossadmiral had to put to the Führer were taken care of at the
-military conference. Were there any personal reports besides this?
-
-WAGNER: Personal reports on the part of the Grossadmiral to Hitler took
-place very seldom; on the other hand, personal discussions with the OKW
-and the other military offices at the headquarters took place daily.
-
-FLOTTENRICHTER KRANZBÜHLER: Now, I would like to know something more in
-detail about this so-called “Lagebesprechung,” the conferences.
-
-The Prosecution seem to consider this as a sort of War Cabinet at which,
-for instance, Ribbentrop would report about foreign policies, Speer
-about questions of production, Himmler about security questions. Is this
-a correct picture? Who took part in these sessions, what people
-participated regularly and who attended only once in a while?
-
-WAGNER: The participants at the conferences were generally the
-following:
-
-Regular participants: from the OKW, Field Marshal Keitel, General Jodl,
-General Buhle, Post Captain Assmann, Major Büchs, and a few more Chiefs
-of Staff. Then the Chief of the General Staff of the Army with one or
-two aides, and as a rule also the Chief of the General Staff of the Air
-Force with one aide. Further regular participants were: the Chief of the
-Army Personnel Office, who was Chief Adjutant to the Führer; General
-Bodenschatz, until 20 July 1944; Vice Admiral Voss who was the permanent
-deputy of the Grossadmiral; Gruppenführer Fegelein, as Himmler’s
-permanent deputy; Ambassador Hewel; Minister Sonnleitner, permanent
-deputy of the Foreign Minister; Reich Press Chief Dr. Dietrich.
-Frequently the following participated: the Commander-in-Chief of the
-Luftwaffe; less frequently, Himmler. In addition to these there was a
-varying participation on the part of special officers, mainly from the
-General Staff of the Army, and on the part of higher front commanders of
-the Army and of the Air Force who happened to be in headquarters. Beyond
-that, toward the end of the war Reich Minister Speer in his capacity as
-Armament Minister also participated in an increasing measure, and in
-rare cases the Reich Foreign Minister Von Ribbentrop, both as listeners
-at the conferences. I believe that is the complete list.
-
-FLOTTENRICHTER KRANZBÜHLER: Who reported at these conferences and what
-was reported on?
-
-WAGNER: These sessions were for the sole purpose of informing Hitler
-about the war situation—about the Eastern situation through the General
-Staff of the Army, and through the OKW about the situation in all other
-theaters of war and concerning all three branches of the Wehrmacht. The
-report took place as follows:
-
-First of all, the Chief of General Staff of the Army reported about the
-Eastern situation; then Generaloberst Jodl reported on the situation in
-all other theaters of war on land. Next, Post Captain Assmann of the OKW
-reported on the naval situation. In between, frequent, often hour-long,
-conversations took place which dealt with special military problems,
-panzer problems, aerial problems and such. And after the aerial problems
-were dealt with the discussion was at an end, and we left the room. I
-frequently saw that Ambassador Hewel went in to Hitler with a batch of
-reports, apparently from the Foreign Office, and reported on them
-without the rest of us knowing what they contained.
-
-FLOTTENRICHTER KRANZBÜHLER: In these conferences was there voting or was
-there consultation, or who gave the orders?
-
-WAGNER: In these conferences all military questions were discussed and
-frequently decisions were reached by the Führer, that is, if no further
-preparations were necessary for a decision.
-
-FLOTTENRICHTER KRANZBÜHLER: What for example did the Foreign Minister
-Von Ribbentrop do there when he was present?
-
-WAGNER: I only saw Foreign Minister Von Ribbentrop perhaps five or six
-times at these conferences, and I cannot remember that he ever said
-anything during the entire session. He was only present at the
-conference for his own information.
-
-FLOTTENRICHTER KRANZBÜHLER: How about Minister Speer, what did he do?
-
-WAGNER: Minister Speer also very seldom brought in armament problems
-during the discussion. I know that questions of armament were always
-discussed between Hitler and Speer in special discussions. However, some
-exceptions may have occurred.
-
-FLOTTENRICHTER KRANZBÜHLER: What was Himmler doing there, or his
-permanent deputy Fegelein? Did they discuss questions of security, or
-what was their mission?
-
-WAGNER: No. During the military conference security problems were never
-discussed. Himmler and his deputy appeared very frequently in connection
-with the Waffen-SS, and Fegelein had always to give reports about the
-setup, organization, arming, transportation and engagement of the SS
-divisions. At this time the SS divisions, according to my impression,
-still played a very important part, for ostensibly they represented a
-strategic reserve and were much discussed.
-
-FLOTTENRICHTER KRANZBÜHLER: I have a record of the meeting which was
-written by you. It has the Number GB-209. It is not found in the
-document book. It says in the third paragraph—and I am just reading one
-sentence:
-
- “The Deputy of the Reichsführer-SS at the Führer’s headquarters,
- SS Gruppenführer Fegelein, transmits the request of the
- Reichsführer as to when he can count on the arrival of the
- ‘Panther’”—those are tanks—“coming from Libau.”
-
-Is this typical of SS Gruppenführer Fegelein’s work?
-
-WAGNER: Yes. That was the kind of questions which were dealt with at
-every one of these sessions.
-
-FLOTTENRICHTER KRANZBÜHLER: At the end of the war Kaltenbrunner appeared
-several times also. Did he speak or report?
-
-WAGNER: I cannot remember one single utterance on Kaltenbrunner’s part
-during one of these military conferences.
-
-FLOTTENRICHTER KRANZBÜHLER: What role did Admiral Dönitz play at the
-session discussions?
-
-WAGNER: Even when Grossadmiral Dönitz was present the naval situation
-was reported by the deputy from the OKW, Commodore Assmann. However, the
-Admiral used this occasion to present, in connection with the individual
-theaters of war, or in summary at the end, those questions which he had
-in mind. The Admiral was neither asked nor did he give any opinion on
-questions dealing with air or land warfare which had no connection with
-the conduct of the naval war. In his statements he strictly confined
-himself to the sphere of the Navy, and very energetically objected if
-someone else during the session tried to interfere in questions of naval
-warfare.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have come to a break. If
-the Tribunal agrees to declare a recess...
-
-THE PRESIDENT: Very well. We will adjourn.
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-THE PRESIDENT: The Tribunal will adjourn this afternoon at 4:30 in order
-to sit in closed session.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral Wagner, as time went on a close
-relationship developed between Admiral Dönitz and Adolf Hitler. Was this
-due to the fact that the Admiral was particularly ready to comply with
-the Führer’s wishes?
-
-WAGNER: No, not at all. Admiral Dönitz’ activity as Commander-in-Chief
-of the Navy began with a very strong opposition to Hitler. It was
-Hitler’s intention to scrap the large ships of the Navy, that is to say,
-the remaining battleships and cruisers. Admiral Raeder had already
-rejected that plan.
-
-FLOTTENRICHTER KRANZBÜHLER: That story is already known, Admiral. You
-need not go into it in detail.
-
-WAGNER: Very well. Apart from that, Hitler’s respect for Dönitz was due
-to the fact that every statement which the Admiral made was absolutely
-reliable and absolutely honest. The Admiral attached particular
-importance to the fact that particularly unfavorable developments,
-failures, and mistakes were to be reported at headquarters without
-digression, objectively, and simply. As an example, I should like to
-mention that the Admiral had given me the order...
-
-THE PRESIDENT: I do not think we need examples of that sort of thing.
-Surely the general statement is quite sufficient.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the Admiral in any way show himself
-particularly willing to comply with the Führer’s political wishes or
-those of the Party?
-
-WAGNER: No. Such wishes of the Party were, in my opinion, only put to
-the Navy in three cases. One was the question of the churches, which for
-the most part came up during the time of Admiral Raeder. I think it is
-generally known that the Navy retained its original religious
-organization and, in fact, extended it as the Navy grew.
-
-The second request made by the Party was that, modeled on the Russian
-example, political commissars should be set up within the Armed Forces.
-On that occasion Admiral Dönitz went to see Hitler and prevented the
-carrying out of that plan. When after 20 July 1944 Bormann nevertheless
-succeeded in getting the so-called “NSFO”—the National Socialist
-Leadership Officers—introduced into the Armed Forces, it did not happen
-in the way the Party wished, by appointing political commissars. It was
-merely done by using officers who were under the jurisdiction of the
-commander and who could not in any way interfere with the leadership of
-the troops. The third case was the intention on the part of the Party to
-take away from, the Armed Forces the political penal cases.
-
-FLOTTENRICHTER KRANZBÜHLER: This case is also already known, Admiral.
-You kept the records of the visits at the Führer’s headquarters, is that
-correct?
-
-WAGNER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: A number of these records have been
-introduced as evidence in this Court. Will you please explain to the
-Tribunal what was the purpose of keeping these records of visits of
-commanders-in-chief to the Führer’s headquarters?
-
-WAGNER: The Chief of the Naval Operations Staff, the Chief of the Naval
-Armaments, and the Chief of the General Navy Department—that is to say,
-the three leading men in the High Command of the Navy—were to be
-informed by means of these records of all happenings which took place in
-the presence of the Admiral, as far as they were of any interest to the
-Navy. That was one of my tasks.
-
-FLOTTENRICHTER KRANZBÜHLER: You have just said “informed about
-happenings which took place in the presence of the Admiral.” Does that
-mean that he himself must have heard everything that has been put down
-in these records?
-
-WAGNER: Not necessarily. It happened quite frequently that during
-situation reports, when they took place in a large room and when
-subjects were discussed which did not interest him so much, the Admiral
-would retire to another part of the room and deal with some business of
-his own or discuss Navy questions with other participants in the
-meeting. It was possible that on such occasions I heard things and put
-them down in the record which the Admiral himself did not hear. But, of
-course, he would know about them later when he saw my record.
-
-FLOTTENRICHTER KRANZBÜHLER: I am going to have shown to you one of your
-own records of discussions on 20 February 1945. It is Exhibit Number
-GB-209, and it is on Page 68 of the document book of the Prosecution.
-This deals with considerations regarding the renouncing of the Geneva
-Convention. Will you please describe exactly what happened as you
-remember it?
-
-WAGNER: Approximately two or three days before the date in this
-record—in other words, on or about 17 or 18 February 1945—Admiral Voss
-telephoned me from headquarters, which at that time was situated in
-Berlin, and informed me that in connection with Anglo-Saxon propaganda
-to induce our troops to desert in the West, Hitler had stated his
-intention to leave the Geneva Convention.
-
-FLOTTENRICHTER KRANZBÜHLER: What did he hope to achieve?
-
-WAGNER: According to my first impression at the time, the intention was
-evidently to express to the troops and the German people that captivity
-would no longer bring any advantage. Thereupon, I immediately telephoned
-to the Naval Operations Staff, since I considered the intention to be
-completely wrong, and I asked them for a military opinion and an opinion
-from the point of view of international law.
-
-On the 19th, when taking part in the situation discussion, Hitler once
-more referred to this question, but this time not in connection with
-happenings on the western front; but in connection with the air attacks
-by the western enemies on open German towns—attacks had just been made
-on Dresden and Weimar.
-
-He ordered the Admiral to examine the effects of leaving the Geneva
-Convention from the point of view of naval warfare. An immediate answer
-was not expected and it was not given. Generaloberst Jodl was also quite
-strongly opposed to these intentions and he sought the Admiral’s
-support. Thereupon it was agreed to have a conference and that is the
-conference which is mentioned in the record under Figure 2.
-
-FLOTTENRICHTER KRANZBÜHLER: That is the conference of 20 February,
-Admiral?
-
-WAGNER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Who participated in that conference?
-
-WAGNER: Admiral Dönitz, Generaloberst Jodl, Ambassador Hewel, and
-myself.
-
-FLOTTENRICHTER KRANZBÜHLER: What was the subject?
-
-WAGNER: The subject was the Führer’s intention of renouncing the Geneva
-Convention. The result was the unanimous opinion that such a step would
-be a mistake. Apart from military consideration we especially held the
-conviction that by renouncing the Geneva Convention both the Armed
-Forces and the German people would lose confidence in the leadership,
-since the Geneva Convention was generally considered to be the
-conception of international law.
-
-FLOTTENRICHTER KRANZBÜHLER: In your notes there is a sentence, “One
-would have to carry out the measures considered necessary without
-warning and at all costs ‘to save face’ with the outer world.” What is
-the significance of that sentence?
-
-WAGNER: That sentence means that on no account should there be any
-irresponsible actions. If the leaders considered it necessary to
-introduce countermeasures against air attacks on open German towns, or
-against the propaganda for desertion in the West, then one should
-confine oneself to such countermeasures which appear necessary and
-justifiable. One should not put oneself in the wrong before the world
-and one’s own people by totally repudiating all the Geneva Conventions
-and announce measures which went far beyond what appeared to be
-necessary and justifiable.
-
-FLOTTENRICHTER KRANZBÜHLER: Were any concrete measures discussed in this
-connection or were any such measures even thought of?
-
-WAGNER: No. I can remember very well that no specific measures were
-discussed at all during the various conferences. We were mainly
-concerned with the total question of whether to repudiate the Geneva
-Convention or not.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you ever learn anything about a
-so-called intention on Adolf Hitler’s part to shoot 10,000 prisoners of
-war as a reprisal for the air attack on Dresden?
-
-WAGNER: No, I have never heard anything about that.
-
-FLOTTENRICHTER KRANZBÜHLER: The expression “to save face”—doesn’t that
-mean secrecy, hiding the true facts?
-
-WAGNER: In my opinion it was certain that there was no question of
-secrecy, for neither the countermeasures against air attacks nor the
-measures of intimidation against desertion could be effective if they
-were concealed.
-
-FLOTTENRICHTER KRANZBÜHLER: How long did this whole conversation which
-you recorded last?
-
-WAGNER: Will you please tell me which conversation you mean?
-
-FLOTTENRICHTER KRANZBÜHLER: The discussion of 20 February which contains
-the sentences which I have just read to you.
-
-WAGNER: It took perhaps ten minutes or a quarter of an hour.
-
-FLOTTENRICHTER KRANZBÜHLER: So that your record is a very brief
-condensed summary of the conversation?
-
-WAGNER: Yes, it only contains the important points.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Admiral Dönitz also submit his
-objections to the Führer?
-
-WAGNER: As far as I recollect, it never reached that point. One became
-convinced that Hitler, as soon as he put his questions to the Admiral,
-could gather from the Admiral’s expression and the attitude of the
-others that they rejected his plans. We passed our views on to the High
-Command of the Armed Forces in writing and heard no more about the whole
-matter.
-
-FLOTTENRICHTER KRANZBÜHLER: I am now going to show you another record
-which is submitted under GB-210. It is on the next page of the document
-book of the Prosecution and it refers to conferences at the Führer’s
-headquarters from 29 June to 1 July 1944.
-
-You will find an entry under the date of 1 July which reads, “In
-connection with the general strike in Copenhagen, the Führer says that
-terror can be subdued only with terror.” Was this statement made during
-a conversation between Hitler and Admiral Dönitz or in which connection?
-
-WAGNER: This is a statement made by Hitler during a situation discussion
-and addressed neither to Admiral Dönitz nor to the Navy.
-
-FLOTTENRICHTER KRANZBÜHLER: Well, if it was not addressed to the Navy,
-then why did you include it in your record?
-
-WAGNER: I included in my record all statements which could be of any
-interest to the Navy. The High Command of the Navy was, of course,
-interested in the general strike in Copenhagen because our ships were
-repaired in Copenhagen; and apart from that Copenhagen was a naval base.
-
-FLOTTENRICHTER KRANZBÜHLER: And to whom did you pass this record? Who
-received it?
-
-WAGNER: According to the distribution list on Page 4, the paper went
-only to the Commander-in-Chief and department 1 of the Naval Operations
-Staff.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations Staff have anything
-to do with the treatment of shipyard workers in Denmark?
-
-WAGNER: No, nothing at all. From 1943 on the shipyards were entirely
-under the Ministry of Armaments.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution sees in this statement and
-its transmission to a department of the OKW an invitation to deal
-ruthlessly with the inhabitants. Does that in any way tally with the
-meaning of this record?
-
-WAGNER: There can be no question of that. The only purpose of this
-record was to inform the Departments of the High Command.
-
-FLOTTENRICHTER KRANZBÜHLER: I am now going to have another document
-shown to you. It is Exhibit Number USA-544. It is in the document book
-of the Prosecution on Pages 64 and 65. It is a note by the international
-law expert in the Naval Operations Staff regarding the treatment of
-saboteurs. Do you know this note?
-
-WAGNER: Yes. I have initialed it on the first page.
-
-FLOTTENRICHTER KRANZBÜHLER: At the end of that note you will find the
-sentence:
-
- “As far as the Navy is concerned, it should be investigated
- whether the occurrence cannot be used, after reporting to the
- Commander-in-Chief of the Navy, to make sure that the treatment
- of members of Commando troops is absolutely clear to all the
- departments concerned.”
-
-Was this report made to Admiral Dönitz who at that time had been
-Commander-in-Chief of the Navy for ten days?
-
-WAGNER: No, that report was not made, as the various remarks at the head
-of it will show.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you explain that, please?
-
-WAGNER: The international law expert in the Naval Operations Staff IA
-made this suggestion through the Operations Office IA to me as Chief of
-the Operational Department. The chief of the IA Section in a handwritten
-notice beside his initials, wrote, “The subordinate commanders have been
-informed.” That means that he had objected to the proposal of the
-international law expert and considered that an explanation of the
-orders within the Navy was superfluous. I investigated these matters and
-I decided that the operations officer was right. I sent for the
-international law expert, Dr. Eckardt, informed him orally of my
-decision, and returned this document to him. Thus the suggestion to
-report to the Commander-in-Chief of the Navy made in connection with the
-explanation of this order was not actually carried out.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you remember whether Admiral Dönitz on
-some later occasion received reports on this Commando order?
-
-WAGNER: No, I have no recollection of that.
-
-FLOTTENRICHTER KRANZBÜHLER: I have submitted to you GB-208, which is a
-record regarding the case of a motor torpedo boat at Bergen. It is the
-case which is contained in the British document book on Pages 66 and 67.
-Have you ever heard about this incident before this Trial?
-
-WAGNER: No. I heard about it for the first time on the occasion of
-interrogations in connection with these proceedings.
-
-FLOTTENRICHTER KRANZBÜHLER: I gather from the files of the British
-court-martial proceedings, which have been submitted by the Prosecution
-during cross-examination, that before the shooting of the crew of that
-motor torpedo boat there had been two telephone conversations, between
-the Chief of the Security Service in Bergen and the SD at Oslo, and
-between the SD at Oslo and Berlin. Can you recollect whether such a
-conversation took place between the SD at Oslo and yourself or one of
-the representatives in the High Command?
-
-WAGNER: I certainly had no such conversation, and as far as I know
-neither did any other officer in my department or in the High Command.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you consider it at all possible that the
-SD at Oslo might get in touch with the High Command of the Navy?
-
-WAGNER: No, I consider that quite out of the question. If the SD in Oslo
-wanted to get in touch with a central department in Berlin then they
-could only do so through their own superior authority, and that is the
-RSHA.
-
-FLOTTENRICHTER KRANZBÜHLER: I now put to you another document; it is
-Exhibit GB-212 which appears on Page 75 of the document book of the
-Prosecution. It mentions an example of a commandant of a German
-prisoner-of-war camp and it says he had communists who had attracted
-attention among the inmates suddenly and quietly removed by the guards.
-Do you know of this incident?
-
-WAGNER: Yes, such an episode is known to me. I think we received the
-report from a prisoner-of-war—a man who had been severely injured and
-who had been exchanged—that the German commandant of a prisoner-of-war
-camp in Australia, in which the crew of the auxiliary cruiser _Cormoran_
-were detained, had secretly had a man of his crew killed because he had
-been active as a spy and traitor.
-
-FLOTTENRICHTER KRANZBÜHLER: But this order does not mention the word
-“spy.” It says “communist.” What is the explanation?
-
-THE PRESIDENT: It does not say “communist.” It says “communists” in the
-plural.
-
-FLOTTENRICHTER KRANZBÜHLER: “Communists,” plural.
-
-WAGNER: In my opinion the only explanation is that the true state of
-affairs was to be concealed so as to prevent the enemy intelligence from
-tracing the incident and making difficulties for the senior sergeant in
-question. Thus, a different version was chosen.
-
-FLOTTENRICHTER KRANZBÜHLER: It was the opinion of the Soviet Prosecution
-that this showed there was a plan for the silent removal of communists.
-Can you tell us anything about the origin of this order, whether such a
-plan existed and whether it had ever come under discussion?
-
-WAGNER: First of all the order was addressed to those personnel offices
-which were responsible for choosing young potential officers and
-noncommissioned officers in the Navy. There were about six or seven
-personnel offices. Beyond that I can only say that of course...
-
-FLOTTENRICHTER KRANZBÜHLER: Just a moment, Admiral, please.
-
-THE PRESIDENT: Dr. Kranzbühler, is it necessary to go into all this
-detail? The question is, was there an order with reference to making
-away with the people of this sort or was there not—not all the details
-about how the order came to be made.
-
-FLOTTENRICHTER KRANZBÜHLER: In that case I shall put the question this
-way: Was there any order or any desire in the Navy to kill communists
-inconspicuously and systematically?
-
-WAGNER: No, such an order or such a plan did not exist. Of course, there
-were a considerable number of communists in the Navy. That was known to
-every superior officer. The overwhelming majority of those communists
-did their duty as Germans just as any other German in the war.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral Dönitz has been accused by the
-Prosecution because as late as the spring of 1945 he urged his people to
-hold out obstinately to the end. The Prosecution considers that evidence
-of the fact that he was a fanatical Nazi. Did you and the majority of
-the Navy consider this to be so?
-
-WAGNER: No, the Admiral’s attitude was not considered to be political
-fanaticism. To them it meant that he was carrying out his ordinary duty
-as a soldier to the last. I am convinced that this was the view of the
-great majority of the entire Navy, the men and the noncommissioned
-officers as well as the officers.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have no further questions
-to put to this witness.
-
-THE PRESIDENT: Does any other defendant’s counsel want to ask any
-questions?
-
-DR. SIEMERS: Admiral Wagner, you have already briefly sketched the
-positions you have held. In supplementing I should like to make quite
-sure who held a leading position in the Naval Operations Staff under
-Grossadmiral Raeder in the decisive years before and after the outbreak
-of the war. Who was the Chief of Staff during the two years before the
-war, and at the beginning of the war?
-
-WAGNER: The Chief of Staff of the Naval Operations Staff from 1938 until
-1941 was Admiral Schniewind. From 1941 until after Raeder’s retirement
-it was Admiral Fricke.
-
-DR. SIEMERS: Those, therefore, were the two officers who worked in the
-highest posts under Admiral Raeder in the Naval Operations Staff?
-
-WAGNER: They were the immediate advisers of the Admiral.
-
-DR. SIEMERS: And the Naval Operations Staff had several departments?
-
-WAGNER: Yes, it consisted of several departments, which were given
-consecutive numbers.
-
-DR. SIEMERS: And which was the most important department?
-
-WAGNER: The most important department of the Naval Operations Staff was
-the Operations Department, which was known as Number 1.
-
-DR. SIEMERS: And the other departments, 2, 3—what did they do?
-
-WAGNER: They were the Signals and Communications Department and the
-Information Department.
-
-DR. SIEMERS: Who was the chief of the Operations Department?
-
-WAGNER: From 1937 until 1941 it was Admiral Fricke. From 1941 until
-after Raeder’s retirement I was the chief of that department.
-
-DR. SIEMERS: In other words, for many years you worked under Admiral
-Raeder. First of all I should like to ask you to speak briefly about
-Raeder’s basic attitude during the time you were working in the Naval
-Operations Staff.
-
-WAGNER: Under Admiral Raeder the Navy was working for a peaceful
-development in agreement with Britain. The foremost questions were those
-regarding the type of ships, training, and tactical schooling. Admiral
-Raeder never referred to aggressive wars during any conference which I
-attended. Nor did he at any time ask us to make any preparations in that
-direction.
-
-DR. SIEMERS: Do you remember that in 1940 and in 1941 Raeder declared
-himself emphatically against a war with Russia?
-
-WAGNER: Yes, he was very strongly opposed to a war with Russia, and that
-for two reasons; first, he considered that to break the treaty of
-friendship with Russia was wrong and inadmissible, and secondly, for
-strategic reasons he was convinced that our entire strength should be
-concentrated against Britain. When in the autumn of 1940 it appeared
-that the invasion of Britain could not be carried out, the Admiral
-worked for a strategy in the Mediterranean to keep open an outlet
-against Britain’s policy of encirclement.
-
-DR. SIEMERS: The Navy had rather a lot to do with Russia during the
-friendship period between Russia and Germany in the way of deliveries.
-As far as you know did everything in that respect run smoothly?
-
-WAGNER: Yes, I know that a large number of deliveries from the Navy
-stocks went to Russia; for instance, uncompleted ships, heavy guns, and
-other war material.
-
-DR. SIEMERS: And the Navy, of course, always made efforts to maintain
-the friendly relations laid down in the Pact?
-
-WAGNER: Yes, that was the Admiral’s opinion.
-
-DR. SIEMERS: Admiral Wagner, Admiral Raeder has been accused by the
-Prosecution that he had never bothered about international law and that
-he broke international law conventions as a matter of principle if it
-suited him. Can you express a general opinion about Raeder’s attitude in
-that respect?
-
-WAGNER: Yes; that is completely wrong. Admiral Raeder considered it most
-important that every measure for naval warfare should be examined from
-the point of view of international law. For that purpose we had a
-special expert on international law in the Naval Operations Staff with
-whom we in the Operations Department had almost daily contact.
-
-DR. SIEMERS: Furthermore, Raeder has been accused by the Prosecution of
-advising a war against the United States and trying to get Japan to go
-to war with the United States. May I ask for your opinion on that?
-
-WAGNER: I consider this charge completely unjustified. I know that
-Admiral Raeder attached particular importance to the fact that all naval
-war measures—especially in the critical year of 1941—were to be
-examined very closely as to the effects they might have on the United
-States of America. In fact he refrained from taking quite a number of
-militarily perfectly justified measures in order to prevent incidents
-with the U.S.A. For instance, in the summer of 1941 he withdrew the
-submarines from a large area off the coast of the U.S.A. although that
-area could certainly be regarded as the open sea. He forbade mine-laying
-action which had already begun against the British port of Halifax,
-Canada, to prevent, at all costs, the possibility of a United States
-ship striking a mine. And finally, he also forbade attacks on British
-destroyers in the North Atlantic because the fifty destroyers which had
-been turned over to England by the United States created the dangerous
-possibility of confusing the British and American destroyers. All this
-was done at a time when the United States, while still at peace,
-occupied Iceland, when British warships were being repaired in American
-shipyards, when American naval forces had orders that all German units
-should be reported to the British fleet, and when finally President
-Roosevelt in July 1941 gave his forces the order to attack any German
-submarines they sighted.
-
-DR. SIEMERS: Did Admiral Raeder ever make a statement in the Naval
-Operations Staff that there was no risk in a war against America and
-that the fleet or the American submarines were not much good?
-
-WAGNER: No, Admiral Raeder as an expert would never have made such a
-statement.
-
-DR. SIEMERS: On the contrary, did not Raeder expressly speak of the
-strength of the American fleet and that one could not fight
-simultaneously two such great sea-powers as America and Great Britain?
-
-WAGNER: Yes, it was perfectly clear to him and to us that America’s
-entry into the war would mean a very substantial strengthening of the
-enemy forces.
-
-DR. SIEMERS: Now on one occasion Admiral Raeder suggested in his war
-diary that Japan should attack Singapore. Was there any discussion about
-Pearl Harbor in connection with that in the Naval Operations Staff?
-
-WAGNER: No, not at all. The attack by the Japanese on Pearl Harbor was a
-complete surprise, both to the Admiral and to the Naval Operations Staff
-and, in my opinion, to every other German department.
-
-DR. SIEMERS: Were there no continuous naval-military discussions and
-conferences between Japan and Germany?
-
-WAGNER: No, before Japan’s entry into the war there were no military
-discussions according to my conviction.
-
-DR. SIEMERS: I should now like to show you Document C-41, Mr. President,
-this is Exhibit GB-69. Later on, the British Delegation will submit it
-in Document Book 10a for Raeder. I do not know whether the Tribunal
-already has it. It is as yet not contained in the trial brief against
-Raeder. In the newly compiled: Document Book 10a, it is on Page 18.
-
-THE PRESIDENT: You can offer it in evidence now, if you want to, so you
-can put it to the witness.
-
-DR. SIEMERS: The Prosecution has submitted it; yes.
-
-THE PRESIDENT: Very well.
-
-DR. SIEMERS: This concerns a document signed by Admiral Fricke, and it
-is dated 3 June 1940. It is headed “Questions of Expansion of Areas and
-Bases.” That document contains detailed statements on future plans.
-
-[_Turning to the witness._] I should like to ask you if Raeder gave the
-order to prepare this memorandum or how did this memorandum come to be
-written?
-
-WAGNER: Admiral Raeder did not give the order to draft this memorandum.
-This constitutes the personal, theoretical ideas of Admiral Fricke
-regarding the possible developments in the future. They are quite
-fantastic, and they had no practical significance.
-
-DR. SIEMERS: Was this study or this note talked about or discussed in
-any large group in the Naval Operations Staff?
-
-WAGNER: No, in my opinion only the Operations officers had knowledge of
-this document, which by its very form shows that it is not a
-well-thought-out study made by order of Grossadmiral Raeder but an _ad
-hoc_ jotting-down of thoughts which occurred to Admiral Fricke at the
-moment.
-
-DR. SIEMERS: Was this study or this document passed on to any outsiders
-at all?
-
-WAGNER: I think I can remember that this document was not sent to any
-outside office but remained in the Operations Department. The
-Grossadmiral, too, in my opinion did not have knowledge of it,
-particularly since this document shows that he did not initial it.
-
-DR. SIEMERS: You have a photostat copy of that document?
-
-WAGNER: Yes.
-
-DR. SIEMERS: Are there any other initials on it which might show that it
-was put before Admiral Raeder? How was this sort of thing generally
-handled in the Naval Operations Staff?
-
-WAGNER: Every document that was to be put before the Admiral had on its
-first page in the left margin a note: “v.A.v.,” which means “to be
-submitted before dispatch,” or “n.E.v.,” “to be submitted after
-receipt,” or else “to be reported during situation reports.” And then at
-that place the Admiral would initial it with a green pencil, or the
-officers of his personal staff would make a note indicating that it had
-been submitted to him.
-
-DR. SIEMERS: And there are no such marks on this document?
-
-WAGNER: No.
-
-DR. SIEMERS: I should like to show you Document C-38, which is a
-document of the Prosecution bearing the number Exhibit GB-223. It is
-contained in the Prosecution’s document book on Raeder, Page 11.
-
-The war between Germany and Russia began on 22 June 1941. According to
-the last page but one of the document which you have before you, the OKW
-as early as 15 June—a week before the outbreak of the war—ordered the
-use of arms against enemy submarines south of the Memel line, the
-southern tip of Oeland, at the request of the Naval Operations Staff.
-
-The Prosecution is basing the accusation on this document and once more
-referring to an aggressive war. Unfortunately, the Prosecution has only
-submitted the last page of this document. It did not produce the first
-and second page of the document. If it had done so, then this accusation
-would probably have been dropped. May I read to you, Witness, what is
-contained there; and I quote:
-
- “On 12 June at 2000 hours one of the submarines placed as
- outposts on both sides of Bornholm, as precautionary measure,
- reported at 2000 hours an unknown submarine in the vicinity of
- Adlergrund (20 miles southwest of Bornholm) which had surfaced
- and was proceeding on a westerly course and which answered a
- recognition signal call with a letter signal which had no
- particular significance.”
-
-That ends the quotation.
-
-May I ask you to explain what it means that this submarine did not reply
-to the recognition signal call?
-
-WAGNER: In time of war the warships of one’s own fleet have an
-arrangement of recognition signals; that is to say, the recognition
-signal has a call and a reply which immediately identifies the ship as
-belonging to one’s own fleet. If a recognition signal is wrongly
-answered, it proves that it is a foreign vessel.
-
-DR. SIEMERS: As far as you can remember, were there any other clues
-showing that ships appeared in the Baltic sea which were recognized as
-enemy ships?
-
-WAGNER: Yes. I remember that there were individual cases where unknown
-submarines were observed off the German Baltic ports. Subsequently it
-was found, by comparing the stations of our own submarines, that these
-were indeed enemy vessels.
-
-DR. SIEMERS: Were these facts the reason which caused the Naval
-Operations Staff to ask for the use of weapons?
-
-WAGNER: Yes, these very facts.
-
-DR. SIEMERS: A similar case has been made the subject of an accusation
-in connection with Greece. It has been ascertained here in Court from
-the War Diary that on 30 December 1939 the Naval Operations Staff asked
-that Greek ships in the American blockade zone around Great Britain
-should be treated as hostile. Since Greece was neutral at the time,
-there has been an accusation against Raeder of a breach of neutrality.
-
-May I ask you to tell us the reasons which caused the Naval Operations
-Staff and the Chief, Raeder, to make such a request to the OKW?
-
-WAGNER: We had had news that Greece had placed the bulk of its merchant
-fleet at the disposal of England and that these Greek vessels were
-sailing under British command.
-
-DR. SIEMERS: And it is correct that Greek vessels in general were not
-treated as hostile, but only vessels in the American blockade zone
-around England?
-
-WAGNER: Yes.
-
-DR. SIEMERS: The next case, which is somewhat similar, is that which
-occurred in June 1942, when the Naval Operations Staff made an
-application to the OKW to be allowed to attack Brazilian ships, although
-Brazil at that time was still a neutral. The war with Brazil started
-some two months later on 22 August. What reasons were there for such a
-step?
-
-WAGNER: We were receiving reports from submarines from the waters around
-South America, according to which they were being attacked by ships
-which could only have started from Brazilian bases. The first thing we
-did was to refer back and get these questions clarified and confirmed.
-Moreover, I think I can remember personally that at that time it was
-already generally known that Brazil was giving the use of sea and air
-bases to the United States with whom we were at war.
-
-DR. SIEMERS: So that this was due to a breach of neutrality on the part
-of Brazil?
-
-WAGNER: Yes.
-
-DR. SIEMERS: I should like to submit to you Documents C-176 and D-658.
-Document C-176 has the number Exhibit GB-228. These two documents are
-based on the Commando Order, that is, the order to destroy sabotage
-troops. The Prosecution has charged Raeder with an incident which
-occurred in December 1942 in the Gironde estuary at Bordeaux. In
-Document C-176, on the last page, you will find something which I would
-like to quote.
-
- “Shooting of the two captured Englishmen took place by a
- firing-squad, numbering one officer and 16 men, detailed by the
- port commander at Bordeaux, in the presence of an officer of the
- SD and by order of the Führer.”
-
-Previous entries, which I do not want to quote separately and which
-portray the same things, show that the SD had intervened directly and
-had got into direct touch with the Führer’s headquarters.
-
-I now ask you whether the Naval Operations Staff had heard anything at
-all about this matter before these two prisoners were shot, or whether
-they knew anything about this direct order from Hitler which is
-mentioned in this connection?
-
-WAGNER: The Naval Operations Staff had nothing to do with a direct order
-for the shooting of people in Bordeaux. The Naval Operations Staff knew
-the tactical course of events of this sabotage undertaking in Bordeaux
-and nothing at the time beyond that.
-
-DR. SIEMERS: Therefore, this case was not put to the Naval Operations
-Staff or to Admiral Raeder, and it was not discussed by them?
-
-WAGNER: Yes. I am certain that that was not the case.
-
-DR. SIEMERS: Mr. President, may I ask the Tribunal to take notice of the
-fact that this war diary is by no means the war diary which has been
-frequently mentioned, the War Diary of the Naval Operations Staff, but
-the war diary of the Naval Commander west, and was therefore unknown to
-the Naval Operations Staff. That is why the Naval Operations Staff did
-not know of this case.
-
-THE PRESIDENT: You are referring now to Document C-176?
-
-DR. SIEMERS: Yes, and also to D-658, which is the War Diary of the Naval
-Operations Staff.
-
-THE PRESIDENT: What was the reference to it?
-
-DR. SIEMERS: This is D-658, which shows the following: According to the
-OKW communiqué, these two soldiers had in the meantime been shot. The
-measure would be in keeping with the special order by the Führer. That
-has been submitted by the Prosecution, and it shows—and I shall refer
-to this later—that the Naval Operations Staff knew nothing about the
-entire episode because this shows an entry dated 9 December, whereas the
-whole affair happened on the 11th.
-
-THE PRESIDENT: Perhaps this would be a good time to break off.
-
- [_A recess was taken._]
-
-DR. SIEMERS: Admiral, I am now submitting to you Document UK C-124.
-
-Mr. President, C-124 corresponds to USSR-130. This document deals with a
-communication from the Naval Operations Staff, dated 29 September 1941,
-addressed to Group North, and it deals with the future of the city of
-Petersburg. This report to Group North says that the Führer had decided
-to wipe the city of Petersburg from the face of the earth. The Navy
-itself had nothing to do with that report. Despite that, this report was
-sent to Group North.
-
-Witness, I will return to this point, but I, would like to ask you
-first—you have a photostatic copy of the original—to tell me whether
-Raeder could have seen this document before it was dispatched?
-
-WAGNER: According to my previous statements Admiral Raeder did not see
-this document since there are no marks or initials to that effect.
-
-DR. SIEMERS: And now the more important question on this point. In view
-of the terrible communication which is mentioned by Hitler in Point 2,
-why did the Naval Operations Staff transmit it even though the Navy
-itself had nothing to do with it?
-
-WAGNER: The Naval Operations Staff had asked that in bombarding,
-occupying or attacking Leningrad the dockyards, wharf installations, and
-all other special naval installations be spared so that they might be
-used as bases later on. That request was turned down by Hitler’s
-statement as contained in this document, as can be seen from Point 3.
-
-We had to communicate this fact to Admiral Carls so that he could act
-accordingly and because in the case of a later occupation of Leningrad
-he could not count on this port as a base.
-
-DR. SIEMERS: Because of the significance of this testimony, I would like
-to quote to the Tribunal the decisive point to which the witness just
-referred, and that is III of USSR-130. I quote:
-
- “The original requests of the Navy to spare the dock, harbor,
- and other installations important from the Navy viewpoint are
- known to the High Command of the Wehrmacht. Compliance with
- these requests is not possible, because of the fundamental aim
- of the action against Petersburg.”
-
-That was the decisive point which the SKL told Admiral Carls as
-commander of Group North.
-
-WAGNER: That was the sole reason for this communication.
-
-DR. SIEMERS: Do you know whether Admiral Carls did anything with this
-document? Did he transmit it to any one, or do you not know anything
-about that?
-
-WAGNER: As far as I am informed, this communication was not passed on;
-and it was not the intention that it should be passed on for it was
-meant solely for Group North. On the strength of this document, Admiral
-Carls stopped the preparations which had already been made for using the
-Leningrad naval installations later on and made the personnel available
-for other purposes. That is the only measure which the Navy took on the
-basis of this communication and the only measure which could have been
-taken.
-
-DR. SIEMERS: I should tell the Tribunal that accordingly I will submit,
-under Number 111 in my Document Book Raeder, an affidavit which contains
-this fact, which the witness also points out, that nothing was passed on
-by Group North so that the commanding naval officers never learned of
-this document.
-
-This concerns an affidavit by Admiral Bütow who at that time was
-Commander-in-Chief in Finland, and I shall come back to this point when
-I present the case on behalf of Admiral Raeder.
-
-I have no more questions to put to the witness.
-
-THE PRESIDENT: Does any other member of defendants’ counsel wish to ask
-any questions?
-
-[_There was no response._]
-
-The Prosecution may cross-examine.
-
-COLONEL H. J. PHILLIMORE (Junior Counsel for the United Kingdom): May it
-please the Tribunal, with regard to the questions asked by Dr. Siemers,
-I was going to leave the cross-examination on those points to the
-cross-examination of the Defendant Raeder so as to avoid any
-duplication.
-
-[_Turning to the witness._] As I understand the evidence which the
-Defendant Dönitz has given and your evidence, you are telling the
-Tribunal that with respect to the treatment of neutral merchant ships,
-the German Navy has nothing to reproach itself with. Is that right?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: And the Defendant has said that the German Navy was
-scrupulous in adhering to orders about the attitude towards neutral
-shipping, and the neutrals were fully warned of what they should and
-should not do. Is that right?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: Admiral Dönitz has also said that there was no question
-of deceiving neutral governments; they were given fair warning of what
-their ships should not do. Do you agree?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: Now, I want just to remind you of what steps were taken
-as regards neutrals, as they appear from the defense documents.
-
-First of all, on 3 September orders were issued that strict respect for
-all rules of neutrality and compliance with all agreements of
-international law which were generally recognized were to be observed.
-
-My Lord, that is D-55, Page 139.
-
-THE PRESIDENT: In the British document book?
-
-COL. PHILLIMORE: In the Defense document book—Dönitz-55.
-
-And then, on 28 September, a warning was sent to neutrals to avoid
-suspicious conduct, changing course, zig-zagging, and so on. That is
-Dönitz-61, at Page 150. On 19 October that warning was repeated and
-neutrals were advised to refuse convoy escort. That is Dönitz-62, at
-Page 153. On 22 October there was a repetition of the warning, that is
-Dönitz-62, Page 162; and on 24 November the neutrals were told that the
-safety of their ships in waters around the British Isles and in the
-vicinity of the French coast could no longer be taken for granted. That
-is Dönitz-73, at Page 206; and then from 6 January onwards, certain
-zones were declared dangerous zones. That is right, is it not?
-
-WAGNER: No. On 24 November a general warning was issued that the entire
-United States fighting zone was to be considered dangerous. The specific
-zones which since January were used as operational zones were not made
-public, since they came within the scope of the first warning and served
-only for internal use within the Navy.
-
-COL. PHILLIMORE: That is the point I want to be clear about. The zones
-that you declared from 6 January onwards were not announced. Is that the
-point?
-
-WAGNER: Yes, the neutrals were warned on 24 November that all of those
-zones which had been specifically declared as operational zones since
-January would be dangerous for shipping.
-
-COL. PHILLIMORE: But when you fixed the specific zones from 6 January
-onwards, no further specific warning was given. Is that the case?
-
-WAGNER: That is correct. After the general warning, we issued no further
-specific warnings about parts of this zone.
-
-COL. PHILLIMORE: Now, you are not suggesting, are you, that by these
-warnings and by this declaration of an enormous danger zone, you were
-entitled to sink neutral shipping without warning?
-
-WAGNER: Yes. I am of the opinion that in this zone which we, as well as
-the United States of America before us, regarded as dangerous for
-shipping it was no longer necessary to show consideration to neutrals.
-
-COL. PHILLIMORE: Do you mean to say that from 24 November onwards every
-neutral government was given fair warning that its ships would be sunk
-without warning if they were anywhere in that zone?
-
-WAGNER: What I want to say is that on 24 November all the neutral
-countries were notified officially that the entire United States of
-America zone was to be considered as dangerous and that the German Reich
-could assume no responsibility for losses in combat in this zone.
-
-COL. PHILLIMORE: That is quite a different case. Do not let us have any
-mistake about this. Are you saying that by that warning you were
-entitled to sink neutral ships anywhere in that zone without warning,
-sink on sight?
-
-WAGNER: I did not quite catch the last few words.
-
-COL. PHILLIMORE: Are you suggesting that you were entitled to sink at
-sight neutral shipping anywhere in that zone, as from 24 November?
-
-WAGNER: I am of the opinion that we were justified from that period of
-time onwards in having no special consideration for neutral shipping. If
-we had made exceptions in our orders to our U-boats, it would have meant
-in every case that they could not have sunk enemy ships without warning.
-
-COL. PHILLIMORE: It is not a question of any special consideration. Do
-you say that you became entitled to sink at sight any neutral ship, or
-sink it deliberately, whether you recognized it as neutral or not?
-
-THE PRESIDENT: Surely you can answer that question “yes” or “no.”
-
-WAGNER: Yes, I am of that opinion.
-
-COL. PHILLIMORE: Will you tell me how that squares with the submarine
-rules?
-
-WAGNER: I do not feel competent to give a legal explanation of these
-questions because that is a matter of international law.
-
-COL. PHILLIMORE: At any rate, that is what you proceeded to do, is it
-not? You proceeded to sink neutral ships at sight and without warning
-anywhere in that zone?
-
-WAGNER: Yes; not just anywhere in this zone, but in the operational
-zones stipulated by us neutral ships were...
-
-COL. PHILLIMORE: But wherever you could—wherever you could?
-
-WAGNER: In the operational zones stipulated by us we sank neutral ships
-without warning, for we were of the opinion that in this case we were
-concerned with secured zones near the enemy coast which could no longer
-be considered the open sea.
-
-COL. PHILLIMORE: And that is what you desired to do at the very start of
-the war, was it not? That is what you decided to do?
-
-WAGNER: From the beginning of the war we decided to adhere strictly to
-the London Agreement.
-
-COL. PHILLIMORE: Would you look at the document which was put in
-yesterday? My Lord, it is D-851. It is put in as GB-451. It is a
-memorandum of 3 September.
-
-THE PRESIDENT: Where is it?
-
-COL. PHILLIMORE: My Lord, it was the only new document that Sir David
-Maxwell-Fyfe put in in cross-examination.
-
-[_Turning to the witness._] Would you look at the third paragraph:
-
- “The Navy has arrived at the conclusion that the maximum damage
- to England can be achieved with the forces available only if the
- U-boats are permitted an unrestricted use of arms without
- warning against enemy and neutral shipping in the prohibited
- area indicated on the enclosed map.”
-
-Do you still say that you did not intend from the start of the war to
-sink neutral shipping without warning as soon as you could get Hitler to
-agree to let you do so? Do you still say that?
-
-WAGNER: Yes, absolutely. In this document, in the first paragraph, it
-says:
-
- “In the attached documents sent to the Navy by the OKW the
- question of unrestricted U-boat warfare against England is
- discussed.”
-
-I cannot judge these documents if they are not submitted to me.
-
-COL. PHILLIMORE: You were in the general staff at that time. You were in
-charge of the Department IA. This point of view must have been put
-forward by your department?
-
-WAGNER: Yes. I have said already that we had decided, after consulting
-with the Foreign Office, to adhere strictly to the London Agreement
-until we had proof that English merchant shipping was navigated
-militarily and was being used for military purposes. Here we are
-apparently concerned solely with information, with an exchange of
-opinions with the Foreign Office...
-
-COL. PHILLIMORE: I did not ask for your general view on the document. We
-can read that for ourselves. Your object was to terrorize the small
-neutrals and frighten them from sailing on their ordinary lawful
-occasions. Is that not right?
-
-WAGNER: No.
-
-COL. PHILLIMORE: And is that not why in the orders you issued in January
-of 1940 you excepted the larger countries from this “sink at sight”
-risk? Would you look at Document C-21. That is GB-194, at Page 30 of the
-Prosecution document book in English; Pages 59 and 60 in the German.
-Now, just look at the second entry on Page 5, 2 January 1940: “Report by
-IA.” That is you, is it not? That was you, was it not?
-
-WAGNER: Yes, but I cannot find the point which you are quoting.
-
-COL. PHILLIMORE: Page 5 of the original, under the date of 2 January
-1940. Report by IA on directive of Armed Forces High Command, dated 30
-December, referring to intensified measures in naval and air warfare in
-connection with Case Yellow:
-
- “Through this directive the Navy will authorize, simultaneously
- with the beginning of the general intensification of the war,
- the sinking by U-boats without any warning of all ships in those
- waters near the enemy coasts in which mines can be employed. In
- this case, for external consumption, the use of mines should be
- simulated. The behavior of, and use of weapons by, U-boats
- should be adapted to this purpose.”
-
-That has nothing to do with the arming of British merchant ships. That
-is not the reason that is given, is it? The reason is because it fitted
-in with your operations for Case Yellow.
-
-WAGNER: I did not understand the last sentence.
-
-COL. PHILLIMORE: You do not give as your reason that the British were
-arming their merchant ships. The reason you give is that it was
-necessary in connection with intensified measures for Case Yellow. Why
-is that?
-
-FLOTTENRICHTER KRANZBÜHLER: The German translation is so inadequate that
-it is almost impossible to understand the question.
-
-COL. PHILLIMORE: I will put the question to you again. The excuse for
-this directive is to be the intensification of measures in connection
-with Case Yellow. You notice, do you not, that nothing is said about the
-arming of British merchant ships as justifying this step? That is
-correct, is it not?
-
-WAGNER: May I have time, please, to peruse these papers first?
-
-COL. PHILLIMORE: Certainly. This was written by yourself, you know.
-
-WAGNER: No, that was not written by me. This measure really came within
-the warning which was given to the neutrals on 24 November 1939.
-
-COL. PHILLIMORE: Nothing is said about the warning of 24 November. If
-you were entitled, as you have told us, under that to sink neutral
-ships, there would not be any need for this special directive, would
-there?
-
-WAGNER: No.
-
-COL. PHILLIMORE: No. Now, let us just...
-
-WAGNER: For military and political reasons we ordered that a hit by a
-mine was to be simulated, and that is a special point of this order.
-
-COL. PHILLIMORE: And just before we leave that document, have a look at
-the entry on 18 January, will you? Have you got it? 18 January.
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: That is the actual order for sinking without warning.
-You notice the last sentence: “Ships of the United States, Italy, Japan,
-and Russia are exempted from these attacks.”
-
-And then Spain is added in pencil. Is it not right that you were out to
-terrorize the small neutrals and to bully them, but you were not running
-any risks with the big ones?
-
-WAGNER: No, that is not correct. The explanation is, of course, that one
-must take military disadvantages into the bargain if one can obtain
-political advantages for them.
-
-COL. PHILLIMORE: Oh, yes, it was just entirely a question of how it paid
-you politically. That is all it was, was it not?
-
-WAGNER: Of course, all military actions were strongly influenced by the
-political interests of one’s own country.
-
-COL. PHILLIMORE: And because the Danes and the Swedes were not in any
-position to make any serious protest, it did not matter sinking their
-ships at sight. That is right, is it not?
-
-WAGNER: The motivation you give to this conduct is entirely incorrect.
-
-COL. PHILLIMORE: Well, but what is the difference?
-
-WAGNER: We sank the ships of all neutrals in these areas with the
-exception of those countries where we had a special political interest.
-
-COL. PHILLIMORE: Yes, you had no special political interest at this time
-for Norway and Sweden and Denmark, so you sank their ships at sight.
-That is right, is it not?
-
-WAGNER: We sank them because they entered this area despite warning.
-
-COL. PHILLIMORE: Yes, but if a Russian ship or a Japanese ship did that,
-you would not sink it.
-
-WAGNER: No, not at that period of time.
-
-COL. PHILLIMORE: I just want to show you what you actually did. Would
-you look at Documents D-846 and 847?
-
-My Lord, they are two new documents. They will be GB-452 and 453.
-
-[_Turning to the witness._] Will you look at the first of these, that is
-D-846? That is a telegram from your Minister at Copenhagen, dated 26
-September 1939. That is before your first warning and before any of
-these zones had been declared. The second sentence:
-
- “Sinking of Swedish and Finnish ships by our submarines has
- caused great anxiety here about Danish food transports to
- England.”
-
-You see, you had started sinking ships of the small neutrals right away
-in the first three weeks of the war, had you not?
-
-WAGNER: In single cases, yes; but there was always a very special reason
-in those cases. I know that several incidents occurred with Danish and
-Swedish ships in which ships had turned against the U-boat and the
-U-boat in turn because of this resistance was forced to attack the ship.
-
-COL. PHILLIMORE: You do not think it was because the blame could be put
-upon mines?
-
-WAGNER: At this period not at all.
-
-COL. PHILLIMORE: Look at the second telegram, if you would; 26 March
-1940, again from the German Minister at Copenhagen. It is the first
-paragraph:
-
- “The King of Denmark today summoned me to his presence in order
- to tell me what a deep impression the sinking of six Danish
- ships last week, apparently without warning, had made on him and
- on the whole country.”
-
-And then, passing on two sentences:
-
- “I replied that the reason why the ships sank had not yet been
- clarified. In any case, our naval units always kept strictly to
- the Prize Regulations; but vessels sailing in enemy convoy or in
- the vicinity of the convoy took upon themselves all the risks of
- war. If there were any cases of sinking without warning, it
- seemed that they could be traced back to the German
- notifications made to date.
-
- “At the same time I stressed the danger of the waters around the
- British coast, where neutral shipping would inevitably be
- involved in compromising situations on account of measures taken
- by the British. The King assured me emphatically that none of
- the Danish ships had sailed in convoy, but it would probably
- never be possible subsequently to clear up without possibility
- of doubt the incidents which had led to the sinking.”
-
-Have you any doubt that those six ships were sunk deliberately under
-your sink-at-sight policy?
-
-WAGNER: Without checking the individual cases, I cannot answer this
-question; but I am of the opinion that possibly these ships were sunk in
-that area off the English coast where, because of heavy military
-defenses, there would no longer be any question of open sea.
-
-COL. PHILLIMORE: Very well. We will come to an incident where I think I
-can supply you with the details. Would you look at Document D-807?
-
-My Lord, that is a new document, it becomes GB-454.
-
-[_Turning to the witness._] You see, this document is dated 31 January
-1940; and it refers to the sinking of three neutral ships, the
-_Deptford_, the _Thomas Walton_, and the _Garoufalia_. The document is
-in three parts. It first sets out the facts as they were known to you.
-The second part is a note to the Foreign Office, and the third is a
-draft reply for your Foreign Office to send to the neutral governments;
-and if you look at the end of the document you will see “IA”; it
-emanates from your department.
-
- “It is proposed in replying to Norwegian notes to admit only the
- sinking by a German U-boat of the steamship _Deptford_, but to
- deny the sinking of the two other steamers.”
-
-Would you follow it.
-
- “According to the data attached to the notes presented by the
- Norwegian Government, the grounds for suspecting a torpedo to
- have been the cause of the sinkings do in fact appear to be
- equally strong in all these cases. According to the Norwegian
- Foreign Minister’s speech of 19 January, the suspicion in Norway
- of torpedoing by a German U-boat appears, however, to be
- strongest in the case of the steamship _Deptford_, whereas in
- the other two cases it is at least assumed that the possibility
- of striking mines can be taken into account; this is considered
- improbable in the case of the steamship _Deptford_, because
- other vessels had passed the same spot.
-
- “The possibility that the steamship _Thomas Walton_ struck a
- mine can be supported, since the torpedoing occurred towards
- evening and nothing was observed, and also because several
- explosions took place in the same area owing to misses by
- torpedoes.
-
- “In the case of the steamship _Garoufalia_, a denial appears
- expedient, if only because a neutral steamer is concerned, which
- was attacked without warning. Since it was attacked by means of
- an electric torpedo, no torpedo wake could be observed.”
-
-Do you say in the face of that that you did not deceive the neutrals?
-That is the advice you were giving to the Defendant Raeder as his staff
-officer, is it not?
-
-WAGNER: This memorandum did not emanate from me; it emanated from “Iia.”
-
-COL. PHILLIMORE: Where does it originate?
-
-WAGNER: That is the assistant of the expert on international law.
-
-COL. PHILLIMORE: You would not have seen it?
-
-WAGNER: I do not recall this document.
-
-COL. PHILLIMORE: Why do you say it emanated from “Iia?” It has “Ia” at
-the end of it.
-
-WAGNER: If this memorandum was dispatched then I also saw it...
-
-COL. PHILLIMORE: I will just read the next part of the note to remind
-you.
-
- “The following facts have thus been ascertained:”—this is what
- you are writing to the Foreign Office—
-
- “The steamer _Deptford_ was sunk by a German U-boat on 13
- December...”
-
-I am sorry. I should have started earlier.
-
- “It is suggested that Norwegian notes regarding the sinking of
- the steamships _Deptford_, _Thomas Walton_, and _Garoufalia_ be
- answered somewhat in the following manner:
-
- “As a result of the communication from the Norwegian Government,
- the matter of the sinking of the steamships _Deptford_, _Thomas
- Walton_, and _Garoufalia_ has been thoroughly investigated. The
- following facts have thus been ascertained:
-
- “The steamer _Deptford_ was sunk by a German U-boat on 13
- December, as it was recognized as an armed enemy ship. According
- to the report of the U-boat commander, the sinking did not take
- place within territorial waters but immediately outside. The
- German Naval Forces have strict instructions not to undertake
- any war operations within neutral territorial waters. Should the
- U-boat commander have miscalculated his position, as appears to
- be borne out by the findings of the Norwegian authorities, and
- should Norwegian territorial waters have been violated in
- consequence, the German Government regrets this most sincerely.
- As a result of this incident, the German Naval Forces have once
- again been instructed unconditionally to respect neutral
- territorial waters. If a violation of Norwegian territorial
- waters has indeed occurred, there will be no repetition of it.
-
- “As far as the sinking of the steamships _Thomas Walton_ and
- _Garoufalia_ is concerned, this cannot be traced to operations
- by German U-boats, as at the time of the sinking none of them
- were in the naval area indicated.”
-
-And then there is a draft reply put forward which is on very much the
-same lines.
-
-And you say in the face of that document that the German Navy never
-misled the neutrals?
-
-WAGNER: The neutrals had been advised that in these areas dangers of war
-might be encountered. We were of the opinion that we were not obliged to
-tell them through which war measures these areas were dangerous, or
-through which war measures their ships were lost.
-
-COL. PHILLIMORE: Is that really your answer to this document? This is a
-complete lie, is it not? You admit the one sinking that you cannot get
-away from. And you deny the others. You deny that there was a German
-U-boat anywhere near, and you are telling this Tribunal that you were
-justified in order to conceal the weapons you were using. Is that the
-best answer you can give?
-
-WAGNER: Yes, certainly. We had no interest at all in letting the enemy
-know what methods we were using in this area.
-
-COL. PHILLIMORE: You are admitting that one of them was sunk by a
-U-boat. Why not admit the other two as well? Why not say it was the same
-U-boat?
-
-WAGNER: I assume that we were concerned with another area in which the
-situation was different.
-
-COL. PHILLIMORE: What was the difference? Why did you not say, “One of
-our U-boats has made a mistake or disobeyed orders, and is responsible
-for all these three sinkings?” Or, alternatively, why did you not say,
-“We have given you fair warning, we are going to sink at sight anyone in
-this area. And what is your complaint?”
-
-WAGNER: Obviously I did not consider it expedient.
-
-COL. PHILLIMORE: It was considered expedient to deceive the neutrals.
-And you, an Admiral in the German Navy, told me you did not do that ten
-minutes ago. As a matter of fact, these three boats were all sunk by the
-same U-boat, were they not?
-
-WAGNER: I cannot tell you that at the moment.
-
-COL. PHILLIMORE: I say they were all sunk by _U-38_, and the dates of
-sinking were: the _Deptford_, on 13 December, the _Garoufalia_ on the
-11th, and the _Thomas Walton_ on the 7th. Do you dispute that?
-
-WAGNER: I did not understand the last sentence.
-
-COL. PHILLIMORE: Do you dispute those details, or do you not remember?
-
-WAGNER: I cannot recall; but I actually believe it is impossible.
-
-COL. PHILLIMORE: I will show you another instance of deceiving the
-neutrals, and this time it was your friends, the Spanish. Would you look
-at C-105?
-
-My Lord, that is a new document; it becomes GB-455. It is an extract
-from the SKL War Diary for 19 December 1940.
-
-[_Turning to the witness._] You kept the SKL War Diary yourself at that
-time, did you not?
-
-WAGNER: No, I did not keep it, but I signed it.
-
-COL. PHILLIMORE: You signed it. Did you read it before you signed it?
-
-WAGNER: The essential parts, yes.
-
-COL. PHILLIMORE: You see, it reads: “News from the Neutrals,” and it is
-headed “Spain”:
-
- “According to a report from the naval attaché, Spanish fishing
- vessel was sunk by a submarine of unknown nationality between
- Las Palmas and Cape Juby. In the rescue boats the crew was
- subjected to machine gun fire. Three men badly wounded. Landed
- at Las Palmas on 18 December. Italians suspected. (Possibility
- it might have been _U-37_).”
-
-Then on 20 December, the next day:
-
- “Commander, Submarine Fleet, will be informed of Spanish report
- regarding sinking of Spanish fishing vessel by submarine of
- unknown nationality on 16 December between Las Palmas and Cape
- Juby, and requested to conduct an investigation. On the
- responsibility of the Naval Operations Staff it is confirmed to
- our naval attaché in Madrid that, regarding the sinking, there
- is no question of a German submarine.”
-
-When you reported that, you thought it possible, did you not, that it
-might have been _U-37_; is that not so?
-
-WAGNER: It seems to me that in the meantime it became known that it was
-not _U-37_.
-
-COL. PHILLIMORE: I will read on. This is under date of 21 December:
-
- “_U-37_ reports: a torpedo fired at a tanker of the _Kopbard_
- type (7329) ran off in a circle and probably hit an Amphitrite
- submarine in the tanker’s convoy. Tanker burned out. Spanish
- steamer _St. Carlos_ (300) without distinguishing marks, through
- concentrated gunfire. Nine torpedoes left.
-
- “Then _U-37_ torpedoed French tanker _Rhone_ and the submarine
- _Sfax_ and sank the Spanish fishing vessel.”
-
-And then, if you will read the next entry.
-
- “We shall continue to maintain to the outside world that there
- is no question of a German or Italian submarine in the sea area
- in question being responsible for the sinkings.”
-
-Do you still say that you did not deceive the neutrals?
-
-WAGNER: This case is doubtless a deception, but I do not remember for
-what particular reason this deception was carried through.
-
-COL. PHILLIMORE: But it is pretty discreditable, is it not? Do you
-regard that as creditable to the German Navy, that conduct?
-
-WAGNER: No, this...
-
-COL. PHILLIMORE: Did the Defendant Raeder sign the War Diary?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: Did you tell the Defendant Dönitz what answer you were
-giving to the Spaniards and the Norwegians?
-
-WAGNER: That I do not recall.
-
-COL. PHILLIMORE: He would get a copy, would he not?
-
-WAGNER: I did not understand you.
-
-COL. PHILLIMORE: You would send him a copy, would you not, of your note
-to the Foreign Office?
-
-WAGNER: That is possible.
-
-THE PRESIDENT: Colonel Phillimore, does the signature of the Defendant
-Raeder appear at the end of this document, C-105?
-
-COL. PHILLIMORE: My Lord, I regret to say I have not checked that. But
-as the witness has said, the practice was that he was to sign the War
-Diary, and that the Commander-in-Chief was to sign it periodically.
-
-Is that right, Witness?
-
-WAGNER: Yes. On the next page, on 21 December my signature appears as
-well as those of Admiral Fricke, Admiral Schniewind, and Admiral Raeder.
-
-DR. SIEMERS: Mr. President, I would be very grateful to the Prosecution
-if the documents which concern the Defendant Raeder would also be given
-to me, for it is relatively difficult for me to follow the situation
-otherwise. I have received none of these documents.
-
-COL. PHILLIMORE: I am extremely sorry, My Lord. That is my fault, and I
-will see that Dr. Siemers has the copies tonight.
-
-THE PRESIDENT: We will adjourn now at this point until tomorrow morning.
-
- [_The Tribunal adjourned until 14 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED
- AND TWENTY-NINTH DAY
- Tuesday, 14 May 1946
-
-
- _Morning Session_
-
-[_The witness Wagner resumed the stand._]
-
-COL. PHILLIMORE: Do you remember the sinking of the _Monte Corbea_ in
-September 1942?
-
-WAGNER: I have some recollection of it.
-
-COL. PHILLIMORE: That was the ship in respect to which the Defendant
-Dönitz sent a telegram to the U-boat commander, threatening him with
-court-martial on his return because he had sunk the ship after
-recognizing it as a neutral. Now, in 1942 the friendship of Spain was
-very important to Germany, was it not?
-
-WAGNER: I assume so.
-
-COL. PHILLIMORE: You told us yesterday that Admiral Raeder was
-considering Mediterranean policy—recommending it. Now that was the
-reason, was it not, why the U-boat commander was threatened with
-court-martial, that it mattered in 1942 if you sank a Spanish ship?
-
-WAGNER: No, that was not the reason. The reason was that the commander
-of the U-boat in question had obviously not acted according to the
-directives of the Commander of U-boats.
-
-COL. PHILLIMORE: It did not matter in 1940 when you thought you were
-winning the war, but in September 1942 I suggest to you it became
-politically inexpedient to sink a Spanish ship; is that not right?
-
-WAGNER: You will have to ask the political departments of the German
-Reich about that.
-
-COL. PHILLIMORE: If that is the answer, do you think it is unfair to
-describe your attitude to the sinking of neutral ships as cynical and
-opportunist?
-
-WAGNER: No, I reject that absolutely.
-
-COL. PHILLIMORE: I want to ask you one or two questions about the
-witness Heisig. You spoke yesterday of a conversation in the jail here
-in the first week of December 1945.
-
-WAGNER: In December 1945?
-
-COL. PHILLIMORE: Yes. You knew at the time you spoke to Heisig that he
-was going to be called as a witness, did you not?
-
-WAGNER: That could be assumed from his presence here at Nuremberg.
-
-COL. PHILLIMORE: And you knew you were going to be called as a witness,
-did you not?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: Are you telling the Tribunal that you did not tell the
-defense lawyers about this conversation until quite recently?
-
-WAGNER: I did not understand the sense of your question.
-
-COL. PHILLIMORE: Are you telling the Tribunal that you did not report
-this conversation with Heisig to the defense lawyers until quite
-recently?
-
-WAGNER: I think it was in February or March when I told the Defense
-Counsel about this conversation.
-
-COL. PHILLIMORE: Now I just want to put the dates to you. The U-boat
-Commander Eck was sentenced to death on 20 October. Do you know that?
-
-WAGNER: I did not know the date.
-
-COL. PHILLIMORE: Death sentence was passed by the Commission on 21
-November and he was executed on 30 November. That is to say he was
-executed before you had this conversation. Did you know that?
-
-WAGNER: No. I just discovered that now.
-
-COL. PHILLIMORE: At any rate, the witness Heisig knew it before he gave
-his evidence, did he not?
-
-WAGNER: Obviously not. Otherwise, he would most likely have told me
-about it. Previously, he had for 10 days...
-
-COL. PHILLIMORE: Will you just listen to a question and answer from his
-cross-examination. It is Page 2676 of the transcript (Volume V, Page
-227). This is a question by Dr. Kranzbühler:
-
- “In your hearing on 27 November were you not told that the death
- sentence against Eck and Hoffmann had already been set?”
-
- Answer: “I do not know whether it was on 27 November. I know
- only that here I was told of the fact that the death sentence
- had been carried out. The date I cannot remember. I was in
- several hearings.”
-
-Now if that is right...
-
-THE PRESIDENT: What date was that evidence given?
-
-COL. PHILLIMORE: That was given on 14 January, My Lord; Page 2676 of the
-transcript (Volume V, Page 227).
-
-WAGNER: I did not understand who gave this testimony.
-
-COL. PHILLIMORE: The witness Heisig, when he gave evidence here in
-Court. So that whether or not he was deceived, as you suggest, before he
-gave his affidavit, he at least knew the true facts before he gave
-evidence here to the Tribunal?
-
-WAGNER: Then he told an untruth to me.
-
-COL. PHILLIMORE: Now, I want to ask you one question on the order of 17
-September 1942. That is the order that you say you monitored in the
-naval war staff and saw nothing wrong with it. Did the Defendant Raeder
-see that order?
-
-WAGNER: That I cannot say with certainty.
-
-COL. PHILLIMORE: You were Chief of Staff Operations at that time?
-
-WAGNER: Yes, but one cannot expect me to remember every incident in 6
-years of war.
-
-COL. PHILLIMORE: Oh, no, but this was an important order, was it not?
-
-WAGNER: Certainly, but there were many important orders in the course of
-6 years.
-
-COL. PHILLIMORE: Would you normally show an important operational order
-to the Commander-in-Chief?
-
-WAGNER: It was my task to submit all important matters to the Chief of
-Staff of the Naval Operations Staff, and he decided which matters were
-to be submitted to the Grossadmiral.
-
-COL. PHILLIMORE: Are you saying that you would not have shown this to
-the Chief of Staff?
-
-WAGNER: No. I am sure he had knowledge of it.
-
-COL. PHILLIMORE: Have you any doubt that this order would have been
-shown to Admiral Raeder?
-
-WAGNER: That I cannot say; I do not recall whether he received it.
-
-COL. PHILLIMORE: Now I want to ask one or two questions about your tasks
-as Admiral, Special Duties. You became Admiral, Special Duties, in June
-1944, is that right?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: And from then on you attended the important conferences
-with Admiral Dönitz and in his absence represented him, did you not?
-
-WAGNER: I never participated in any discussions as his representative.
-Dönitz was represented by the Chief of the SKL.
-
-COL. PHILLIMORE: Now at that stage of the war all questions were
-important insofar as they affected military operations in one way or
-another, were they not?
-
-WAGNER: At every stage of the war all military questions are of
-importance.
-
-COL. PHILLIMORE: What I am putting to you is that at that stage of the
-war the importance of all questions chiefly depended on how they
-affected the military situation.
-
-WAGNER: Yes, that, I imagine, one has to admit.
-
-COL. PHILLIMORE: And during that period Germany was virtually governed
-by the decisions taken at the Führer’s headquarters, was it not?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: Now I want you to look at a record of one of Admiral
-Dönitz’ visits—My Lord, this is D-863; it is a new document and becomes
-Exhibit GB-456.
-
-Now that is a record of a visit to the Führer’s headquarters on 28 and
-29 of August 1943. You were not there yourself, but your immediate
-superior Vice Admiral Meisel accompanied Admiral Dönitz, and the names
-of the Naval Delegation are set out at the top of the page: Admiral
-Dönitz, Vice Admiral Meisel, Kapitän zur See Rehm, _et cetera_. And your
-program as set out was: After your arrival, at 1130, conversation with
-Commander-in-Chief Navy, Commander-in-Chief Luftwaffe; 1300, situation
-conference with the Führer, closing with a further conversation between
-the Commander-in-Chief Navy and the Commander-in-Chief Luftwaffe; then
-at 1600 the Commander-in-Chief Navy left. After that Admiral Meisel had
-a conversation with Ambassador Ritter of the Foreign Office. Then a
-conversation with General Jodl, an evening conference with the Führer,
-and then at midnight a conference with Reichsführer-SS Himmler. On the
-next day the usual conference with the Führer; then a conference with
-the Chief of the General Staff of the Air Force. And then he left.
-
-Now, is that a fair sample of what went on whenever Admiral Dönitz
-visited; that he had conversations, various conferences with other
-officials?
-
-WAGNER: That is a typical example of a visit of the Grossadmiral at the
-headquarters, insofar as he participated only in situation conferences
-with the Führer, and in addition he had military discussions with the
-Commander-in-Chief of the Air Force.
-
-COL. PHILLIMORE: And that shows, does it not, the whole business of
-government being carried on at the Führer’s headquarters?
-
-WAGNER: No, not at all. I have already said the Grossadmiral only
-participated at the situation conference, that is, the military
-situation conference with the Führer and beyond that one or even two
-discussions with the Commander-in-Chief of the Air Force.
-
-COL. PHILLIMORE: And with General Jodl or Field Marshal Keitel, somebody
-from the Foreign Office, and so on?
-
-WAGNER: Otherwise the Grossadmiral had no discussions of any sort, as
-can be seen from the document, for on 28 August at 1600 hours he
-returned by air. The other discussions were discussions of the Chief of
-Staff of the SKL, the...
-
-COL. PHILLIMORE: But I was putting it to you that this was a typical
-visit. If Admiral Dönitz had not left, he would have had these other
-conversations and not Admiral Meisel, is that not right?
-
-WAGNER: No, not at all. The Chief of Staff of the SKL very rarely had
-the opportunity of coming to headquarters; and according to the record
-here, he obviously used his opportunity to contact a few of the
-leading...
-
-COL. PHILLIMORE: I do not want to waste time with it. I suggest to you
-that when Admiral Dönitz went there he normally saw many other ministers
-and conversed with them on any business affecting the Navy.
-
-WAGNER: Naturally, the Admiral discussed all questions affecting the
-Navy with those who were concerned with them.
-
-COL. PHILLIMORE: Now, I want to ask you one or two questions on the
-minutes with regard to the Geneva Convention—that is C-158, GB-209,
-Page 69 of the English Prosecution’s document book, or Page 102 of the
-German. Will you look at Page 102.
-
-Now you, as you told us yesterday, initialed those minutes, did you not;
-and a copy was marked to you, is that not right?
-
-WAGNER: Yes, I signed these minutes.
-
-COL. PHILLIMORE: Yes; were they accurate?
-
-WAGNER: They contained salient points about the things which had
-happened at headquarters.
-
-COL. PHILLIMORE: They were an accurate record, were they?
-
-WAGNER: Undoubtedly I believed that things had taken place as they are
-recorded here.
-
-COL. PHILLIMORE: Now, did you agree with Admiral Dönitz’ advice that it
-would be better to carry out the measures considered necessary without
-warning and at all costs to save face with the outer world? Did you
-agree with that?
-
-WAGNER: I already explained yesterday, clearly and unequivocally, how I
-interpreted this sentence which was formulated by me; and I have nothing
-to add to that statement. In the sense which I stated yesterday, I agree
-completely.
-
-COL. PHILLIMORE: And the step which Hitler wanted to take was to put
-prisoners of war in the bombed towns, was it not? Was that not the
-breach of the Convention that he wanted to make?
-
-WAGNER: No, it was the renunciation of all the Geneva agreements; not
-only the agreement about prisoners of war, but also the agreement on
-hospitals ships, the Red Cross agreement, and other agreements which had
-been made at Geneva.
-
-COL. PHILLIMORE: Then what were the measures considered necessary which
-could be taken without warning? Just look at that sentence.
-
-WAGNER: I do not understand that.
-
-COL. PHILLIMORE: Look at the last sentence, “It would be better to carry
-out the measures considered necessary.” What were those measures?
-
-WAGNER: They were not discussed at all.
-
-COL. PHILLIMORE: Do you see any difference between the advice which
-Admiral Dönitz was giving them and the advice which you described as the
-rather romantic ideas of a young expert on the document about sinking
-without warning at night? Let me put it to you; what the naval officer
-said on the Document C-191 was: “Sink without warning. Do not give
-written permission. Say it was a mistake for an armed merchant
-cruiser...”
-
-We have Admiral Dönitz saying, “Do not break the rules, tell no one
-about it and at all costs save face with the world.”
-
-Do you see any difference?
-
-WAGNER: I already testified yesterday that the difference is very great.
-Admiral Dönitz opposed the renunciation of the Geneva Convention and
-said that even if measures to intimidate deserters or countermeasures
-against bombing attacks on cities were to be taken, the Geneva
-Convention should not be renounced in any case.
-
-COL. PHILLIMORE: Now, I want to put to you a few questions about
-prisoners of war. So far as naval prisoners of war were concerned, they
-remained in the custody of the Navy, did they not?
-
-WAGNER: I am not informed about the organization of prisoner-of-war
-camps. According to my recollection they were first put into a naval
-transit camp. Then they were sent to other camps; but I do not know
-whether these camps were under the jurisdiction of the Navy or the OKW.
-
-COL. PHILLIMORE: Have you not seen the defense documents about the Camp
-Marlag telling us how well they were treated? Have you not seen them?
-
-WAGNER: No.
-
-COL. PHILLIMORE: Now, naval prisoners, when they were captured by your
-forces, their capture was reported to the naval war staff, was it not?
-
-WAGNER: Such captures were, in general, reported as part of the
-situation reports.
-
-COL. PHILLIMORE: Now, do you remember the Commando Order of 18 October
-1942?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: You actually signed the order passing that Führer Order
-on to commands, did you not?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: My Lord, the document is C-179, and that was put in as
-United States Exhibit 543 (USA-543). It is in that bundle that Sir David
-Maxwell-Fyfe handed to the Tribunal when cross-examining the defendant.
-I think it is either the last or very near to the last document in the
-bundle.
-
-[_Turning to the witness._] Did you approve of that order?
-
-WAGNER: I regretted that one had to resort to this order, but in the
-first paragraph the reasons for it are set forth so clearly that I had
-to recognize its justification.
-
-COL. PHILLIMORE: You knew what handing over to the SD meant, did you
-not? You knew that meant shooting?
-
-WAGNER: No, that could have meant a lot of things.
-
-COL. PHILLIMORE: What did you think it meant?
-
-WAGNER: It could have meant that the people were interrogated for the
-counterintelligence; it could have meant that they were to be kept
-imprisoned under more severe conditions, and finally it could have meant
-that they might be shot.
-
-COL. PHILLIMORE: But you had no doubt that it meant that they might be
-shot, had you?
-
-WAGNER: The possibility that they might be shot undoubtedly existed.
-
-COL. PHILLIMORE: Yes, and did that occur to you when you signed the
-order sending it on to commanders?
-
-WAGNER: I would like to refer to Paragraph 1 of this order, where it...
-
-COL. PHILLIMORE: Do you mind answering the question? Did it occur to you
-that they might be shot when you signed the order sending it on to
-commanders?
-
-WAGNER: Yes, the possibility was clear to me.
-
-DR. SIEMERS: Mr. President, the witness was asked whether he approved of
-this order. I do not think that Colonel Phillimore can cut off the
-witness’ answer by saying that he may not refer to Paragraph 1 of the
-order. I believe that Paragraph 1 of the order is of decisive importance
-for this witness. Mr. President, the witness Admiral Wagner...
-
-THE PRESIDENT: You have an opportunity of re-examining the witness.
-
-DR. SIEMERS: Yes.
-
-THE PRESIDENT: Then why do you interrupt?
-
-DR. SIEMERS: Because Colonel Phillimore has interrupted the answer of
-the witness and I believe that even in cross-examination the answer of
-the witness must be at least heard.
-
-THE PRESIDENT: Well, the Tribunal does not agree with you.
-
-COL. PHILLIMORE: My Lord, I understood him to have already made some
-point that the defendant made once? I only interrupted him when he
-sought to make it again.
-
-[_Turning to the witness._] I put my question once again. When you
-signed the order sending this document on to lower commanders, did it
-occur to you then that these men would probably be shot?
-
-WAGNER: The possibility that these people who were turned over to the SD
-might be shot was clear to me.
-
-COL. PHILLIMORE: Was it also...
-
-WAGNER: I have not finished yet. But only those people who had not been
-captured by the Wehrmacht were to be handed over to the SD.
-
-COL. PHILLIMORE: Did it also occur to you that they would be shot
-without trial?
-
-WAGNER: Yes, that can be concluded from the order.
-
-COL. PHILLIMORE: And what do you mean by saying that it only referred to
-those not captured by the Wehrmacht? Would you look at Paragraph 3.
-
- “From now on all enemies on so-called Commando missions in
- Europe or Africa, challenged by German troops, even if they are
- to all appearances soldiers in uniform or demolition troops,
- whether armed or unarmed, in battle or in flight, are to be
- slaughtered to the last man. It does not make any difference
- whether they landed from ships or airplanes for their actions of
- whether they were dropped by parachutes. Even if these
- individuals when found should apparently seem to give themselves
- up, no pardon is to be granted them on principle. In each
- individual case full information is to be sent to the OKW for
- publication in the OKW communiqué.”
-
-Are you saying it did not refer to men captured by the military forces?
-
-WAGNER: Yes, I maintain that statement. There is nothing in the entire
-paragraph which says these men who were captured by the Wehrmacht were
-to be turned over to the SD. That was the question.
-
-COL. PHILLIMORE: Now, read on in the last paragraph.
-
- “If individual members of such Commandos, such as agents,
- saboteurs, _et cetera_, fall into the hands of the military
- forces by some other means, for example through the Police in
- occupied territories, they are to be handed over immediately to
- the SD.”
-
-WAGNER: Yes. It is expressly stated here that only those people are to
-be turned over to the SD who are not captured by the Wehrmacht but by
-the Police; in that case the Wehrmacht could not take them over.
-
-COL. PHILLIMORE: Indeed it is not. That capture by the Police is given
-as one possible instance. But you know, you know in practice, do you
-not, that there were several instances where Commandos were captured by
-the Navy and handed over to the SD under this order? Do you not know
-that?
-
-WAGNER: No.
-
-COL. PHILLIMORE: Well, let me just remind you. Would you look at
-Document 512-PS.
-
-That is also in that bundle, My Lord, as United States Exhibit 546
-(USA-546). It is the second document. According to the last sentence of
-the Führer Order of 18 October:
-
- “Individual saboteurs can be spared for the time being in order
- to keep them for interrogation. Importance of this measure was
- proven in the cases of Glomfjord, the two-man torpedo at
- Trondheim, and the glider plane at Stavanger, where
- interrogations resulted in valuable knowledge of enemy
- intentions.”
-
-And then it goes on to another case, the case of the Geronde.
-
-Do you say that you do not remember the two-man torpedo attack on the
-_Tirpitz_ in Trondheim Fjord?
-
-WAGNER: No, no. I am not asserting that I do not remember it. I do
-remember it.
-
-COL. PHILLIMORE: Yes. Did you not see in the Wehrmacht communiqué after
-that attack what had happened to the man who was captured?
-
-WAGNER: I cannot recall it at the moment.
-
-COL. PHILLIMORE: Let me just remind you. One man was captured, Robert
-Paul Evans, just as he was getting across the Swedish border, and he
-was—that attack took place in October 1942—he was executed in January
-1943, on 19 January 1943.
-
-My Lord, the reference to that might be convenient; it is Document
-UK-57, which was put in as Exhibit GB-64.
-
-[_Turning to the witness._]
-
-Do you say that you do not remember seeing any report of his capture or
-of his shooting or of his interrogation?
-
-WAGNER: No, I believe I remember that, but this man...
-
-COL. PHILLIMORE: Now what do you remember? Just tell us what you
-remember. Do you remember seeing his capture reported?
-
-WAGNER: I no longer know that. I remember there was a report that a
-considerable time after the attack on the _Tirpitz_ a man was captured,
-but to my knowledge not by the Navy.
-
-COL. PHILLIMORE: Would you look at the Document D-864, a sworn
-statement.
-
-My Lord, through some error I am afraid I have not got it here. May I
-just put the facts, and if necessary put in the document if I can
-produce it in time.
-
-[_Turning to the witness._] I suggest to you that Robert Paul Evans,
-after his capture, was personally interrogated by the
-Commander-in-Chief, Navy, of the Norwegian North Coast. Do you say you
-know nothing of that?
-
-WAGNER: Yes, I maintain that I do not remember it.
-
-COL. PHILLIMORE: You see, this was the first two-man torpedo attack by
-the British Navy against the German naval forces, was it not? That is
-so, is it not?
-
-WAGNER: Yes, that is possible.
-
-COL. PHILLIMORE: No, but you must know that, do you not? You were Chief
-of Staff Operations at the time.
-
-WAGNER: I believe it was the first time.
-
-COL. PHILLIMORE: Do you say that the results of that important
-interrogation were not reported to you in the naval war staff?
-
-WAGNER: They were certainly reported, but nevertheless I cannot remember
-that the Commanding Admiral in Norway actually conducted this
-interrogation.
-
-COL. PHILLIMORE: Did you see a report by that admiral?
-
-WAGNER: I do not know where it originated, but I am certain I saw a
-report of that kind.
-
-COL. PHILLIMORE: Was it clear to you that that report was based on
-interrogation?
-
-WAGNER: Yes, I think so.
-
-COL. PHILLIMORE: And you say you did not know that this man Evans, some
-two months after his capture, was taken out and shot under the Führer
-order?
-
-WAGNER: Yes, I maintain that I do not remember that.
-
-COL. PHILLIMORE: I will put you another instance. Do you remember the
-Bordeaux incident in December 1942?
-
-That is 526-PS, My Lord. That is also in the bundle. It was originally
-put in as United States Exhibit 502 (USA-502).
-
-[_Turning to the witness._] I am sorry; it is the Toftefjord incident I
-am putting to you, 526-PS. Do you remember this incident in Toftefjord
-in March 1943?
-
-WAGNER: I do remember that about this time an enemy cutter was seized in
-a Norwegian fjord.
-
-COL. PHILLIMORE: Yes. And did you not see in the Wehrmacht communiqué
-“Führer Order executed”?
-
-WAGNER: If it said so in the Wehrmacht communiqué then I must have read
-it.
-
-COL. PHILLIMORE: Have you any doubt that you knew that the men captured
-in that attack were shot, and that you knew it at the time?
-
-WAGNER: Apparently he was shot while being captured.
-
-COL. PHILLIMORE: If you look at the document:
-
- “Enemy cutter engaged. Cutter blown up by the enemy. Crew, 2
- dead men, 10 prisoners.”
-
-Then look down:
-
- “Führer Order executed by SD.”
-
-That means those 10 men were shot, does it not?
-
-WAGNER: It must mean that.
-
-COL. PHILLIMORE: Yes. Now I just put to you the document that I referred
-to on the Trondheim episode, D-864. This is an affidavit by a man who
-was in charge of the SD at Bergen and later at Trondheim, and it is the
-second paragraph:
-
- “I received the order by teletype letter or radiogram from the
- Commander of the Security Police and the SD, Oslo, to transfer
- Evans from Trondheim Missions Hotel to the BDS, Oslo.
-
- “I cannot say who signed the radiogram or the teletype letter
- from Oslo. I am not sure to whom I transmitted the order, but I
- think it was to Hauptsturmführer Hollack. I know that the
- Commanding Admiral of the Norwegian Northern Coast had
- interrogated Evans himself.”
-
-And then he goes on to deal with Evans’ clothing.
-
-I put it to you once again: Do you say that you did not know from the
-Admiral, Northern Coast himself that he had interrogated this man?
-
-WAGNER: Yes, I am asserting that.
-
-COL. PHILLIMORE: Well, I will take you to one more incident which you
-knew about, as is shown by your own war diary. Would you look at the
-Document D-658.
-
-My Lord, this document was put in as GB-229.
-
-[_Turning to the witness._] Now, that is an extract from the SKL War
-Diary, is it not?
-
-WAGNER: Let me examine it first. I do not have the impression that...
-
-COL. PHILLIMORE: You said yesterday that it was from the war diary of
-the Naval Commander, West France, but I think that was a mistake, was it
-not?
-
-WAGNER: I did not make any statement yesterday on the origin of the war
-diary.
-
-COL. PHILLIMORE: Just read the first sentence. I think it shows clearly
-it was the SKL War Diary.
-
- “9 December 1942. The Naval Commander, West France,
- reports”—and then it sets out the incident. And then, the third
- sentence:
-
- “The Naval Commander, West France, has ordered that both
- soldiers be shot immediately for attempted sabotage if their
- interrogation, which has been begun, confirms what has so far
- been discovered; their execution has, however, been postponed in
- order to obtain more information.
-
- “According to a Wehrmacht report”—I think that is a
- mistranslation; it should be “According to the Wehrmacht
- communiqué”—“both soldiers had meanwhile been shot. The measure
- would be in accordance with the Führer’s special order, but is
- nevertheless something new in international law, since the
- soldiers were in uniform.”
-
-That is from the SKL War Diary, is it not?
-
-WAGNER: I do not think that this is the War Diary of the SKL; but rather
-it would seem to be the war diary of the Naval Group Command, West, or
-the Commanding Admiral in France.
-
-COL. PHILLIMORE: Well, I will get the original here and clear the matter
-up later, but I suggest to you that this is the SKL War Diary, which at
-the time...
-
-WAGNER: I cannot recognize that assertion until it is proved by the
-original.
-
-COL. PHILLIMORE: And I suggest to you that you, who were Chief of Staff
-Operations at the time, must have been fully aware of that incident. Do
-you deny that?
-
-WAGNER: I deny—I maintain that I do not remember that affair.
-
-COL. PHILLIMORE: Do you say that a matter of that sort would not be
-reported to you?
-
-WAGNER: I have been told here that the order to shoot these people was
-obtained from headquarters directly by the SD.
-
-COL. PHILLIMORE: Now, finally, I put to you the incident of the capture
-of the seven seamen, six of the Norwegian Navy and one of the Royal
-Navy, at Ulven near Bergen in July 1943. That is the document D-649 in
-the Prosecution document book, GB-208.
-
-Do you remember this incident? Do you remember the capture of these
-seven men by Admiral Von Schrader with his two task forces?
-
-WAGNER: I saw this paper while I was being interrogated, and that is why
-I remember it.
-
-COL. PHILLIMORE: But do you remember the incident?
-
-WAGNER: No, not from my personal recollection.
-
-COL. PHILLIMORE: You were still Chief of Staff Operations.
-
-THE PRESIDENT: Which page?
-
-COL. PHILLIMORE: My Lord, it is Page 67 of the English document book,
-Page 100 in the German.
-
-[_Turning to the witness._] Do you say that as Chief of Staff Operations
-you do not remember any of these incidents?
-
-WAGNER: Yes, I assert and maintain what I have already said about this.
-
-COL. PHILLIMORE: Did not your operational—did your commanders not
-report when they captured an enemy Commando?
-
-WAGNER: I must assume that those things were also reported in the
-situation reports.
-
-COL. PHILLIMORE: Now, you are really suggesting that you have forgotten
-all about these incidents now?
-
-WAGNER: In all my testimony I have strictly adhered to what I personally
-remember.
-
-COL. PHILLIMORE: Do you know what happened to these men? You know they
-were captured in uniform, do you not? There was a naval officer with
-gold braid around his arm. That is a badge you use in the German Navy,
-is it not?
-
-WAGNER: I have already said that I do not recall this affair.
-
-COL. PHILLIMORE: Well, let me just tell you and remind you. After
-interrogation by naval officers and officers of the SD, both of whom
-recommended prisoner-of-war treatment, these men were handed over by the
-Navy to the SD for shooting. They were taken to a concentration camp,
-and at 4 o’clock in the morning they were led out one by one,
-blindfolded, fettered, not told they were going to be shot, and shot one
-by one on the rifle range. Do you know that?
-
-WAGNER: No.
-
-COL. PHILLIMORE: Did you know that is what handing over to the SD meant?
-
-WAGNER: I have already said that handing over to the SD implied several
-possibilities.
-
-COL. PHILLIMORE: Do you know that then their bodies were sunk in the
-fjord with charges attached, and destroyed, as it says in the document,
-“in the usual way”—Paragraph 10 of the affidavit—and their belongings
-in the concentration camp were burned?
-
-WAGNER: No, I do not know that.
-
-COL. PHILLIMORE: Very well. A further point: Do you remember that in
-March or April 1945, at the very end of the war, do you remember that
-this order, the Führer Order, was cancelled by Keitel?
-
-That is Paragraph 11 of the affidavit, My Lord.
-
-Do you remember that? Just read it.
-
-WAGNER: Yes, I have heard of that.
-
-COL. PHILLIMORE: Yes. You thought you were losing the war by then, and
-you had better cancel the Commando Order, is that not the fact?
-
-WAGNER: I do not know for what reasons the OKW rescinded orders.
-
-COL. PHILLIMORE: Is not this right: You did not worry about this order
-in 1942 when you thought you were winning the war, but when you found
-you were losing it, you began to worry about international law. Is not
-that what happened?
-
-WAGNER: It is absolutely impossible for me to investigate orders. This
-paragraph of the Commando Order states clearly and distinctly that these
-Commandos had orders—that these Commandos were composed partly of
-criminal elements of the occupied territories—that they had orders to
-kill prisoners whom they found a burden, that other Commandos had orders
-to kill all captives; and that orders to this effect had fallen into our
-hands.
-
-COL. PHILLIMORE: Did you ever make any inquiries to see whether that was
-true?
-
-WAGNER: It is absolutely impossible for me to investigate official
-information which I receive from my superiors.
-
-COL. PHILLIMORE: You were Chief of Staff Operations; you received every
-report on the Commando raids, did you not?
-
-WAGNER: I gave detailed evidence in each individual case, but I cannot
-make a general statement.
-
-COL. PHILLIMORE: When you were Chief of Staff Operations, did you not
-receive a full report every time there was a British Commando raid?
-
-WAGNER: I have already said that I believe such incidents formed part of
-the situation reports to the SKL.
-
-COL. PHILLIMORE: I suggest you can answer that question perfectly
-straight if you wanted to. Here you were, a Senior Staff Officer,
-Commando Raids. Are you saying you did not personally see and read a
-full report on every one?
-
-WAGNER: I am not asserting that. I have answered each individual
-question by stating exactly what I remember.
-
-COL. PHILLIMORE: Do you say that taking these men out and shooting them
-without a trial, without telling them they were going to be shot,
-without seeing a priest, do you say that...
-
-WAGNER: With regard to the Navy...
-
-COL. PHILLIMORE: Do you say that was not murder?
-
-WAGNER: I do not wish to maintain that at all. I do maintain that I was
-presumably told about the cases in which men were shot by the Navy, and
-I am of the opinion that these people who were captured as saboteurs
-were not soldiers, but were criminals who, in accordance with their
-criminal...
-
-COL. PHILLIMORE: Let us get it perfectly clear. Are you saying that the
-action taken in shooting these Commandos on all these occasions—are you
-saying that was perfectly, proper and justified? I thought you agreed
-with me it was murder, just now. Which is it?
-
-WAGNER: I would like to answer that in each individual case.
-
-COL. PHILLIMORE: It is a very simple question to answer generally and it
-takes less time. Do you say that men captured in uniform should be taken
-out and shot without trial?
-
-WAGNER: I cannot consider men of whom I know that they have orders to
-commit crimes, as soldiers, within international law.
-
-COL. PHILLIMORE: Are you saying that this action was perfectly
-proper—are you?
-
-WAGNER: Yes, entirely and perfectly.
-
-COL. PHILLIMORE: Shoot helpless prisoners without trial, bully little
-neutrals who cannot complain? That is your policy, is it?
-
-WAGNER: Not at all.
-
-COL. PHILLIMORE: What crime did Robert Paul Evans commit, who attacked
-the _Tirpitz_ in a two-man torpedo?
-
-WAGNER: I am convinced it was proved that he belonged to a sabotage
-unit, and that besides the purely naval character of the attack on the
-ship, there were other aspects which marked him as a saboteur.
-
-COL. PHILLIMORE: And you said just now that you did not remember the
-incident?
-
-WAGNER: Yes.
-
-COL. PHILLIMORE: Will you agree on this, will you agree with me, that if
-this shooting by the SD was murder, you and Admiral Dönitz and Admiral
-Raeder, who signed the orders under which this was done, are just as
-guilty as the men who shot them?
-
-WAGNER: The person who issued the order is responsible for it.
-
-COL. PHILLIMORE: And that person who passed it and approved it; is not
-that right?
-
-WAGNER: I assume full responsibility for the transmission of this order.
-
-COL. PHILLIMORE: Your Lordship, I have no further questions.
-
-THE PRESIDENT: Colonel Phillimore, D-658 was an old exhibit, was it not?
-
-COL. PHILLIMORE: Yes, My Lord.
-
-THE PRESIDENT: Have you given new exhibit numbers to all the new
-documents?
-
-COL. PHILLIMORE: I am very much obliged, Your Lordship. I did omit to
-give a new exhibit number to the affidavit by Flesch.
-
-THE PRESIDENT: D-864.
-
-COL. PHILLIMORE: D-864. My Lord, it should be GB-457. My Lord, I am very
-sorry. I was not advised, but I got it.
-
-THE PRESIDENT: And all the others you have given numbers to?
-
-COL. PHILLIMORE: Yes, My Lord.
-
-THE PRESIDENT: Very well. Is there any other cross-examination? Then,
-does Dr. Kranzbühler wish to re-examine? Dr. Kranzbühler, I see it is
-nearly half-past eleven, so perhaps we had better adjourn for ten
-minutes.
-
- [_A recess was taken._]
-
-THE PRESIDENT: Before Dr. Kranzbühler goes on with his re-examination, I
-shall announce the Tribunal’s decisions with reference to the
-applications which were made recently in court.
-
-The first application on behalf of the Defendant Von Schirach was for a
-witness Hans Marsalek to be produced for cross-examination, and that
-application is granted.
-
-The second application was for interrogatories to a witness Kaufmann,
-and that is granted.
-
-The next matter was an application on behalf of the Defendant Hess for
-five documents; and as to that, the Tribunal orders that two of the
-documents applied for under Heads B and D in Dr. Seidl’s application
-have already been published in the _Reichsgesetzblatt_, and one of them
-is already in evidence, and they will, therefore, be admitted.
-
-The Tribunal considers that the documents applied for under Heads C and
-E of Dr. Seidl’s application are unsatisfactory and have no evidential
-value; and since it does not appear from Dr. Seidl’s application and the
-matters referred to therein that the alleged copies are copies of any
-original documents, the application is denied in respect thereof. But
-leave is granted to Dr. Seidl to file a further affidavit by Gaus
-covering his recollection of what was in the alleged agreements.
-
-The application on behalf of the Defendant Funk for an affidavit by a
-witness called Kallus is granted.
-
-The application on behalf of the Defendant Streicher is denied. The
-application on behalf of the Defendant Sauckel firstly for a witness
-named Biedermann is granted, and secondly for four documents; that
-application is also granted.
-
-The application on behalf of the Defendant Seyss-Inquart for an
-interrogatory to Dr. Stuckart is granted.
-
-The application on behalf of the Defendant Frick is granted for an
-interrogatory to a witness, Dr. Konrad.
-
-The application on behalf of the Defendant Göring with reference to two
-witnesses is granted in the sense that the witnesses are to be alerted.
-
-The application on behalf of the Defendants Hess and Frank for official
-information from the ministry of war of the United States of America is
-denied.
-
-That is all.
-
-FLOTTENRICHTER KRANZBÜHLER: I would like to put another question to you
-on the subject of the Commando Order.
-
-Did the Naval Operations Staff have any part in introducing this order?
-
-WAGNER: No, no part at all.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you, did the Naval Operations Staff have
-the possibility, either before or during the drafting of the order, of
-investigating the correctness of the particulars mentioned in Paragraph
-1 of the order?
-
-WAGNER: No, such a possibility did not exist.
-
-FLOTTENRICHTER KRANZBÜHLER: The treatment of a man who had attacked the
-_Tirpitz_ with a two-man torpedo in October 1942 has just been discussed
-here. Did you know that a year later, in the autumn of 1943, there was a
-renewed attack on the _Tirpitz_ with two-man torpedoes, and that the
-British sailors who were captured at that time were treated in
-accordance with the Geneva Convention by the Navy, who had captured
-them?
-
-WAGNER: The second attack on the _Tirpitz_ is known to me. I do not
-remember the treatment of the prisoners.
-
-FLOTTENRICHTER KRANZBÜHLER: You mentioned that the Naval Operations
-Staff possibly received reports on the statements made by men of
-Commando units. From what aspect did those reports interest the Naval
-Operations Staff? Did operational questions interest you, or the
-personal fate of these people?
-
-WAGNER: Naturally we were interested in the tactical and operational
-problems so that we could gather experiences and draw our conclusions
-from them.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you actually remember seeing such a
-report?
-
-WAGNER: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Just now a document was shown to you dealing
-with the treatment of a Commando unit captured in a Norwegian fjord. It
-is Number 526-PS. Do you still have that document?
-
-WAGNER: Possibly, some documents are still lying here.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you have a look at that document. I am
-having the document handed to you. In the third paragraph you will find
-a reference to the fact that this Commando unit was carrying 1,000
-kilograms of explosives. Is that correct?
-
-WAGNER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you understand my question?
-
-WAGNER: I answered “yes.”
-
-FLOTTENRICHTER KRANZBÜHLER: I am sorry, I did not hear you.
-
-In the fifth paragraph you will find that the Commando unit had orders
-to carry out sabotage against strong points, battery positions, troop
-barracks, and bridges, and to organize a system for the purpose of
-further sabotage. Is that correct?
-
-WAGNER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Did these assignments have anything to do
-with the Navy?
-
-WAGNER: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you see any indication in the whole
-document which would suggest that the Navy had anything at all to do
-with the capture or the treatment of this Commando unit?
-
-WAGNER: No, the document does not contain an indication of that sort.
-
-FLOTTENRICHTER KRANZBÜHLER: You were asked this morning about the case
-of the _Monte Corbea_. In connection with a court-martial ruling against
-the commander, the Commander-in-Chief of the Navy, Admiral Raeder, sent
-a wireless message at that time to all commanders. This radiogram is
-recorded in Document Dönitz-78 in the document book, Volume IV, Page
-230. I shall read that wireless message to you:
-
- “The Commander-in-Chief of the Navy has personally and expressly
- renewed his instructions that all U-boat commanders must adhere
- strictly to the orders regarding the treatment of neutral ships.
- Any infringement of these orders has incalculable political
- consequences. This order is to be communicated to all commanders
- immediately.”
-
-Do you see any suggestion here that the order is restricted to Spanish
-ships?
-
-WAGNER: No, there is no such suggestion in this order.
-
-FLOTTENRICHTER KRANZBÜHLER: I submit to you a document which was used
-yesterday, D-807. It deals with notes to the Norwegian Government on the
-sinking of several steamers and contains the drafts of these notes of
-the High Command of the Navy. Does this document yield any indication at
-all that the notes were actually sent, or is it impossible to tell from
-the drafts that the notes themselves were ever dispatched?
-
-WAGNER: Since there are no initials or signatures on either of these
-letters; they may be drafts. At any rate, proof that they were actually
-sent is not apparent from this document.
-
-THE PRESIDENT: Did you give us the page number of it?
-
-FLOTTENRICHTER KRANZBÜHLER: It was submitted yesterday, Mr. President.
-It is not in any document book.
-
-THE PRESIDENT: Yes, I see.
-
-FLOTTENRICHTER KRANZBÜHLER: I now read to you the first sentence from
-another document which was put to you yesterday. Its number is D-846 and
-it concerns a discussion with the German Minister to Denmark,
-Renthe-Fink, on 26 September 1939. I shall read the first sentence to
-you:
-
- “Sinking of Swedish and Finnish ships by our submarines have
- caused considerable concern here on account of the Danish food
- transports to Great Britain.”
-
-Does this report give any indication that these sinkings took place
-without warning, or were these ships sunk because contraband was
-captured on them in the course of a legitimate search?
-
-WAGNER: The sentence which you have just read does not show how these
-ships were sunk. As far as I remember the document from yesterday, it
-does not contain any reference to the way in which these ships were
-sunk, so that it must be assumed as a matter of course that they were
-sunk in accordance with the Prize Ordinance.
-
-FLOTTENRICHTER KRANZBÜHLER: You were asked yesterday whether you
-considered the German note to the neutral countries of 24 November 1939
-a fair warning against entering certain waters and you answered the
-question in the affirmative. Is that right?
-
-WAGNER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: And then you were asked whether we had
-deceived the neutrals, and you answered that question with “no.” Did
-this negative answer apply to the previous question on the warning
-against sailing in certain waters, or did it refer to all the political
-measures with regard to neutral states which the German Government took
-in order to conceal their own political intentions?
-
-WAGNER: The answer in that context referred to the previous questions
-which had been asked about warning the neutrals promptly of the measures
-which we adopted for the war at sea.
-
-FLOTTENRICHTER KRANZBÜHLER: I want to make this point quite clear. Do
-you have any doubt whatever that the pretense of minefields in the
-operational zones around the British Coast served not only the purpose
-of deceiving the enemy defense, but also the political purpose of
-concealing from the neutrals the weapons which we employed in the war at
-sea?
-
-WAGNER: Yes, I expressly confirm this two-fold purpose.
-
-FLOTTENRICHTER KRANZBÜHLER: The two-fold purpose of secrecy?
-
-WAGNER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you have any doubt whatever that the
-German Government denied to neutral governments that certain ships were
-sunk by U-boats, although they had in fact been sunk by U-boats?
-
-WAGNER: Yes. Or rather, no. I have no doubt that the denials were
-formulated in that way, as a generally accepted political measure
-adopted wherever indicated.
-
-FLOTTENRICHTER KRANZBÜHLER: Yesterday you admitted the possibility that
-Admiral Dönitz, as Commander-in-Chief of U-boats, may have received
-knowledge from the Naval Operations Staff of the handling of political
-incidents caused by U-boats. Can you, after careful recollection, name a
-single instance when he did in fact receive from the SKL information on
-the political measures adopted?
-
-WAGNER: No, I do not remember such an instance.
-
-FLOTTENRICHTER KRANZBÜHLER: I have no further questions.
-
-DR. SIEMERS: Admiral, you have explained the basis of the Commando
-Order, as far as the Naval Operations Staff is concerned, by referring
-to Hitler’s definite assertions that he had in his possession enemy
-orders saying that prisoners were to be killed. In connection with this
-Commando Order Colonel Phillimore dealt with the case of the British
-sailor Evans in great detail. In my opinion that case has not so far
-been clarified. Colonel Phillimore spoke of the murder of a soldier. I
-think that in spite of the soundness of the documents the Prosecution is
-mistaken about the facts, also in a legal respect. Will you once more
-look at both documents, Document D-864...
-
-Mr. President, that is Exhibit GB-457, discussed by Colonel Phillimore
-this morning.
-
-This is an affidavit by Gerhard Flesch. The Prosecution quoted the
-sentence which states that the Commanding Admiral of the Northern Coast
-of Norway had interrogated Evans personally. Admiral Wagner, does that
-sentence show that Evans was a prisoner of the Navy?
-
-WAGNER: No.
-
-DR. SIEMERS: What was the situation according to the Flesch affidavit?
-Will you please clarify it?
-
-WAGNER: According to the second paragraph of that affidavit, Evans must
-have been in the hands of the SD.
-
-DR. SIEMERS: That is right.
-
-And, Mr. President, may I add that at the beginning of the affidavit
-Flesch states that he was the commander of the Security Police. The
-Security Police had captured Evans; he was therefore a prisoner of the
-SD.
-
-[_Turning to the witness._] Is it correct, therefore, that the British
-sailor Evans was available to the German admiral in Norway for the sole
-purpose of being interrogated?
-
-WAGNER: Undoubtedly.
-
-DR. SIEMERS: And the admiral was interested in interrogating him merely
-to obtain purely factual information on the attack on the _Tirpitz_. Is
-that correct?
-
-WAGNER: Quite correct.
-
-DR. SIEMERS: May I ask you to look at the next paragraph of the
-Affidavit D-864? There it mentions Evans’ clothes, and says:
-
-“It is not known to me that Evans wore a uniform. As far as I can
-remember, he was wearing blue overalls.”
-
-Does this mean that Evans was not recognizable as a soldier?
-
-WAGNER: No, probably not.
-
-DR. SIEMERS: Will you now pass on to the Document UK-57 submitted by
-Colonel Phillimore?
-
-Mr. President, this is Exhibit GB-164 and should be in the original
-Document Book Keitel, but I think it was newly submitted today.
-
-[_Turning to the witness._] You have a photostat copy, have you not?
-
-WAGNER: Yes.
-
-DR. SIEMERS: Will you, please, turn to the fourth page. First, a
-question: Is it possible that this document was known to the Naval
-Operations Staff? Does the document indicate that it was sent to the
-Naval Operations Staff?
-
-WAGNER: These are informal conference notes of the OKW which were
-apparently not sent to the Naval Operations Staff.
-
-DR. SIEMERS: If I understand it correctly then, this is a document of
-the Intelligence Service of the OKW, is it not?
-
-WAGNER: Yes. That is correct.
-
-DR. SIEMERS: Under Figure 2 it says “attempted attack on the battleship
-_Tirpitz_.” The first part was read by Colonel Phillimore:
-
- “Three Englishmen and two Norwegians were held up at the Swedish
- frontier.”
-
-Can one, on the strength of this, say that they were presumably
-apprehended by the Police and not by the Wehrmacht?
-
-WAGNER: Presumably, yes. Certainly not by the Navy; but probably by the
-Police, who controlled the frontiers, so far as I know.
-
-DR. SIEMERS: Do you not think, Admiral, that this is not only probable
-but certain if you think back to the affidavit of 14 November 1945 by
-Flesch, the commander of the Security Police, who brought Evans from the
-frontier to Oslo?
-
-WAGNER: If you take the two together, then in my opinion it is certain;
-I do not think there is any doubt about it.
-
-DR. SIEMERS: Will you then look at the following sentence?
-
-Mr. President, that is under Figure 2, the last sentence of the first
-paragraph. I quote:
-
- “It was possible to take only the civilian-clothed British
- sailor Robert Paul Evans”—born on such and such a date—“into
- arrest. The others escaped into Sweden.”
-
-Therefore, I think we may assume with certainty that Evans was not
-recognizable as a soldier.
-
-WAGNER: Yes, no doubt.
-
-DR. SIEMERS: Then, will you look at the following sentence. There it
-says—I quote:
-
- “Evans had a pistol holster used for carrying weapons under the
- arm-pit, and he had a knuckle duster.”
-
-SIR DAVID MAXWELL-FYFE: My Lord, it says nothing about civilian clothes
-in the English copy. I do not want to make a bad point, but it is not in
-my copy.
-
-THE PRESIDENT: I am afraid I do not have the document before me.
-
-SIR DAVID MAXWELL-FYFE: My Lord, the English copy that I have simply
-has, “However, only the British seaman, Robert Paul Evans, born 14
-January 1922, at London, could be arrested. The others escaped into
-Sweden.”
-
-My Lord, I think it can be checked afterwards.
-
-THE PRESIDENT: Exact reference to the document?
-
-SIR DAVID MAXWELL-FYFE: My Lord, that was Document UK-57, and it is a
-report of the OKW, Office for Ausland Abwehr, of 4 January 1944.
-
-THE PRESIDENT: Did Colonel Phillimore put it in this morning?
-
-SIR DAVID MAXWELL-FYFE: I put it in, My Lord, I think it was—certainly
-in cross-examining the Defendant Keitel. It has been in before, My Lord.
-
-THE PRESIDENT: I see, it has already been put in with this lot.
-
-DR. SIEMERS: I should be grateful to the Tribunal if the mistake were
-rectified in the English translation. In the German original text the
-photostat copy is included, therefore the wording “civilian-clothed”
-must be correct.
-
-Witness, we were discussing the sentence—I quote:
-
- “Evans had a pistol holster used for carrying weapons under the
- arm-pit, and he had a knuckle duster.”
-
-How does this bear on the fact that he was wearing civilian clothes?
-
-WAGNER: It shows that he...
-
-DR. SIEMERS: Sir David would like me to read the next sentence too:
-
- “Acts of force contrary to international law could not be proved
- against him. Evans made detailed statements regarding the action
- and, on 19 January 1943, in accordance with the Führer Order, he
- was shot.”
-
-How does this bear on the fact that he was wearing civilian clothes?
-Does this show that he did not act as a soldier in enemy territory
-should act?
-
-THE PRESIDENT: Just a moment. The Tribunal considers that that is a
-question of law which the Tribunal has got to decide, and not a question
-for the witness.
-
-DR. SIEMERS: Then I shall forego the answer.
-
-May I ask you to turn to the next page of the document and to come back
-to the Bordeaux case, a similar case which has already been discussed.
-You have already explained the Bordeaux case insofar as you said that
-the Naval Operations Staff was not informed about it. I now draw your
-attention to the sentence at the bottom of Page 3:
-
- “After carrying out the explosions, they sank the boats and
- tried, with the help of the French civilian population, to
- escape into Spain.”
-
-Thus did the men concerned in this operation also not act like soldiers?
-
-WAGNER: That, according to this document, is perfectly clear.
-
-DR. SIEMERS: Thank you. And now one last question. At the end of his
-examination Colonel Phillimore asked you whether you considered
-Grossadmiral Raeder and Grossadmiral Dönitz guilty in the cases which
-have just been discussed, guilty of these murders as he termed them? Now
-that I have further clarified these cases I should like you to answer
-the question again.
-
-WAGNER: I consider that both admirals are not guilty in these two cases.
-
-DR. SIEMERS: I have no further questions.
-
-DR. LATERNSER: Admiral, during cross-examination you explained your
-views on the Commando Order. I wanted to ask you: Were your views
-possibly based on the assumption that the order was examined by a
-superior authority as to its justification before international law?
-
-WAGNER: Yes. I assumed that the justification for the order was examined
-by my superiors.
-
-DR. LATERNSER: Furthermore, during cross-examination you stated your
-conception of what happened when a man was handed over to the SD. I
-wanted to ask you: Did you have this conception already at that time, or
-has it taken form now that a great deal of material has become known to
-you?
-
-WAGNER: There is no question that this conception was considerably
-influenced by knowledge of a great deal of material.
-
-DR. LATERNSER: You did not, therefore, at that time have the definite
-conception that the handing over of a man to the SD meant certain death?
-
-WAGNER: No, I did not have that conception.
-
-DR. LATERNSER: Now, a few questions regarding the equipment of the
-Commando units. Do you not know that automatic arms were found on some
-members of these units and that, in particular, pistols were carried in
-such a manner that if, in the event of capture, the man raised his arms,
-that movement would automatically cause a shot to be fired which would
-hit the person standing opposite the man with raised arms? Do you know
-anything about that?
-
-WAGNER: I have heard of it.
-
-DR. LATERNSER: Did you not see pictures of it?
-
-WAGNER: At the moment I cannot remember seeing such pictures.
-
-DR. LATERNSER: Did the Germans also undertake sabotage operations in
-enemy countries?
-
-THE PRESIDENT: What has it got to do with that, Dr. Laternser?
-
-DR. LATERNSER: I wanted to ascertain by means of this question whether
-the witness had knowledge of German sabotage operations, and
-furthermore, whether he had received reports about the treatment of such
-sabotage units.
-
-THE PRESIDENT: That is the very thing which we have already ruled cannot
-be put.
-
-You are not suggesting that these actions were taken by way of reprisal
-for the way in which German sabotage units were treated? We are not
-trying whether any other powers have committed breaches of international
-law, or crimes against humanity, or war crimes; we are trying whether
-these defendants have.
-
-The Tribunal has ruled that such questions cannot be put.
-
-DR. LATERNSER: Mr. President, I do not know what answer the witness is
-going to give. I merely wanted, in case, which I do not know...
-
-THE PRESIDENT: We wanted to know why you were putting the question. You
-said you were putting the question in order to ascertain whether German
-sabotage units had been treated in a way which was contrary to
-international law, or words to that effect, and that is a matter which
-is irrelevant.
-
-DR. LATERNSER: But, Mr. President, it would show at least that doubt
-existed about the interpretation of international law with regard to
-such operations and that would be of importance for the application of
-the law.
-
-THE PRESIDENT: The Tribunal rules that the question is inadmissible.
-
-DR. LATERNSER: Witness, you also stated during your cross-examination
-that until 1944 you were chief of the Operational Department of the
-Naval Operations Staff. Can you give information on whether there were
-strong German naval forces or naval transport ships in the Black Sea?
-
-WAGNER: The strength of naval forces and transport ships in the Black
-Sea was very slight.
-
-DR. LATERNSER: For what were they mostly needed?
-
-WAGNER: For our own replacements and their protection.
-
-THE PRESIDENT: Dr. Laternser, how does this arise out of the
-cross-examination? You are re-examining now, and you are only entitled
-to ask questions which arise out of the cross-examination. There have
-been no questions put with reference to the Black Sea.
-
-DR. LATERNSER: Mr. President, I learned during the examination that for
-a long time the witness was chief of the Operational Department; and I
-concluded that he was one of the few witnesses who could give me
-information regarding the facts of a very serious accusation raised by
-the Russian Prosecution, namely, the accusation that 144,000 people had
-been loaded on to German ships, that at Sebastopol those ships had gone
-to sea and had then been blown up, and that the prisoners of war on the
-ships were drowned. The witness could clarify this matter to some
-extent.
-
-THE PRESIDENT: Dr. Laternser, you knew, directly this witness began his
-evidence, what his position was; and you, therefore, could have
-cross-examined him yourself at the proper time. You are now
-re-examining; you are only entitled—because we cannot have the time of
-the Court wasted—you are only entitled to ask him questions which arise
-out of the cross-examination. In the opinion of the Tribunal this
-question does not arise out of the cross-examination.
-
-DR. LATERNSER: Mr. President, please, would you, as an exception, admit
-this question?
-
-THE PRESIDENT: No, Dr. Laternser, the Tribunal has given you a great
-latitude and we cannot continue to do so.
-
-The Tribunal will now adjourn.
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-THE PRESIDENT: You have finished, have you not, Dr. Kranzbühler, with
-this witness?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: The witness can retire.
-
-[_The witness left the stand._]
-
-FLOTTENRICHTER KRANZBÜHLER: And now I should like to call my next
-witness, Admiral Godt.
-
-[_The witness Godt took the stand._]
-
-THE PRESIDENT: Will you state your full name?
-
-EBERHARD GODT (Witness): My name is Eberhard Godt.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The witness repeated the oath._]
-
-You may sit down.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral Godt, when did you enter the Navy as
-an officer cadet?
-
-GODT: On 1 July, 1918.
-
-FLOTTENRICHTER KRANZBÜHLER: How long have you been working with Admiral
-Dönitz, and in what position?
-
-GODT: Since January 1938; first of all as First Naval Staff Officer
-attached to the Commander, U-boats, and immediately after the beginning
-of the war as Chief of the Operations Department.
-
-FLOTTENRICHTER KRANZBÜHLER: Chief of the Operations Department with the
-Chief of Submarines?
-
-GODT: Yes, attached to the Chief of Submarines, later Flag Officer,
-U-boats.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you collaborate since 1938 in the
-drafting of all operational orders worked out by the staff of the Flag
-Officer, U-boats?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: How many officers were on this staff at the
-beginning of the war?
-
-GODT: At the beginning of the war there were four officers, one chief
-engineer, and two administrative officers on that staff.
-
-FLOTTENRICHTER KRANZBÜHLER: I shall now show you Document GB-83 of the
-Prosecution’s document book Page 16, which is a letter from Commander
-U-boats, dated 9 October 1939. It refers to bases in Norway. How did
-this letter originate?
-
-GODT: At that time I was visiting the Naval Operations Staff in Berlin
-on other business. On the occasion of that visit I was asked whether
-Commander, U-boats, was interested in bases in Norway and what demands
-should be made in that connection.
-
-FLOTTENRICHTER KRANZBÜHLER: Were you informed how those bases in Norway
-were to be secured for the use of the German Navy?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution has quoted an extract from
-the War Diary of the Naval Operations Staff dating from the same period.
-
-Mr. President, I am thinking of the extract reproduced on Page 15 of the
-document book.
-
-[_Turning to the witness._] That extract contains four questions.
-Questions (a) and (d) deal with technical details regarding bases in
-Norway, whereas (b) and (c) deal with the possibility of obtaining such
-bases against the will of the Norwegians, and the question of defending
-them.
-
-Which of these questions was put to you?
-
-GODT: May I ask you to repeat the questions in detail first of all.
-
-FLOTTENRICHTER KRANZBÜHLER: The first question is: Which places in
-Norway can be considered for bases?
-
-GODT: That question was put.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you show me from the letter from
-Commander, U-boats, whether the question was answered and where it is
-answered?
-
-GODT: The question was answered under Number 1 (c) at the end of Number
-1.
-
-FLOTTENRICHTER KRANZBÜHLER: There it says, “Trondheim or Narvik are
-possible places.”
-
-GODT: Yes, that is right.
-
-FLOTTENRICHTER KRANZBÜHLER: Question Number 2 is: “If it is impossible
-to obtain bases without fighting, can it be done against the will of the
-Norwegians by the use of military force?” Was that question put?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you tell me if the question was answered
-in the letter from Commander, U-boats?
-
-GODT: This question was not answered.
-
-FLOTTENRICHTER KRANZBÜHLER: The third question is: “What are the
-possibilities of defense after occupation?” Was that question put to
-you?
-
-GODT: No, that question was not put.
-
-FLOTTENRICHTER KRANZBÜHLER: Is it replied to in the letter?
-
-GODT: III-d refers to the necessity of adopting defense measures.
-
-FLOTTENRICHTER KRANZBÜHLER: Is that reference connected with the fourth
-question I put to you now: “Will the harbors have to be developed to the
-fullest extent as bases, or do they already offer decisive advantages as
-possible supply points?”
-
-GODT: These two questions are not connected.
-
-FLOTTENRICHTER KRANZBÜHLER: Was that fourth question put to you?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Was it answered?
-
-GODT: Not in this letter.
-
-FLOTTENRICHTER KRANZBÜHLER: What is the significance of the figures II
-and III? Do they not answer the question of whether these ports must be
-developed as bases or whether they can be used just as supply points?
-
-GODT: They indicate what was thought necessary in order to develop them
-to the fullest extent as bases.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you please read the last sentence of
-the document? There it says, “Establishment of a fuel supply point in
-Narvik as an alternative supply point.” Is that not a reply to the
-question asking whether a supply point is enough?
-
-GODT: Yes; I had overlooked that sentence.
-
-FLOTTENRICHTER KRANZBÜHLER: Can I sum up, therefore, by saying that the
-first and fourth questions were put to you and answered by you, whereas
-questions 2 and 3 were not put to you and not answered by you?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: In the War Diary of the Naval Operations
-Staff there is a note which says, “Commander, U-boats, considers such
-ports extremely valuable even as temporary supply and equipment bases
-for Atlantic U-boats.” Does that note mean that Admiral Dönitz was
-working on this question before your visit to Berlin? Or what was the
-reason for the note?
-
-GODT: That was my own opinion, which I was entitled to give in my
-capacity as Chief of the Operations Department.
-
-FLOTTENRICHTER KRANZBÜHLER: Was that the first time that plans for bases
-were brought to your notice?
-
-GODT: No. We had been considering the question of whether the supply
-position for U-boats could be improved by using ships—in Iceland, for
-instance.
-
-FLOTTENRICHTER KRANZBÜHLER: Were these considerations in any way
-connected with the question whether one ought to start a war against the
-country concerned?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: I shall now show you Document GB-91. This
-appears on Page 18 of the Prosecution’s document book. It is an
-operational order issued by Commander, U-boats, on 30 March 1940 and
-dealing with the Norwegian enterprise. Is it true, that this is your
-operational order?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: How many days before the beginning of the
-Norwegian action was that order released?
-
-GODT: Approximately ten days.
-
-FLOTTENRICHTER KRANZBÜHLER: Paragraph II, Section 5, contains the
-following sentence: “While entering the harbor and until the troops have
-been landed, the naval forces will probably fly the British naval
-ensign, except in Narvik.” Is that an order given by Commander, U-boats,
-to the submarines under his command?
-
-GODT: No. That passage appears under the heading: “Information on our
-own combat forces.”
-
-FLOTTENRICHTER KRANZBÜHLER: And what is the meaning of this allusion?
-
-GODT: It means that U-boats were informed that in certain circumstances
-our own naval units might fly other flags.
-
-FLOTTENRICHTER KRANZBÜHLER: Why was that necessary?
-
-GODT: It was necessary so as to prevent possible mistakes in identity.
-
-FLOTTENRICHTER KRANZBÜHLER: Are there any other references to mistakes
-in identity in this order?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Where?
-
-GODT: In Paragraph IV, Section 5.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you please read it?
-
-GODT: There it says, “Beware of confusing our own units with enemy
-forces.”
-
-FLOTTENRICHTER KRANZBÜHLER: Only that sentence. Did this order instruct
-U-boats to attack Norwegian forces?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you please indicate what the order says
-about that?
-
-GODT: IV, a2 states, “Only enemy naval forces and troop transports are
-to be attacked.”
-
-FLOTTENRICHTER KRANZBÜHLER: What was meant by “enemy” forces?
-
-GODT: “Enemy” forces were British, French, and Russian—no, not Russian.
-It goes on: “No action is to be taken against Norwegian and Danish
-forces unless they attack our own forces.”
-
-FLOTTENRICHTER KRANZBÜHLER: Will you please look at Paragraph VI-c?
-
-GODT: Paragraph VI says: “Steamers may only be attacked when they have
-been identified beyond doubt as enemy steamers and as troop transports.”
-
-FLOTTENRICHTER KRANZBÜHLER: Was Commander, U-boats, informed of the
-political action taken with regard to incidents caused by submarines?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: In what way?
-
-GODT: U-boats had orders to report immediately by wireless in the case
-of incidents, and to supplement the report later.
-
-FLOTTENRICHTER KRANZBÜHLER: I do not think you quite understood my
-question. I asked you, was Commander, U-boats, informed as to how an
-incident caused by a submarine would later on be settled with a neutral
-government?
-
-GODT: No, not as a rule.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you remember any individual case where
-he was informed?
-
-GODT: I remember the case of the Spanish steamer _Monte Corbea_. Later
-on I learned that Spain had been promised reparations. I cannot remember
-now whether I received the information through official channels or
-whether I just heard it accidentally.
-
-FLOTTENRICHTER KRANZBÜHLER: I should now like to establish the dates of
-certain orders which I have already presented to the Tribunal. I shall
-show you Standing Order Number 171, which is on Page 159 of Volume III
-of the document book. What is the date on which that order was issued?
-
-GODT: I shall have to look at it first.
-
-FLOTTENRICHTER KRANZBÜHLER: Please do.
-
-GODT: That order must have originated in the winter of 1939-1940.
-Probably 1939.
-
-FLOTTENRICHTER KRANZBÜHLER: On what do you base that conclusion?
-
-GODT: I base it on the reference made in 4a to equipment for depth
-charges. This was taken for granted at a later stage. I also gather it
-from the reference made in 5b to the shifting of masts and colored
-lights, something which was formulated then for the first time.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you tell us the exact month in 1939?
-
-GODT: I assume that it was November.
-
-FLOTTENRICHTER KRANZBÜHLER: I am now going to show you another order,
-Standing War Order Number 122. It appears on Page 226 in Volume IV of my
-document book. Up to now all we know is that this order was issued
-before May 1940. Can you give us a more exact date?
-
-GODT: This order must have been issued about the same time as the first,
-that is to say, about November 1939.
-
-FLOTTENRICHTER KRANZBÜHLER: Thank you. How was the conduct of U-boat
-warfare by Commander, U-boats, organized in practice? Will you explain
-that to us?
-
-GODT: All orders based on questions of international law, _et cetera_,
-originated with the Naval Operations Staff. The Naval Operations Staff
-also reserved for itself the right to determine the locality of the
-center of operations—for instance, the distribution of U-boats in the
-Atlantic Theater, the Mediterranean Theater, and the North Sea Theater.
-Within these various: areas U-boat operations were, generally speaking,
-entirely at the discretion of Commander, U-boats.
-
-FLOTTENRICHTER KRANZBÜHLER: Were the standing orders for U-boats given
-verbally or in writing?
-
-GODT: In writing.
-
-FLOTTENRICHTER KRANZBÜHLER: Were there not verbal orders as well?
-
-GODT: Verbal instructions personally issued by Commander, U-boats,
-played a special part and amounted to personal influence on commanders,
-as well as to explanations of the contents of written orders.
-
-FLOTTENRICHTER KRANZBÜHLER: On what occasions was that personal
-influence exerted?
-
-GODT: Particularly when reports were being made by the commanders after
-each action. There must have been very few commanders who did not make a
-personal and detailed report to Commander, U-boats, after an action.
-
-FLOTTENRICHTER KRANZBÜHLER: Was it possible for written orders to be
-changed in the course of verbal transmission, or even twisted to mean
-the opposite?
-
-GODT: Such a possibility might have existed, but it never actually
-happened.
-
-FLOTTENRICHTER KRANZBÜHLER: When they made these verbal reports, could
-the commanders risk expressing opinions which were not those of
-Commander, U-boats?
-
-GODT: Absolutely. Commander, U-boats, even asked his commanders in so
-many words to give him their personal opinions in every case, so that he
-could maintain direct personal contact with them and thus remain in
-close touch with events on the front, so that he could put matters
-right, where necessary.
-
-FLOTTENRICHTER KRANZBÜHLER: Was this personal contact used for the
-verbal transmission of shady orders?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution holds that an
-order—apparently a verbal order—existed, prohibiting the entry in the
-log of measures considered dubious or unjustifiable from the point of
-view of international law. Did such a general order exist?
-
-GODT: No; there was no general order. In certain individual cases—I can
-remember two—an order was given to omit certain matters from the log.
-
-FLOTTENRICHTER KRANZBÜHLER: Which cases do you remember?
-
-GODT: The first was the case of the _Athenia_; and the second was the
-sinking of a German boat, which was coming from Japan through the
-blockade, by a German submarine.
-
-FLOTTENRICHTER KRANZBÜHLER: Before I ask you to give me details of that,
-I should like to know the reason for omitting such matters from the log.
-
-GODT: It was done for reasons of secrecy. U-boat logs were seen by a
-great many people: First, in the training stations of the U-boat service
-itself; and, secondly, in numerous offices of the High Command. Special
-attention had therefore to be paid to secrecy.
-
-FLOTTENRICHTER KRANZBÜHLER: How many copies of each U-boat war log were
-made?
-
-GODT: I should say six to eight copies.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the omission of such an item from the
-log mean that all documentary evidence was destroyed in every office; or
-did certain offices keep these documents?
-
-GODT: These records were received by Commander, U-boats, and probably by
-the Naval Operations Staff as well.
-
-FLOTTENRICHTER KRANZBÜHLER: Was there a standing war order prescribing
-treatment of incidents?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: What were the contents?
-
-GODT: It stated that incidents must be reported immediately by wireless
-and that a supplementary report must be made later, either in writing or
-by word of mouth.
-
-FLOTTENRICHTER KRANZBÜHLER: Does this standing order contain any
-allusion to the omission of such incidents from the log?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you please tell me now how this
-alteration was made in the log in the case of the _Athenia_?
-
-GODT: In the case of the _Athenia_ Oberleutnant Lemp reported on
-returning that he had torpedoed this ship, assuming it to be an
-auxiliary cruiser. I cannot now tell you exactly whether this was the
-first time I realized that such a possibility existed or whether the
-idea that this might possibly have been torpedoed by a German submarine
-had already been taken into consideration. Lemp was sent to Berlin to
-make a report and absolute secrecy was ordered with regard to the case.
-
-FLOTTENRICHTER KRANZBÜHLER: By whom?
-
-GODT: By the Naval Operations Staff, after a temporary order had been
-issued in our department. I ordered the fact to be erased from the war
-log of the U-boat.
-
-FLOTTENRICHTER KRANZBÜHLER: And that, of course, was on the orders of
-Admiral Dönitz?
-
-GODT: Yes, or I ordered it on his instructions.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you participate in the further handling
-of this incident?
-
-GODT: Only with regard to the question of whether Lemp should be
-punished. As far as I remember, Commander, U-boats, took only
-disciplinary action against him because it was in his favor that the
-incident occurred during the first few hours of the war, and it was held
-that in his excitement he had not investigated the character of the ship
-as carefully as he might have done.
-
-FLOTTENRICHTER KRANZBÜHLER: Did I understand you correctly as saying
-that the detailed documentary evidence in connection with the sinking of
-the _Athenia_ was retained by both Commander, U-boats, and, you believe,
-the Naval Operations Staff?
-
-GODT: I can say that with certainty only as far as Commander, U-boats,
-is concerned. That is what happened in this case.
-
-FLOTTENRICHTER KRANZBÜHLER: You mentioned a second case just now where a
-log book had been altered. Which case was that?
-
-GODT: That incident was as follows: A German blockade breaker, that is
-to say, a merchant vessel on its way back from Japan, was accidentally
-torpedoed by a German submarine and sunk in the North Atlantic. This
-fact was omitted from the log.
-
-FLOTTENRICHTER KRANZBÜHLER: So it was only a question of keeping matters
-secret from German offices?
-
-GODT: Yes. The British learned the facts from lifeboats as far as I
-know; and these facts were to be concealed from the crews of other
-blockade-breaking vessels.
-
-FLOTTENRICHTER KRANZBÜHLER: Documents submitted to the Tribunal by the
-Defense show that until the autumn of 1942, German U-boats took steps to
-rescue crews as far as was possible without prejudicing the U-boat’s
-safety and without interfering with their own assignment. Does this
-agree with your own experiences?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: I should now like to put a few questions to
-you regarding the so-called _Laconia_ order which still require
-clarification. I refer to Document GB-199. As you know, the Prosecution
-calls this order an order to kill survivors. Who formulated this order?
-
-THE PRESIDENT: Where is it?
-
-FLOTTENRICHTER KRANZBÜHLER: It is the document book of the Prosecution
-on Page 36, Mr. President.
-
-GODT: I cannot now tell you that for certain. Generally speaking, such
-an order was discussed by Commander, U-boats, the First Naval Staff
-Officer, and myself; Commander, U-boats, decided on the general terms of
-the order and then it was formulated by one of us. It is quite possible
-that I myself worded the order.
-
-FLOTTENRICHTER KRANZBÜHLER: But, at any rate, Admiral Dönitz signed it,
-did he not?
-
-GODT: He must have; yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral Dönitz thought that he remembered
-that you and Captain Hessler were opposed to this order. Can you
-remember this, too; and if so, why were you against it?
-
-GODT: I do not remember that.
-
-FLOTTENRICHTER KRANZBÜHLER: What was the meaning of the order?
-
-GODT: The meaning of the order is plain. It prohibited attempts at
-rescue.
-
-FLOTTENRICHTER KRANZBÜHLER: Why was that not forbidden by a reference to
-Standing War Order Number 154, which was issued in the winter of
-1939-40?
-
-THE PRESIDENT: Dr. Kranzbühler, surely a written order must speak for
-itself. Unless there is some colloquial meaning in a particular word
-used in the order, the order must be interpreted according to the
-ordinary meaning of the words.
-
-FLOTTENRICHTER KRANZBÜHLER: I was not proposing to go into the question
-any further, Mr. President.
-
-[_Turning to the witness._] I should like to repeat my last question.
-Why, instead of issuing a new order, did they not simply refer
-commanders to Standing War Order Number 154, which was issued in the
-winter of 1939-40?
-
-I refer, Mr. President, to Document GB-196, on Page 33 of the
-Prosecution’s document book.
-
-You remember that order, don’t you. I have shown it to you.
-
-GODT: Yes, I do. That order had already been canceled when the so-called
-_Laconia_ order was issued. Apart from that, a mere reference to an
-order already issued would have lacked the character of actuality which
-orders should have.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you mean by that that your staff, as a
-matter of principle, did not issue orders by references to earlier
-orders?
-
-GODT: That was avoided, whenever possible; that is to say, almost
-always.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you explain to me why that order was
-issued as “top secret”?
-
-GODT: The order appeared after an operation in which we nearly lost two
-boats, and contained a severe reprimand for the commanders concerned. It
-was not customary for us to put such a reprimand in a form accessible to
-any one except the commanders and all the officers.
-
-THE PRESIDENT: Which is the severe reprimand?
-
-FLOTTENRICHTER KRANZBÜHLER: Will you please explain of what this severe
-reprimand for the commander consisted?
-
-GODT: It is understandable in the light of previous events—namely,
-those very things which it forbids. It is largely contained in the
-sentence beginning: “Rescue is against the most elementary demands” and
-it is also implied by the harshness, whereby the commander is reproached
-with being softhearted.
-
-FLOTTENRICHTER KRANZBÜHLER: Does this mean that the commanders were
-accused of having endangered their boats too much in connection with the
-rescue action of the _Laconia_ and of acting in a manner which was not
-in accordance with the dictates of war?
-
-GODT: Yes, and that after having been repeatedly reminded during the
-action of the necessity for acting in a manner in accordance with the
-dictates of war.
-
-FLOTTENRICHTER KRANZBÜHLER: You were interrogated on this order after
-the capitulation, as you told me; but you could not at the moment
-remember its exact wording. How was it possible for you not to remember
-this order?
-
-GODT: There were certain orders which had to be kept in collective files
-and which one therefore saw very frequently. This order was not one of
-them, but was filed separately after being dealt with. After it had been
-issued I never saw it again until the end of the war.
-
-FLOTTENRICHTER KRANZBÜHLER: What did an order intended for inclusion in
-such a collection look like on the outside?
-
-GODT: It had to be a “Current Order” or an “Admonition Message.”
-
-FLOTTENRICHTER KRANZBÜHLER: Did that occur in the text of the order
-concerned?
-
-GODT: It would be in the heading of the order concerned. That is not the
-case here.
-
-FLOTTENRICHTER KRANZBÜHLER: So we may conclude from the fact that this
-wireless message is not headed either “Admonition Message” or “Current
-Order” that it did not belong to a collection of orders?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: But then, how is it possible that
-Korvettenkapitän Möhle gave lectures on this order apparently until the
-end of the war?
-
-GODT: Korvettenkapitän Möhle had access to all wireless messages issued
-by Commander, U-boats. He was entitled to select from these signals
-anything he thought necessary for the instruction of commanders about to
-go to sea. It made no difference whether the order was marked
-“Admonition” or “Current Order.” He had obviously taken out this message
-and had had it among the material to be used for these instructions to
-the commanders.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Möhle ever ask you about the
-interpretation of that order?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you ever hear of any other source
-interpreting this order to mean that survivors were to be shot?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you judge from your own experience
-whether this order had, or could have had, any effect practically on
-Allied naval losses?
-
-GODT: That is very difficult to judge. At that time something like 80
-percent of all U-boat attacks were probably carried out under conditions
-which made any attempt at rescue impossible. That is to say, these
-attacks were made on convoys or on vessels in close proximity to the
-coast.
-
-The fact that some 12 captains and engineers were brought back as
-prisoners by U-boats is an indication of what happened in the other
-cases. It is difficult to say with any degree of certainty whether it
-was possible to take rescue measures in all cases. The situation was
-probably such that the Allied sailors felt safer in the lifeboats than
-they did, for instance, aboard the U-boat and probably were glad to see
-the U-boat vanish after the attack. The fact that the presence of the
-U-boat involved danger to itself is proved by this same case of the
-_Laconia_, where two U-boats were attacked from the air while engaged in
-rescuing the survivors.
-
-I do not think it is at all certain that this order had any effect one
-way or the other.
-
-FLOTTENRICHTER KRANZBÜHLER: What do you mean “one way or the other”?
-
-GODT: I mean whether it meant an increase or a decrease in the number of
-losses among enemy seamen.
-
-FLOTTENRICHTER KRANZBÜHLER: There is one argument I did not quite
-understand. You pointed to the fact that approximately 12 captains and
-chief engineers were made prisoner after this order was issued. Do you
-mean by that that only in these few cases was it possible, without
-endangering the submarine, to carry out the order to transfer such
-officers from the lifeboats?
-
-GODT: It is too much to say that it was only possible in these few
-cases, but it does afford some indication of the number of cases in
-which it was possible.
-
-FLOTTENRICHTER KRANZBÜHLER: I shall now show you the wireless message
-which went to Kapitänleutnant Schacht. It is on Page 36 of the
-Prosecution’s document book. This message, too, was sent as “top
-secret.” What was the reason for that?
-
-GODT: It is a definite and severe reprimand for the commander.
-
-FLOTTENRICHTER KRANZBÜHLER: How far was that reprimand justified?
-Schacht had not received previous instruction to rescue Italians only?
-
-GODT: No, but it had been assumed that U-boats would realize that it was
-of primary importance that allies should be rescued, that is, that they
-should not become prisoners of war. Apart from that, several reminders
-had been issued in the course of operations warning commanders to be
-particularly careful. After that came Schacht’s report, which appeared
-at the time to indicate that he had disobeyed orders. Viewed
-retrospectively, Schacht’s action must have taken place before
-Commander, U-boats, issued the order in question, so that in part at
-least, the accusation was unjustified.
-
-FLOTTENRICHTER KRANZBÜHLER: Were any further rescue measures carried out
-by U-boats after this order was issued in September 1942?
-
-GODT: In isolated cases, yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Commander, U-boats, object to these
-rescues?
-
-GODT: I have no recollection of that.
-
-FLOTTENRICHTER KRANZBÜHLER: To your knowledge, did German U-boats
-deliberately kill survivors?
-
-GODT: The only case I know of—and I heard of it after the
-capitulation—is that of Kapitänleutnant Eck. We heard an enemy
-broadcast which hinted at these happenings, but we were unable to draw
-any conclusions from that.
-
-FLOTTENRICHTER KRANZBÜHLER: I now hand to you the Prosecution’s Exhibit
-GB-203, which is regarded by the Prosecution as proof of the shooting of
-survivors. This is the war log of _U-247_ from which I mimeographed an
-extract on Page 74 of Volume II of my document book. This extract
-describes an attack made by the U-boat on a British trawler. You have
-already seen this war log. After his return, did the commander make a
-report on this action?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Did he report anything about the shooting of
-survivors on that occasion?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: According to a statement made by a survivor
-named McAllister this trawler, the _Noreen Mary_, had a gun aboard. Do
-you know whether trawlers had guns mounted fore or aft?
-
-GODT: They were almost always in the bows.
-
-FLOTTENRICHTER KRANZBÜHLER: Can you remember, with the help of this
-extract from the war log and on the strength of your own recollection of
-the commander’s report, the exact details of this incident?
-
-GODT: Originally the U-boat when submerged encountered a number of
-vessels escorting trawlers close to Cape Wrath. It tried to torpedo one
-of the trawlers.
-
-THE PRESIDENT: Is the witness trying to reconstruct this from the
-document, reconstruct the incident?
-
-FLOTTENRICHTER KRANZBÜHLER: I am asking him to tell us what he remembers
-of the event, basing his account on his own recollection of the
-commander’s report supplemented by the entry in the war log.
-
-THE PRESIDENT: Well, he hasn’t said whether he ever saw the commander.
-
-FLOTTENRICHTER KRANZBÜHLER: Oh yes, Mr. President.
-
-THE PRESIDENT: Well then, all he can tell us is what the commander told
-him.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: Well, have him do that then.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you please tell us what you remember
-after reading the log.
-
-THE PRESIDENT: Wait a minute. If he remembers anything about what the
-commander told him he can tell us that, but the log speaks for itself
-and he can’t reconstruct it out of that. He must tell us what he
-remembers of what the officer said.
-
-FLOTTENRICHTER KRANZBÜHLER: Very well, Sir.
-
-[_Turning to the witness._] Will you please speak from memory.
-
-GODT: The commander reported that he had encountered a number of
-trawlers extraordinarily close to the coast, considering conditions at
-the time. Failing in his attempt to torpedo one of them, he sank it with
-gunfire. That was all the more remarkable because, in the first place,
-the incident occurred quite unusually near the coast and, in the second
-place, the commander risked this artillery fight regardless of the
-presence of other vessels nearby.
-
-FLOTTENRICHTER KRANZBÜHLER: Were these other ships also armed trawlers?
-
-GODT: It was to be assumed at the time that every trawler was armed.
-
-FLOTTENRICHTER KRANZBÜHLER: The witness McAllister thought that the
-submarine surfaced 50 yards away from the trawler. In the light of your
-own recollections and experiences, do you think this is possible?
-
-GODT: I do not remember the details; but it would be an unusual thing
-for a U-boat commander to do.
-
-FLOTTENRICHTER KRANZBÜHLER: McAllister also stated the U-boat used
-shells filled with wire.
-
-THE PRESIDENT: Wait a minute. Wait a minute. Dr. Kranzbühler, the
-Tribunal thinks that the witness oughtn’t to express opinions of this
-sort. He ought to give us the evidence of any facts which he has. He is
-telling us in his opinion it is impossible that a naval commander would
-ever bring his submarine up within 50 yards of another vessel.
-
-FLOTTENRICHTER KRANZBÜHLER: Yes.
-
-THE PRESIDENT: That is not a matter for him to say.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I was going to ask the
-witness next whether German U-boats used shells filled with wire as
-stated by the witness McAllister. Is that question admissible?
-
-THE PRESIDENT: Shells filled with wire?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, that is the question I want to put.
-
-Will you answer that question, Witness.
-
-GODT: There were no such shells.
-
-FLOTTENRICHTER KRANZBÜHLER: Was this attack by the submarine on the
-_Noreen Mary_ reported by wireless immediately? Do you know anything
-about it?
-
-GODT: Do you mean the U-boat commander’s report?
-
-FLOTTENRICHTER KRANZBÜHLER: No, by the British.
-
-GODT: As far as I remember, a wireless message sent by a British vessel
-was intercepted, reporting a U-boat attack in the area.
-
-FLOTTENRICHTER KRANZBÜHLER: A signal is entered in the war log under
-0127 hours. It is intended for Matschulat, which means that it was sent
-by you to the commander, and it reads, “English steamer reports attack
-by German U-boat west of Cape Wrath.”
-
-GODT: That is the message intended to inform the U-boat that a wireless
-signal sent by a British steamer concerning a submarine attack in that
-area had been intercepted.
-
-FLOTTENRICHTER KRANZBÜHLER: I should now like to ask you something about
-Standing War Order Number 511. This is in Volume I of my document book,
-Page 46. When I presented this order, the Tribunal was not sure of the
-significance of Paragraph 2, which I am going to read:
-
- “Captains and officers of neutral ships which may be sunk
- according to Standing Order Number 101, (such as Swedish except
- Göteborg traffic), must not be taken on board, since internment
- of these officers is not permitted by international law.”
-
-Can you tell me first the experiences or calculations which led to the
-inclusion of Paragraph 2 in the order?
-
-GODT: On one occasion a U-boat brought a Uruguayan officer—a captain
-whose ship had been sunk—to Germany. We were afraid that if we released
-this captain he might report some of the things he had seen while he was
-interned aboard the U-boat. The reason for this order was to avoid
-difficulties of that kind in the future; for the Uruguayan captain had
-to be released and was, in fact, released.
-
-FLOTTENRICHTER KRANZBÜHLER: What is the meaning of the reference to
-neutral ships which might be sunk according to Standing War Order Number
-101?
-
-GODT: May I please see the order for a minute?
-
-[_The document was submitted to the witness._]
-
-The Standing War Order Number 101 contains the following directives in
-connection with the sinking of neutral ships: Once inside the blockade
-zone, all neutral ships can be sunk as a matter of principle, with two
-main exceptions, or shall we say, two general exceptions.
-
-To begin with, ships belonging to certain neutral countries, with whom
-agreements had been made regarding definite shipping channels, must not
-be sunk; further, ships belonging to certain neutral states which might
-be assumed not to be working exclusively in the enemy’s service. Outside
-the blockade zone neutral ships might be sunk; first, if they were not
-recognizable as neutrals and therefore must be regarded as enemy vessels
-by the submarine in question and, second, if they were not acting as
-neutrals.
-
-FLOTTENRICHTER KRANZBÜHLER: As, for instance, those traveling in enemy
-convoy?
-
-GODT: Yes, those traveling in convoys, or if they reported the presence
-of U-boats, _et cetera_, by wireless.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Paragraph 2 mean that the captains of
-neutral ships would in the future be in a worse position than captains
-of enemy ships, or would they be in a better position?
-
-GODT: This is not a question of better or worse, it is a question of
-taking prisoners. They were not to be taken prisoners because they could
-not be detained as such. Whether this meant that their positions would
-be better or worse is at least open to doubt. Captains of enemy ships
-usually tried to avoid being taken aboard the U-boat probably because
-they felt safer in their lifeboats.
-
-FLOTTENRICHTER KRANZBÜHLER: What do you know about orders to respect
-hospital ships at the beginning of the invasion?
-
-GODT: At the beginning of the invasion the rule in this area, as in any
-other area, was that hospital ships were not to be attacked. Commanders
-operating in the invasion zone then reported that there was a very large
-number of hospital ships sailing.
-
-FLOTTENRICHTER KRANZBÜHLER: From where to where?
-
-GODT: Between the Normandy invasion area and the British Isles.
-Commander, U-boats, then had investigations made by the competent
-department as to whether hospital traffic was really as heavy as alleged
-in these reports. That was found to be the case.
-
-FLOTTENRICHTER KRANZBÜHLER: What do you mean by that?
-
-GODT: It means that the number of hospital ships reported corresponded
-to the estimated number of wounded. After that it was expressly
-announced that hospital ships were not to be attacked in the future.
-
-FLOTTENRICHTER KRANZBÜHLER: Was the strict respect paid to hospital
-ships at that stage of the war in our own interests?
-
-GODT: At that time we only had hospital ships in the Baltic where the
-Geneva Convention was not recognized by the other side; so we had no
-particular interest in respecting hospital ships.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you know of any case of an enemy hospital
-ship being sunk by a German U-boat during this war?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Did it happen the other way round?
-
-GODT: The German hospital ship _Tübingen_ was, I think, sunk by British
-aircraft in the Mediterranean.
-
-FLOTTENRICHTER KRANZBÜHLER: Presumably because of mistaken identity?
-
-THE PRESIDENT: Dr. Kranzbühler, the question on German hospital ships
-which were sunk isn’t relevant, is it?
-
-FLOTTENRICHTER KRANZBÜHLER: I was going to show by it, Mr. President,
-that the possibility of mistaken identity does exist and that a hospital
-ship was in fact sunk in consequence of such a mistake. My evidence
-therefore goes to show that from the sinking of a ship it must not be
-concluded that the sinking was ordered.
-
-THE PRESIDENT: The Tribunal quite realize that mistakes may be made in
-sea warfare. It is a matter of common knowledge. Should we adjourn now?
-
-FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President.
-
- [_A recess was taken._]
-
-FLOTTENRICHTER KRANZBÜHLER: Admiral Godt, you have known Admiral Dönitz
-very well since 1934; and you have had a good deal to do with him during
-that time. Did he have anything to do with politics during that time?
-
-GODT: Nothing at all, to my knowledge, before he was appointed
-Commander-in-Chief of the Navy. As Commander-in-Chief of the Navy he
-made occasional speeches outside the Navy; for instance, he addressed
-dock workers, made a speech to the Hitler Youth at Stettin, and gave a
-talk over the air on “Heroes’ Day” and on 20 July; I remember no other
-occasions.
-
-FLOTTENRICHTER KRANZBÜHLER: Were these speeches not always directly
-connected with the tasks of the Navy—for instance, the address to the
-dock laborers—shipbuilding?
-
-GODT: Yes, when he spoke to the dock laborers.
-
-FLOTTENRICHTER KRANZBÜHLER: And to the Hitler Youth?
-
-GODT: The Hitler Youth, too.
-
-FLOTTENRICHTER KRANZBÜHLER: And what was the connection there?
-
-GODT: As far as I remember, the speech was concerned with recruiting for
-the Navy.
-
-FLOTTENRICHTER KRANZBÜHLER: Did he select his staff officers for their
-ideological or military qualifications?
-
-GODT: Their military and personal qualities were all that mattered.
-Their political views had nothing to do with it.
-
-FLOTTENRICHTER KRANZBÜHLER: The question of whether Admiral Dönitz knew,
-or must have known, of certain happenings outside the Navy is a very
-important one from the Tribunal’s point of view. Can you tell me who his
-associates were?
-
-GODT: His own officers and officers of his own age, almost exclusively.
-As far as I know, he had very few contacts beyond those.
-
-FLOTTENRICHTER KRANZBÜHLER: Did matters change much in this respect
-after he was appointed Commander-in-Chief of the Navy?
-
-GODT: No. He probably had a few more contacts with people from other
-branches, but on the whole his circle remained the same.
-
-FLOTTENRICHTER KRANZBÜHLER: Where did he actually live at that time,
-that is, after his appointment as Commander-in-Chief of the Navy?
-
-GODT: After his appointment as Commander-in-Chief, he was mainly at the
-headquarters of the Naval Operations Staff near Berlin.
-
-FLOTTENRICHTER KRANZBÜHLER: Did he live with his family or with his
-staff?
-
-GODT: He made his home with his family; but the main part of his life
-was spent with his staff.
-
-FLOTTENRICHTER KRANZBÜHLER: And where did he live when his staff was
-transferred to the so-called “Koralle” quarters in the neighborhood of
-Berlin in the autumn of 1943?
-
-GODT: He lived at his headquarters, where his family also lived—at
-least for some time. His official discussions, however, usually lasted
-till late in the evening.
-
-FLOTTENRICHTER KRANZBÜHLER: In other words, from that time on he lived
-constantly in the naval officers’ quarters?
-
-GODT: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: You were in a better position than almost
-any of the other officers to observe the Admiral’s career at close
-quarters. Can you tell me what you think were the motives behind the
-military orders he issued?
-
-THE PRESIDENT: You can’t speak about the motives of people. You can’t
-give evidence about other people’s minds. You can only give evidence of
-what they said and what they did.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I still think that an officer
-who lived with another officer for years must have a certain knowledge
-of his motives, based on the actions of the officer in question and on
-what that officer told him. However, perhaps I may put my question
-rather differently.
-
-THE PRESIDENT: He can give evidence about his character, but he can’t
-give evidence about his motives.
-
-FLOTTENRICHTER KRANZBÜHLER: Then I shall question him on his character,
-Your Honor.
-
-Witness, can you tell me whether Admiral Dönitz ever expressed selfish
-motives to you in connection with any other orders he gave or any of his
-actions?
-
-THE PRESIDENT: Dr. Kranzbühler, that is the same thing, the same
-question again, really.
-
-FLOTTENRICHTER KRANZBÜHLER: I beg your pardon, Mr. President. I meant it
-to be a different question.
-
-THE PRESIDENT: Nobody is charging him with being egotistical or anything
-of that sort. He is charged with the various crimes that are charged
-against him in the Indictment.
-
-FLOTTENRICHTER KRANZBÜHLER: Then I shall ask a direct question based on
-the Prosecution’s opinion.
-
-The Prosecution judged Admiral Dönitz to be cynical and opportunistic.
-Does that agree with your own judgment?
-
-GODT: No.
-
-FLOTTENRICHTER KRANZBÜHLER: How would you judge him?
-
-GODT: As a man whose mind was fixed entirely on duty, on his work, his
-naval problems, and the men in his service.
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have no further questions
-to put to this witness.
-
-THE PRESIDENT: Do any other members of the defendants’ counsel want to
-ask any questions?
-
-[_There was no response._]
-
-COL. PHILLIMORE: My Lord, might I first mention the documents that I put
-in in cross-examination this morning, or rather it was a document which
-had been in before. It was D-658, GB-229. That is the document dealing
-with Bordeaux, and there was a dispute as to whether it was from the
-Bordeaux Commando Raid. The dispute was as to whether it was from the
-SKL, that is the Naval War Staff Diary, or from the war diary of some
-lower formation. My Lord, I have had the matter confirmed with the
-Admiralty, and I will produce the original for defense counsel; it comes
-from the SKL War Diary, Tagebuch der Seekriegsleitung, and it is from
-Number 1 Abteilung, Teil A—that is part A—for December 1942. So it is
-from the War Diary of the Defendant Raeder and the witness.
-
-You have said, Witness, that you don’t recollect protesting against this
-order of 17 September 1942.
-
-GODT: Yes.
-
-COL. PHILLIMORE: I will try and refresh your memory. Would you look at a
-document, D-865?
-
-That’s GB-458, My Lord; that is an extract from an interrogation of
-Admiral Dönitz on 6 October. I should say that the record was kept in
-English and therefore the translation into German does not represent
-necessarily the Admiral’s actual words.
-
-[_Turning to the witness._] Would you look at the second page of that
-document at the end of the first paragraph. It is the end of the first
-paragraph on Page 207 in the English text. The Admiral is dealing with
-the order of 17 September 1942, and in that last sentence in that
-paragraph he says:
-
- “I remember that Captain Godt and Captain Hessler were opposed
- to this telegram. They said so expressly because, as they said,
- ‘it might be misunderstood.’ But I said, ‘I must pass it on now
- to these boats to prevent this 1 percent of losses. I must give
- them a reason, so that they do not feel themselves obliged to do
- that.’”
-
-Do you remember protesting now, saying “That can be misunderstood”?
-
-GODT: No, I do not recall that.
-
-COL. PHILLIMORE: And a further extract on Page 3 of the English
-translation, the bottom of Page 2 of the German:
-
- “So I sent a second telegram to prevent further losses. The
- second telegram was sent at my suggestion. I am completely and
- personally responsible for it, because both Captain Godt and
- Captain Hessler expressly stated they thought the telegram
- ambiguous or liable to misinterpretation.”
-
-Do you remember that now?
-
-GODT: No, I do not recall that.
-
-COL. PHILLIMORE: Would you look at a further statement to the same
-effect, on Page 5 of the English, first paragraph; Page 4 of the German
-text, third paragraph. He has been asked the question:
-
- “Why was it necessary to use a phrase like the one that I read
- to you before: Efforts to rescue members of the crew were
- counter to the most elementary demands of warfare for the
- destruction of enemy ships and crews?”
-
-It is the last clause of the first sentence, and he answered:
-
- “These words do not correspond to the telegram. They do not in
- any way correspond to our actions in the years of 1939, 1940,
- 1941 and 1942, as I have plainly shown you through the _Laconia_
- incident. I would like to emphasize once more that both Captain
- Godt and Captain Hessler were violently opposed to the dispatch
- of this telegram.”
-
-Do you still say that you don’t remember protesting against the sending
-of that telegram?
-
-GODT: I have stated repeatedly that I do not remember it.
-
-COL. PHILLIMORE: I will show you one more extract, Document D-866, which
-will become GB-459. That is a further interrogation on 22 October. The
-first question on the document is:
-
- “Do you believe that this order is contrary to the Prize
- Regulations issued by the German Navy at the beginning of the
- war?”
-
-And the last sentence of the first paragraph of the answer is:
-
- “Godt and Hessler said to me, ‘Don’t send this message. You see,
- it might look odd some day. It might be misinterpreted.’”
-
-You don’t remember using those words?
-
-GODT: No.
-
-COL. PHILLIMORE: You were an experienced staff officer, were you not?
-
-GODT: Yes.
-
-COL. PHILLIMORE: You knew the importance of drafting an operational
-order with absolute clarity, did you not?
-
-GODT: Yes.
-
-COL. PHILLIMORE: These orders you were issuing were going to young
-commanders between 20 and 30 years of age, were they not?
-
-GODT: Certainly not as young as 20. They would be in their late
-twenties, most probably.
-
-COL. PHILLIMORE: Yes. Do you say that this order is not ambiguous?
-
-GODT: Yes. Perhaps if you take one sentence out of the context you might
-have some doubt, but not if you read the entire order.
-
-COL. PHILLIMORE: What was the point of the words: “Rescue runs counter
-to the most elementary demands of warfare for the destruction of enemy
-ships and crews”?
-
-[_There was no response._] Show it to him, will you?
-
-[_The document was submitted to the witness._]
-
-What was the point of those words, if this was merely a nonrescue order?
-
-GODT: It was served to motivate the remainder of the order and to put on
-an equal level all the ships and crews which were fighting against our
-U-boats.
-
-COL. PHILLIMORE: You see, all your orders were so clear, were they not?
-Have you got the Defense documents there in the witness box?
-
-GODT: I think so—no.
-
-COL. PHILLIMORE: Look at the Defense Document Number Dönitz-8, Page 10.
-It is on Page 10 of that book. Let me just read you the second
-paragraph:
-
- “U-boats may instantly attack, with all the weapons at their
- command, enemy merchant vessels recognized with certainty as
- armed, or announced as such, on the basis of unimpeachable
- evidence in the possession of the Naval Operations Staff.”
-
-The next sentence:
-
- “As far as circumstances permit, measures shall be taken for the
- rescue of the crew, after the possibility of endangering the
- U-boat is excluded.”
-
-Now, no commander could go wrong with that order, could he? It is
-perfectly clear.
-
-Look at another one, D-642, at Page 13. It is the last paragraph of the
-order, on Page 15. Now, this is a nonrescue order. Have you got it?
-Paragraph E, Standing Order 154:
-
- “Do not rescue crew members or take them aboard and do not take
- care of the ship’s boats. Weather conditions and distance from
- land are of no consequence. Think only of the safety of your own
- boat and try to achieve additional success as soon as possible.
-
- “We must be harsh in this war. The enemy started it in order to
- destroy us; and we have to act accordingly.”
-
-Now, that was perfectly clear, was it not? That was a “nonrescue” order?
-
-GODT: It was just as clear as the order we are talking about.
-
-COL. PHILLIMORE: Look at one or two more and then let me come back to
-that order; Page 45, another order:
-
- “Order from Flag Officer, U-boats”—reading the third line—“to
- take on board as prisoners captains of sunk ships with their
- papers, if it is possible to do so without endangering the boat
- or impairing its fighting capacity.”
-
-It is perfectly clear to anybody exactly what was intended, is it not?
-
-GODT: That is not an order at all; it only reproduces an extract from
-the War Diary.
-
-COL. PHILLIMORE: Yes, reciting the words of the order; and then, on the
-next page in Paragraph 4:
-
- “Try under all circumstances to take prisoners if that can be
- done without endangering the boat”—Again, perfectly clear.
-
-Look at the next page, Page 47, Paragraph 1 of your order of the 1 June
-1944, the last sentence:
-
- “Therefore every effort must be made to bring in such prisoners,
- as far as possible, without endangering the boat.”
-
-Now, you have told us that this order of 17 September 1942 was intended
-to be a nonrescue order; that is right, is it not?
-
-GODT: Yes, certainly.
-
-COL. PHILLIMORE: I ask you again, what was meant by the sentence:
-“Rescue runs counter to the most elementary demands of warfare for the
-destruction of enemy ships and crews”?
-
-GODT: That is the motivation of the rest of the order, which states that
-ships with crews armed and equipped to fight U-boats were to be put on
-the same level.
-
-COL. PHILLIMORE: Why do you speak about the destruction of crews if you
-do not mean the destruction of crews?
-
-GODT: The question is whether the ships and their crews were to be
-destroyed; and that is something entirely different from destroying the
-crews after they had left the ship.
-
-COL. PHILLIMORE: And that is something entirely different from merely
-not rescuing the crews; isn’t that a fact?
-
-GODT: I do not quite understand that question.
-
-COL. PHILLIMORE: Destruction of crews is quite different from nonrescue
-of crews?
-
-GODT: Destruction—as long as the ship and crew are together.
-
-COL. PHILLIMORE: You are not answering the question, are you? But if you
-want it again: Destruction of crews is quite different from nonrescue of
-crews?
-
-GODT: The destruction of the crew is different from the nonrescue of
-survivors, yes.
-
-COL. PHILLIMORE: Were those words merely put in to give this order what
-you described as a “lively character,” which an order should have?
-
-GODT: I cannot give you the details; I have already said that I do not
-remember in detail the events leading up to this order.
-
-THE PRESIDENT: Colonel Phillimore, the Tribunal has already said to the
-witness that the document speaks for itself.
-
-COL. PHILLIMORE: Yes.
-
-[_Turning to the witness._] Would you just look at the next document in
-the Prosecution book, that is D-663, at the last sentence of that
-document? In view of the desired destruction of ships’ crews, are you
-saying that it was not your intention at this time to destroy the crews
-if you could?
-
-GODT: I thought we were talking about survivors.
-
-COL. PHILLIMORE: Well, it is the same thing, to some extent, is it not;
-ships’ crews, once they are torpedoed, become survivors?
-
-GODT: Then they would be survivors; yes.
-
-COL. PHILLIMORE: Will you now answer the question? Was it not your
-intention at this time to destroy the crews, or survivors if you like,
-if you could?
-
-GODT: If you mean survivors; the question can refer to two things. As
-regards survivors—no.
-
-COL. PHILLIMORE: If you are not prepared to answer the question, I will
-pass on.
-
-Do you remember the case of Kapitänleutnant Eck?
-
-GODT: I only heard of the case of Kapitänleutnant Eck from American and
-British officers, and only after I came to Germany.
-
-COL. PHILLIMORE: Do you know that he was on his first voyage when his
-U-boat sank the _Peleus_ and then machine-gunned the survivors? Do you
-know that?
-
-GODT: Yes.
-
-COL. PHILLIMORE: He had set out from the 5th U-boat flotilla at Kiel
-where Möhle was briefing the commanders, had he not?
-
-GODT: He must have.
-
-COL. PHILLIMORE: Yes. Now, if—instead of taking the whole blame upon
-himself for the action which he took—if he had defended his action
-under this order of 17 September 1942, are you saying that you could
-have court-martialed him for disobedience?
-
-GODT: It might have been possible.
-
-COL. PHILLIMORE: In view of the wording of your order, do you say that?
-
-GODT: That would have been a question for the court-martial to decide.
-Moreover, Eck, as far as I heard, did not refer to this order.
-
-COL. PHILLIMORE: Can you explain to the Tribunal how the witness Möhle
-was allowed to go on briefing that this was an annihilation order, from
-September 1942 to the end of the war?
-
-GODT: I do not know how Möhle came to interpret this order in such a
-way. In any case he did not ask me about it.
-
-COL. PHILLIMORE: You realize that he is putting his own life in great
-jeopardy by admitting that he briefed as he did, don’t you.
-
-GODT: Yes.
-
-COL. PHILLIMORE: You also know, don’t you, that another commander he
-briefed was subsequently seen either by yourself or by Admiral Dönitz
-before he went out?
-
-GODT: Yes.
-
-COL. PHILLIMORE: Again when he came back?
-
-GODT: In general, yes, almost always.
-
-COL. PHILLIMORE: In general. Are you seriously telling the Tribunal that
-none of these officers who were briefed that this was an annihilation
-order, that none of them raised the question either with you or with
-Admiral Dönitz?
-
-GODT: In no circumstances was this order discussed.
-
-COL. PHILLIMORE: But I suggest to you now that this order was very
-carefully drafted to be ambiguous; deliberately, so that any U-boat
-commander who was prepared to behave as he did was entitled to do so
-under the order. Isn’t that right?
-
-GODT: That is an assertion.
-
-COL. PHILLIMORE: And that you and Hessler, you tried to stop this order
-being issued?
-
-GODT: I have already said that I do not remember this.
-
-COL. PHILLIMORE: My Lord, I have no further questions.
-
-THE PRESIDENT: Is there any other cross-examination? Do you wish to
-re-examine, Dr. Kranzbühler?
-
-FLOTTENRICHTER KRANZBÜHLER: Do you know that Korvettenkapitän Möhle has
-testified before this Tribunal that he told only a very few officers
-about his interpretation of the _Laconia_ order?
-
-GODT: I read that in the affidavit which Möhle made before British
-officers last year.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you know that Möhle testified here
-personally that he did not speak to Admiral Dönitz, yourself, or Captain
-Hessler about his interpretation of the _Laconia_ order, although he
-repeatedly visited your staff?
-
-GODT: I know that. I cannot tell you at the moment whether I know it
-from the affidavit which Möhle made last year or from another source.
-
-FLOTTENRICHTER KRANZBÜHLER: You have been confronted with Admiral
-Dönitz’ testimony that you and Captain Hessler opposed the _Laconia_
-order. You stated that Admiral Dönitz gave an exaggerated account of
-your objection to this order, so as to take the whole responsibility
-upon himself?
-
-THE PRESIDENT: Wait a minute. I do not think you can ask him that
-question, Dr. Kranzbühler, whether it is possible that the Admiral was
-over-emphasizing what he said.
-
-FLOTTENRICHTER KRANZBÜHLER: Then I will not put this question. Your
-Honor, I have no further question to put to this witness.
-
-THE PRESIDENT: The witness can retire.
-
-FLOTTENRICHTER KRANZBÜHLER: Then with the permission of the Tribunal I
-would like to call Captain Hessler as my next witness.
-
-THE PRESIDENT: Yes.
-
-[_The witness Hessler took the stand._]
-
-THE PRESIDENT: Will you state your full name?
-
-GÜNTHER HESSLER (Witness): Günther Hessler.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and will add nothing.
-
-[_The witness repeated the oath._]
-
-THE PRESIDENT: You may sit down.
-
-FLOTTENRICHTER KRANZBÜHLER: Captain Hessler, when did you enter the
-Navy?
-
-HESSLER: In April 1927.
-
-FLOTTENRICHTER KRANZBÜHLER: What was your last grade?
-
-HESSLER: Fregattenkapitän.
-
-FLOTTENRICHTER KRANZBÜHLER: You are related to Admiral Dönitz. Is that
-correct?
-
-HESSLER: Yes. I married his only daughter in November 1937.
-
-FLOTTENRICHTER KRANZBÜHLER: When did you enter the U-boat service?
-
-HESSLER: I started my U-boat training in April 1940.
-
-FLOTTENRICHTER KRANZBÜHLER: Were you given any information during your
-period of training on economic warfare according to the Prize Ordinance?
-
-HESSLER: Yes. I was informed of it.
-
-FLOTTENRICHTER KRANZBÜHLER: Was the so-called “prize disc” used which
-has just been submitted to you?
-
-HESSLER: Yes, I was instructed about it.
-
-FLOTTENRICHTER KRANZBÜHLER: Will you tell the Tribunal briefly just what
-the purpose of this “prize disc” is?
-
-HESSLER: It was a system of discs by means of which, through a simple
-mechanical process in a very short time one could ascertain how to deal
-with neutral and enemy merchant ships—whether, for instance, a neutral
-vessel carrying contraband could be sunk or captured, or whether it must
-be allowed to pass.
-
-This disc has another great advantage in that it indicates at the same
-time the particular paragraph of the Prize Ordinance in which the case
-in question may be found. This made it possible to cut down the time
-required for the investigation of a merchant ship to a minimum.
-
-FLOTTENRICHTER KRANZBÜHLER: That means that the disc was in the nature
-of a legal adviser to the commander?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: I now submit this disc to the Tribunal as
-Exhibit Dönitz-95.
-
-In your training were you told what attitude you were required to adopt
-toward shipwrecked survivors? If so, what was it?
-
-HESSLER: Yes. The rescuing of survivors is a matter of course in naval
-warfare and must be carried out as far as military measures permit. In
-U-boat warfare it is utterly impossible to rescue survivors, that is, to
-take the entire crew on board, for space conditions in the U-boat do not
-permit of any such action. The carrying out of other measures, such as,
-approaching the lifeboats, picking up swimmers and transferring them to
-the lifeboats, handing over provisions and water, is, as a rule,
-impossible, for the danger incurred by the U-boat is so great throughout
-the operational zone that none of these measures can be carried out
-without endangering the boat too much.
-
-FLOTTENRICHTER KRANZBÜHLER: You yourself went out on cruises as
-commander soon after receiving these instructions?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: From when to when?
-
-HESSLER: From October 1940 till November 1941.
-
-FLOTTENRICHTER KRANZBÜHLER: In what areas did you operate?
-
-HESSLER: South of Iceland, west of the North Channel, in the waters
-between Cape Verde and the Azores, and in the area west of Freetown.
-
-FLOTTENRICHTER KRANZBÜHLER: What success did you have against merchant
-shipping?
-
-HESSLER: I sank 21 ships, totaling more than 130,000 tons.
-
-FLOTTENRICHTER KRANZBÜHLER: You received the Knight’s Cross?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: How did you act toward the survivors of the
-crews of the ships you sank?
-
-HESSLER: In most cases the situation was such that I was compelled to
-leave the scene of the wreck without delay on account of danger from
-enemy naval or air forces. In two cases the danger was not quite so
-great. I was able to approach the lifeboats and help them.
-
-FLOTTENRICHTER KRANZBÜHLER: What were the ships concerned?
-
-HESSLER: Two Greek ships: the _Papalemos_ and _Pandias_.
-
-FLOTTENRICHTER KRANZBÜHLER: How did you help the lifeboats?
-
-HESSLER: First of all I gave the survivors their exact position and told
-them what course to set in order to reach land in their lifeboats. In
-the second place, I gave them water, which is of vital importance for
-survivors in tropical regions. In one case I also furnished medical aid
-for several wounded men.
-
-FLOTTENRICHTER KRANZBÜHLER: Did your personal experience with torpedoed
-ships dispose you to caution with regard to rescue measures?
-
-HESSLER: Yes. The experienced U-boat commander was justifiably
-suspicious of every merchantman and its crew, no matter how innocent
-they might appear. In two cases this attitude of suspicion saved me from
-destruction.
-
-This happened in the case of the steamer _Kalchas_, a British 10,000 ton
-ship which I torpedoed north of Cape Verde. The ship had stopped after
-being hit by the torpedo. The crew had left the ship and were in the
-lifeboats, and the vessel seemed to be sinking. I was wondering whether
-to surface in order at least to give the crew their position and ask if
-they needed water. A feeling which I could not explain kept me from
-doing so. I raised my periscope to the fullest extent and just as the
-periscope rose almost entirely out of the water, sailors who had been
-hiding under the guns and behind the bulwark, jumped up, manned the guns
-of the vessel—which so far had appeared to be entirely abandoned—and
-opened fire on my periscope at very close range, compelling me to
-submerge at full speed. The shells fell close to the periscope but were
-not dangerous to me.
-
-In the second case, the steamer _Alfred Jones_, which I torpedoed off
-Freetown, also seemed to be sinking. I wondered whether to surface, when
-I saw in one of the lifeboats two sailors of the British Navy in full
-uniform. That aroused my suspicions. I inspected the ship at close
-range—I would say from a distance of 50 to 100 meters—and established
-the fact that it had not been abandoned, but that soldiers were still
-concealed aboard her in every possible hiding-place and behind boarding.
-When I torpedoed the ship this boarding was smashed. I saw that the ship
-had at least four to six guns of 10 and 15 centimeter caliber and a
-large number of depth charge chutes and antiaircraft guns behind the
-bulwarks. Only a pure accident, the fact that the depth charges had not
-been timed, saved me from destruction.
-
-It was clear to me, naturally, after such an experience, that I could no
-longer concern myself with crews or survivors without endangering my own
-ship.
-
-FLOTTENRICHTER KRANZBÜHLER: When did you enter the staff of the
-Commander, U-boats.
-
-HESSLER: In November 1941.
-
-FLOTTENRICHTER KRANZBÜHLER: You were First Naval Staff Officer?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Was it your task to instruct the commanders
-on orders issued before they left port?
-
-HESSLER: Yes, I did that.
-
-FLOTTENRICHTER KRANZBÜHLER: And what was the connection between the
-instructions given by you and those to be given by the flotilla
-chiefs—Korvettenkapitän Möhle, for instance?
-
-HESSLER: The commanders whom I had to instruct received a complete
-summary of all questions concerning procedure at sea. The flotilla
-chiefs were charged with ascertaining that all commanders should receive
-a copy of the most recent orders issued by Commander, U-boats. I might
-say that these were limited instructions, compared with the full
-instructions they received from me.
-
-FLOTTENRICHTER KRANZBÜHLER: Did these full instructions include the
-instructions to the commanders regarding the treatment of survivors?
-
-HESSLER: Yes, in much the same style as the instructions I received
-during my training in the U-boat school.
-
-FLOTTENRICHTER KRANZBÜHLER: Was any change made in the manner of
-instruction after the _Laconia_ order of September 1942?
-
-HESSLER: Yes. I related the incident briefly to the commanders and told
-them:
-
- “Now the decision as to whether the situation at sea permits of
- rescue attempts no longer rests with you. Rescue measures are
- prohibited from now on.”
-
-FLOTTENRICHTER KRANZBÜHLER: Do you mean to say that during the whole of
-the rest of the war—that is, for 2½ years—the commanders continued to
-be told about the _Laconia_ incident, or was that only done immediately
-after this incident in the autumn of 1942?
-
-HESSLER: I would say up to January 1943 at the latest. After that, no
-further mention was made of it.
-
-FLOTTENRICHTER KRANZBÜHLER: You mean, no further mention of the
-incident?
-
-HESSLER: No further mention of the _Laconia_ incident.
-
-FLOTTENRICHTER KRANZBÜHLER: But the orders issued as a result of it were
-mentioned?
-
-HESSLER: Yes, that a specific order not to take any more rescue measures
-had been issued.
-
-FLOTTENRICHTER KRANZBÜHLER: Did the commanders at any time receive
-orders or suggestions from you or from one of your staff to shoot at
-survivors?
-
-HESSLER: Never.
-
-FLOTTENRICHTER KRANZBÜHLER: Were the commanders told by you about the
-order to take captains and chief engineers on board, if possible?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Was it emphasized in those instructions that
-this was only to take place when it could be done without endangering
-the U-boat?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Do you know of the incident of U-boat
-_U-386_ which passed some airmen shot down in the Bay of Biscay?
-
-HESSLER: I remember this incident very distinctly.
-
-FLOTTENRICHTER KRANZBÜHLER: Then you also remember that this incident
-took place in the autumn of 1943?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: Did Commander, U-boats, think, with regard
-to this incident, that the U-boat commander should have shot at the
-airmen in the rubber dinghy?
-
-HESSLER: No, on the contrary, he was annoyed because the crew of the
-aircraft had not been brought along by the U-boat.
-
-FLOTTENRICHTER KRANZBÜHLER: Did any other person or persons on the staff
-put forward the view I have just expressed?
-
-HESSLER: No, we knew every one on the staff, and it is out of the
-question that any member of the staff held a different opinion.
-
-FLOTTENRICHTER KRANZBÜHLER: Korvettenkapitän Möhle testified that he
-asked Korvettenkapitän Kuppisch, who was a member of your staff, for an
-explanation of the _Laconia_ order and that Kuppisch told him about the
-incident of the _U-386_; and told it in such a way as to make it appear
-that Commander, U-boats, ordered the shooting of survivors.
-
-HESSLER: That is impossible.
-
-FLOTTENRICHTER KRANZBÜHLER: Why?
-
-HESSLER: Because Kuppisch took his U-boat out to sea in July 1943 and
-never returned from that cruise. The incident of _U-386_ happened in the
-autumn of 1943, which was later.
-
-FLOTTENRICHTER KRANZBÜHLER: Korvettenkapitän Möhle in his first
-statement left the possibility open that this story about _U-386_ might
-have come from you. Did you discuss this matter with him?
-
-HESSLER: No.
-
-FLOTTENRICHTER KRANZBÜHLER: Are you certain of that?
-
-HESSLER: Absolutely certain.
-
-FLOTTENRICHTER KRANZBÜHLER: Did you hear of the interpretation given by
-Korvettenkapitän Möhle to this _Laconia_ order?
-
-HESSLER: After the capitulation—that is, after the end of the war and
-then through a British officer.
-
-FLOTTENRICHTER KRANZBÜHLER: How do you explain the fact that of the very
-few officers who received these instructions from Möhle, none raised the
-question of the interpretation of this order with Commander, U-boats?
-
-HESSLER: I have only one explanation of this; and that is that these
-officers thought Korvettenkapitän Möhle’s interpretation completely
-impossible, and not in agreement with the interpretation of Commander,
-U-boats.
-
-FLOTTENRICHTER KRANZBÜHLER: Therefore, they did not think that
-clarification was necessary?
-
-HESSLER: They did not think that clarification was necessary.
-
-FLOTTENRICHTER KRANZBÜHLER: The Prosecution’s charges against Admiral
-Dönitz are based to a great extent on extracts from the War Diary of the
-SKL and Commander, U-boats, documents which are in the possession of the
-British Admiralty. How is it possible that all these data fell into the
-hands of the British Admiralty—and _in toto_?
-
-HESSLER: It was the Admiral’s desire that the war diaries of the U-boats
-and of Commander, U-boats, which formed part of the Navy archives,
-should be preserved and not be destroyed.
-
-FLOTTENRICHTER KRANZBÜHLER: Did he say anything to you about this?
-
-HESSLER: Yes, in that form, when I told him that our own staff data had
-been completely destroyed.
-
-FLOTTENRICHTER KRANZBÜHLER: Did he give any reason as to why he did not
-want the Navy archives destroyed?
-
-HESSLER: He wanted to keep these data until after the war, and the Naval
-Operations Staff had nothing to conceal.
-
-FLOTTENRICHTER KRANZBÜHLER: Is that your opinion or is that the opinion
-which Admiral Dönitz expressed to you?
-
-HESSLER: He told me, “We have a clear conscience.”
-
-FLOTTENRICHTER KRANZBÜHLER: Immediately after the capitulation you were
-repeatedly interrogated on questions of U-boat warfare and you asked the
-senior officer present whether the German U-boat command would be
-accused by the British Navy of criminal acts. Is that right?
-
-HESSLER: Yes.
-
-FLOTTENRICHTER KRANZBÜHLER: And what answer did you receive?
-
-HESSLER: An unhesitating “No.”
-
-FLOTTENRICHTER KRANZBÜHLER: I have no further questions, Mr. President.
-
-THE PRESIDENT: Does any defendant’s counsel wish to ask any questions?
-
-[_There was no response._]
-
-The Prosecution?
-
-COL. PHILLIMORE: With the Tribunal’s permission I would not propose to
-cross-examine and ask leave to adapt my cross-examination of the last
-witness because it is the same ground substantially.
-
-THE PRESIDENT: Very well.
-
-Does any other Prosecutor wish to cross-examine?
-
-Yes, Dr. Kranzbühler?
-
-FLOTTENRICHTER KRANZBÜHLER: I have no further questions to ask the
-witness, Mr. President.
-
-THE PRESIDENT: In the interrogation of the Defendant Dönitz he said that
-Godt and Hessler—that is you, is it not...?
-
-HESSLER: Yes.
-
-THE PRESIDENT: ...told him, “Don’t send that signal. You see, one day it
-might appear in the wrong; it might be misinterpreted.” Did you say
-that?
-
-HESSLER: I do not remember. As consulting officers, we often had to
-oppose orders which were being drafted, and we were entitled to do so;
-but I do not remember whether Admiral Godt and I did so in this case.
-
-THE PRESIDENT: Then later in this interrogation the Defendant Dönitz
-said:
-
- “I am completely and personally responsible for it”—that is
- that order—“because Captains Godt and Hessler both expressly
- stated that they considered the telegram as ambiguous or liable
- to be misinterpreted.”
-
-Did you say that this telegram was ambiguous or liable to be
-misinterpreted?
-
-HESSLER: I do not remember that point. I do not think I thought the
-telegram was ambiguous.
-
-THE PRESIDENT: And lastly the Defendant Dönitz said this:
-
- “I would like to emphasize once more that both Captain Godt and
- Captain Hessler were violently opposed to the sending of the
- telegram.”
-
-Do you say that you were not violently opposed to the sending of the
-telegram?
-
-HESSLER: It is possible that we opposed the dispatch of the telegram
-because we did not consider it necessary to refer to the matter again.
-
-THE PRESIDENT: Did you say anything to the Defendant Dönitz about this
-telegram at all?
-
-HESSLER: At the drafting of the telegram we talked it over, just as we
-discussed every wireless message drafted by us. As time went on, we
-drafted many hundreds of wireless messages so that it is impossible to
-remember just what was said in each case.
-
-THE PRESIDENT: You began your answer to that question: “At the drafting
-of this telegram...”
-
-Do you remember what happened at the drafting of this telegram?
-
-HESSLER: I can remember only that in the course of the so-called
-_Laconia_ incident a great many wireless messages were sent and
-received; that many wireless messages were drafted; and that, in
-addition, U-boat operations were going on in the Atlantic, so that I
-cannot recall details of what happened when the message was drafted.
-
-THE PRESIDENT: You said now that it was possible that you and Admiral
-Godt were opposed to the sending of this telegram. Is that your answer?
-
-HESSLER: It is possible, but I cannot say.
-
-THE PRESIDENT: Very well. Dr. Kranzbühler, the witness can retire.
-
-[_The witness left the stand._]
-
-FLOTTENRICHTER KRANZBÜHLER: Mr. President, this morning I had already
-advised the Prosecution that I shall not call the fourth witness
-scheduled—that is Admiral Eckardt. Therefore, my examination of
-witnesses has been concluded.
-
-THE PRESIDENT: And that concludes your case for the present?
-
-FLOTTENRICHTER KRANZBÜHLER: That concludes my case, but with the
-permission of the Tribunal I would like to clarify one more question
-which deals with documents.
-
-The Tribunal has refused all documents which refer to contraband,
-control ports, and the “Navicert” system. These questions are of some
-importance if I am to give a correct exposition later on.
-
-May I interpret the Tribunal’s decision as saying that these documents
-are not to be used now as evidence but that I may have permission to use
-them later on in my legal exposition?
-
-THE PRESIDENT: Dr. Kranzbühler, the Tribunal thinks that is a question
-which may be reserved until the time comes for you to make your speech.
-
-FLOTTENRICHTER KRANZBÜHLER: Thank you, Mr. President. Then I have
-concluded my case.
-
-THE PRESIDENT: We will adjourn now.
-
- [_The Tribunal adjourned until 15 May 1946 at 1000 hours._]
-
-
-
-
- ONE HUNDRED AND THIRTIETH DAY
- Wednesday, 15 May 1946
-
-
- _Morning Session_
-
-[_The witness Emil Puhl took the stand._]
-
-THE PRESIDENT: Will you state your full name?
-
-EMIL PUHL (Witness): Emil Johann Rudolf Puhl.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The witness repeated the oath._]
-
-THE PRESIDENT: You may sit down.
-
-DR. SAUTER: Witness Puhl, you were formerly Vice President of the
-Reichsbank?
-
-PUHL: Yes.
-
-DR. SAUTER: If I am correctly informed, you were a member of the
-Directorate of the Reichsbank already at the time of Dr. Schacht?
-
-PUHL: Yes.
-
-DR. SAUTER: When Dr. Schacht left, you were one of the few gentlemen who
-remained in the Reichsbank?
-
-PUHL: Yes.
-
-DR. SAUTER: You were then named by Hitler, on the suggestion of the
-Defendant Funk, to be Managing Vice President of the Reichsbank?
-
-PUHL: Yes.
-
-DR. SAUTER: When was that?
-
-PUHL: During the year 1939.
-
-DR. SAUTER: During the year 1939. You have said that you were Managing
-Vice President, and I presume this was due to the fact that banking was
-not the special field of the Defendant Funk while you were a banking
-expert, and that Funk in addition had charge of the Reich Ministry of
-Economics. Is that correct?
-
-PUHL: Yes, but there was another reason, namely, the division of
-authority between official business on one side, and the handling of
-personnel on the other.
-
-DR. SAUTER: The actual conduct of business was apparently your
-responsibility?
-
-PUHL: Yes.
-
-DR. SAUTER: Hence, the title Managing Vice President?
-
-PUHL: Yes. May I make a few comments on this?
-
-DR. SAUTER: Only if it is necessary in the interests of the case.
-
-PUHL: Yes. The business of the Directorate of the Reichsbank was divided
-among a number of members of the Directorate. Every member had full
-responsibility for his own sphere. The Vice President was the _primus
-inter pares_, his main task was to act as chairman at meetings to
-represent the President in the outside world and to deal with problems
-of general economic and banking policy.
-
-DR. SAUTER: Witness, the Defendant Funk referred to you as a witness as
-early as December. You know that, don’t you? And accordingly, you were
-interrogated at the camp where you are now accommodated, I believe in
-Baden-Baden...
-
-PUHL: Near Baden-Baden.
-
-DR. SAUTER: ...interrogated on 1 May?
-
-PUHL: Yes.
-
-DR. SAUTER: Two days later you were again interrogated?
-
-PUHL: Yes.
-
-DR. SAUTER: On 3 May?
-
-PUHL: Yes.
-
-DR. SAUTER: Do you know why the matters on which you were questioned on
-3 May were not dealt with during the interrogation on 1 May?
-
-PUHL: I have before me the affidavit dated 3 May.
-
-DR. SAUTER: 3 May. That deals with these business affairs with the SS.
-
-PUHL: Yes. But I was questioned on this subject already on 1 May, only
-very briefly, and on 3 May there was a second interrogation for the
-purpose of discussing it in more detail.
-
-DR. SAUTER: Did you not mention these business affairs of the Reichsbank
-with the SS during your interrogation on 1 May?
-
-PUHL: Yes.
-
-DR. SAUTER: Did you mention them?
-
-PUHL: A short statement was made.
-
-DR. SAUTER: During the interrogation of 1 May?
-
-PUHL: Yes. At any rate, the statement on 3 May made during the
-interrogation was only a more detailed record of what had already been
-briefly discussed before.
-
-DR. SAUTER: I have the record of your interrogation on 1 May before me;
-I read through it again today. But as far as I can see, it contains no
-mention at all of business affairs with the SS. You must be speaking now
-of another interrogation?
-
-PUHL: Yes.
-
-MR. DODD: Mr. President, I think perhaps I can be helpful in this
-apparent confusion. The interrogatory which was authorized by the
-Tribunal was taken on 1 May, but on that same day, and independent of
-these interrogatories, a member of our staff also interviewed this
-witness. But it was a separate interview. It wasn’t related to the
-interrogatory, and I think that is the source of the confusion.
-
-THE PRESIDENT: Very well.
-
-DR. SAUTER: Were you interrogated twice about these transactions with
-the SS?
-
-PUHL: Yes, twice during the days around 1 May; that is correct.
-
-DR. SAUTER: Do you still remember the affidavit which you signed on 3
-May?
-
-PUHL: On 3 May, yes.
-
-DR. SAUTER: It is the affidavit which deals with these transactions with
-the SS. Are your statements in this affidavit correct?
-
-PUHL: Yes.
-
-DR. SAUTER: Witness, have you been interrogated on these matters again
-since that time, since 3 May?
-
-PUHL: Yes.
-
-DR. SAUTER: When?
-
-PUHL: Here in Nuremberg.
-
-DR. SAUTER: When were you interrogated?
-
-PUHL: During the last few days.
-
-DR. SAUTER: I see. Today is Wednesday, when was it?
-
-PUHL: Friday, Monday, Tuesday.
-
-DR. SAUTER: Yesterday?
-
-PUHL: Yes.
-
-DR. SAUTER: On this matter?
-
-PUHL: Yes.
-
-DR. SAUTER: Was a film also shown to you here?
-
-PUHL: Yes.
-
-DR. SAUTER: Once or twice?
-
-PUHL: Once.
-
-DR. SAUTER: Had you seen this film before?
-
-PUHL: No.
-
-DR. SAUTER: Did you recognize clearly what was presented in the film?
-
-PUHL: Yes.
-
-DR. SAUTER: I ask because, as you know, the film runs very quickly and
-is very short; the Prosecution showed it twice in the courtroom so that
-one might follow it fairly well. Did one showing suffice to make clear
-to you what the film contained?
-
-PUHL: Yes.
-
-DR. SAUTER: Then will you tell me what you saw in it, only what you saw
-in the film, or what you think you saw.
-
-PUHL: Yes. The film was taken in front of the safes of our bank at
-Frankfurt-on-Main, the usual safes with glass doors, behind which one
-could see the locked cases and containers, which had apparently been
-deposited there. It was the usual picture presented by such strong
-rooms. In front of these safes were several containers which had been
-opened so that their contents could be seen—coins, jewelry, pearls,
-bank notes, clocks.
-
-DR. SAUTER: What sort of clocks?
-
-PUHL: Large alarm clocks.
-
-DR. SAUTER: Nothing else? Didn’t you see anything else in the film?
-
-PUHL: Apart from these objects?
-
-DR. SAUTER: Apart from these, shall we say, valuables, didn’t you see
-anything else that is alleged to have been kept there?
-
-PUHL: No, no.
-
-DR. SAUTER: Only these valuables? Please go on.
-
-PUHL: I noticed that among these valuables there were coins, apparently
-silver coins, and also bank notes, obviously American bank notes.
-
-DR. SAUTER: Correct.
-
-PUHL: It was astonishing that these things were given to us for
-safekeeping, because if they had come to the knowledge of our officials,
-then no doubt...
-
-DR. SAUTER: Speak slowly, please.
-
-PUHL: ...no doubt the bank notes would have been immediately turned over
-to the foreign exchange department, since, as is known, a general order
-existed for the turning in of foreign bank notes which particularly were
-much in demand.
-
-Something similar applies to the coins. These, too, ought to have been
-transferred to the treasury in accordance with the regulations and
-routine of business, that is to say, they should have been purchased for
-the accounts of the Reich.
-
-DR. SAUTER: That is what you noticed in the film?
-
-PUHL: Yes.
-
-DR. SAUTER: And nothing else?
-
-PUHL: No.
-
-DR. SAUTER: Witness, valuable articles entrusted to the Reichsbank for
-safekeeping were supposed to have been kept in the Reichsbank in that
-way. Now I have been asking myself whether your Reichsbank really stored
-the valuables entrusted to it in the manner apparent from the film and I
-therefore want to ask this question of you: Do you as Managing Vice
-President of the Reichsbank know how valuables which were handed over
-for safekeeping in the strong-rooms were kept, for instance, in Berlin
-or in Frankfurt, where this film was taken?
-
-PUHL: Yes.
-
-DR. SAUTER: Please tell the Court.
-
-PUHL: The outer appearance of the safe installations in Berlin was
-somewhat similar to that in Frankfurt, and probably similar to any other
-large bank. These things were known to us as “closed deposits,” a
-banking term, and were kept, as the name indicates, in closed
-containers. Space for these was provided by us and paid for by the
-depositors, according to the size in each case.
-
-DR. SAUTER: Were these things kept—for instance, in Berlin or in
-Frankfurt—exactly as shown in the film?
-
-PUHL: Well, I had the impression that the things of which we are now
-talking had been put there expressly for the purpose of taking the film.
-
-DR. SAUTER: For the film. Do you recollect seeing a sack, which I think
-was shown in the film, with the label “Reichsbank Frankfurt?”
-
-PUHL: Yes, I saw a sack labeled “Reichsbank”; I cannot say whether
-“Reichsbank Frankfurt.”
-
-DR. SAUTER: As far as I know, it had “Reichsbank Frankfurt” on it. For
-that reason we assumed that the film was taken at Frankfurt, and the
-Prosecution confirmed that.
-
-MR. DODD: I don’t like to interrupt but I think we should be careful
-about this statement. There have been two mistakes of some slight
-importance already. We didn’t show the film twice before this Tribunal
-and that bag doesn’t bear the legend “Frankfurt.” It simply says
-“Reichsbank.” And it was the Schacht film that was shown twice here,
-because it moved rather quickly.
-
-DR. SAUTER: Witness, will you continue with your reply to the question.
-I can put it in this way: Did the Reichsbank keep gold articles and the
-like in such sacks?
-
-PUHL: If I understand you correctly, you are asking this: When valuables
-were deposited with us, were they deposited in open sacks? Is that
-correct?
-
-DR. SAUTER: I do not know what procedure you had.
-
-PUHL: We at any rate had closed deposits, as the name implies. Of
-course, it may be a sack which is closed; that is quite possible.
-
-DR. SAUTER: So far as I saw in banks at Munich, the things which were
-deposited there in increased measure during the war were without
-exception deposited in closed boxes or cases and the like, so that
-generally the bank did not know at all what was contained in the cases
-or boxes. Did you in the Reichsbank follow a different procedure?
-
-PUHL: No, it was exactly the same. And the noticeable thing about this
-sack, as has been said, is the label “Reichsbank.” Obviously it is a
-sack belonging to us and not to any private person.
-
-DR. SAUTER: Then you too, if I may repeat this to avoid any doubt, you
-too kept in a closed container the valuables, which had been deposited
-as “closed deposits.”
-
-PUHL: Yes.
-
-DR. SAUTER: Or they went to the strongboxes?
-
-PUHL: The word “deposits” might be misleading. The closed containers
-went to the strong-room. The strong-room consisted of strongboxes where
-these cases or containers were deposited. Quite independent of that
-arrangement, we had the “open deposits.” Open deposits are those which
-by initial agreement are administered openly. The strong-rooms for these
-were located in quite a different part of the building from the
-so-called main strong-room.
-
-DR. SAUTER: But presumably, we are not concerned here with these open
-deposits?
-
-PUHL: No.
-
-DR. SAUTER: Now, Witness, I come to the deposits of the SS. These
-deposits were not in Frankfurt but presumably in Berlin in the central
-bank.
-
-PUHL: Yes.
-
-DR. SAUTER: Now, will you give details about the discussions which the
-Defendant Funk had with you regarding the SS deposits. And may I ask you
-to consider your replies and search your memory very carefully before
-answering my questions. Naturally I shall allow you time.
-
-First of all, what did you and the Defendant Funk discuss when you
-talked about these deposits of the SS for the first time?
-
-PUHL: I refer here to my affidavit of 3 May. I had a very simple talk
-with Herr Funk. It turned on the request of the SS to make use of our
-bank installations by depositing valuables for which, it was said, there
-was not sufficient protection in the cellars of the SS building.
-Perhaps, for the sake of completeness, I may add that “SS,” in this
-connection, always means the Economic Department of the SS.
-
-DR. SAUTER: What did the Defendant Funk speak of at the time? Did he
-specify exactly what should be accepted for safekeeping?
-
-PUHL: He mentioned valuables which the SS had brought from the Eastern
-Territories, which were then in their cellars and which, above all, they
-requested us to keep in safety.
-
-DR. SAUTER: But did the Defendant Funk tell you in detail what these
-valuables were?
-
-PUHL: No, not in detail, but he said that in general they were gold,
-foreign currency, silver, and jewelry.
-
-DR. SAUTER: Gold, foreign currency, silver, jewelry...
-
-PUHL: To which I may add that gold and foreign currency had of course to
-be surrendered to the Reichsbank at any rate.
-
-DR. SAUTER: Gold, foreign currency, silver and jewelry?
-
-PUHL: Yes.
-
-DR. SAUTER: And that was supposed to have been confiscated in the
-Eastern Territories?
-
-PUHL: Yes.
-
-DR. SAUTER: Did the Defendant Funk tell you at the time why these
-confiscations had been made, or who had been affected by them?
-
-PUHL: No, that was not stated; the talk, as I have said, was brief.
-
-DR. SAUTER: And what was your reply?
-
-PUHL: I said that this sort of business with the SS would at least be
-inconvenient for us, and I voiced objections to it. I may add that we,
-as the Reichsbank, were always very cautious in these matters, for
-example, when valuables were offered us by foreign exchange control
-offices, customs offices, and the like.
-
-DR. SAUTER: What was the actual reason for your objections in the case
-of the SS?
-
-PUHL: Because one could not know what inconvenient consequences a
-business connection of this sort might produce.
-
-DR. SAUTER: Witness, that answer does not satisfy me. Did you or the
-Defendant Funk not wish to have anything to do with the SS at all, or
-was there some other reason for your objections?
-
-PUHL: The first part of your question I answer with “no.” There was no
-objection on principle, nor could there be; for, after all, every German
-organization or institution had the legal right to enjoy the services of
-the Reichsbank.
-
-The circumstances arising out of these confiscations were uncomfortable,
-like the confiscations of the foreign exchange control offices, _et
-cetera_, which I mentioned, because one never knew what difficulties
-might result.
-
-DR. SAUTER: So that, if I understand you well—please correct me if I
-interpret it wrongly—you voiced objections because these business
-affairs were somewhat uncomfortable for the Reichsbank, they fell
-outside the normal scope of business, and were as little welcome to you
-as, for instance, deposits of the customs authorities or the foreign
-exchange control offices, and so forth? Only for this reason?
-
-PUHL: Yes. But I have to add something; we were asked whether we would
-assist the SS in handling these deposits. It was immediately clear, of
-course, and also expressly stated, that these deposits included foreign
-currency, and also securities and all sorts of gold coins, _et cetera_,
-and that the SS people did not quite know how to deal with these things.
-
-DR. SAUTER: Did these things arrive subsequently?
-
-PUHL: Yes. But something else happened before that. After this
-conversation the head of the Economic Department of the SS, whose name
-was Pohl, Obergruppenführer Pohl, contacted me. I asked him to come to
-my office, and there he repeated, what I already knew, namely that he
-would welcome it if we would take over these valuables as soon as
-possible.
-
-DR. SAUTER: What was your answer?
-
-PUHL: I confirmed what we had arranged and said, “If you will designate
-officials from your department, I shall inform our department, and
-together they can discuss the technical details.”
-
-DR. SAUTER: To revert to an earlier stage: What did the Defendant Funk
-say when you explained during your first conversation with him that you
-would not willingly take over those things because one often had a lot
-of trouble with such matters?
-
-PUHL: My objections were subordinated to the broader consideration of
-assisting the SS, all the more—and this must be emphasized—because
-these things were for the account of the Reich.
-
-DR. SAUTER: Did you discuss whether these things, particularly gold,
-should be converted by the Reichsbank or melted down?
-
-PUHL: No, not in detail; it was merely said that the officials of the
-Reichsbank should offer their good services to the SS.
-
-DR. SAUTER: I do not quite understand. The good services of the
-Reichsbank officials consist in receiving these valuables into
-safekeeping and locking them up?
-
-PUHL: Yes.
-
-DR. SAUTER: Were the services of your officials to go beyond that?
-
-PUHL: Yes, inasmuch as the SS people were to come and remove from the
-containers whatever had to be surrendered.
-
-DR. SAUTER: For instance, gold coins, foreign currency, _et cetera_?
-
-PUHL: Yes.
-
-DR. SAUTER: Then did you see—to come back to the question already
-put—did you see what arrived, what the SS delivered?
-
-PUHL: No, not personally. This happened far away from my office, in
-quite a different building, downstairs in the strong-rooms which I, as
-Vice President of the Reichsbank, would not normally enter without a
-special reason.
-
-DR. SAUTER: Did you, as Vice President, visit these strong-rooms
-frequently?
-
-PUHL: It was a habit of mine, sometimes at an interval of three months
-or longer, to go through the strong-rooms; if there was some occasion
-for it, for instance, when there was a visitor to be conducted or some
-new installation to be discussed, or when there was something of
-importance beyond mere attendance on the safes and the clients.
-
-DR. SAUTER: But, of course, as Vice President, you had nothing to do
-with attending to customers?
-
-PUHL: No.
-
-DR. SAUTER: And I should like to put the same question to you with
-regard to the Defendant Funk. Did the Defendant Funk, who moreover
-belonged to the Reichsbank only in part, go to the strong-rooms often?
-
-If so, how often and for what reason? And did he see what had been
-handed in by the SS?
-
-PUHL: The answer is that Funk, too, went to the strong-rooms on special
-occasions, for example, when there were foreign visitors. Naturally, I
-would not know how often, nor whether he saw the SS deposits. That
-depends on whether the strong-room officials who were conducting him
-pointed them out to him.
-
-DR. SAUTER: Did you, Witness, see the things which came from the SS—did
-you see them yourself?
-
-PUHL: No, never.
-
-DR. SAUTER: Never?
-
-PUHL: Never.
-
-DR. SAUTER: Do you think that the Defendant Funk saw them?
-
-PUHL: I cannot tell that, of course; it depends on whether the
-strong-room officials pointed out specifically: “Here is the deposit of
-the SS.”
-
-DR. SAUTER: Then I presume you cannot give us any information on how
-these things of the SS were actually kept or how they were packed?
-
-PUHL: No.
-
-DR. SAUTER: Whether in boxes or...
-
-PUHL: No, I do not know that.
-
-DR. SAUTER: Did you talk again about this whole affair of the SS
-deposits with the Defendant Funk?
-
-PUHL: Hardly at all, as far as I can remember. But I must certainly have
-talked to him a second time, after Herr Pohl had visited me, since it
-was, of course, my task and my duty to keep Funk informed of everything.
-
-DR. SAUTER: Did the members of the Reichsbank Directorate, the board of
-directors, attach a special significance to this whole matter so that
-there might have been occasion to discuss it more frequently? Or was it
-regarded as just an unpleasant but unimportant sort of business?
-
-PUHL: No. At the beginning there was probably a report on it to the
-meeting of the Directorate, but then it was not mentioned again.
-
-DR. SAUTER: You cannot recollect having later again talked of the matter
-with Funk? But it is possible, if I understood you correctly, that after
-the settlement with SS Obergruppenführer Pohl, you may again have
-reported about it briefly? Did I understand you correctly?
-
-PUHL: Yes.
-
-DR. SAUTER: Now, Witness, in your affidavit under Figure 5, you say that
-among the articles deposited by the SS were jewelry, watches, spectacle
-frames, gold fillings—apparently these dental fillings—and other
-articles in large quantities which the SS had taken away from Jews and
-concentration camp victims and other persons. How do you know that?
-
-PUHL: I know that from my interrogations at Frankfurt.
-
-DR. SAUTER: You were told about these things during your interrogations
-in Frankfurt after your arrest?
-
-PUHL: And they were shown to me.
-
-DR. SAUTER: You had no knowledge of them while you were free and
-administered the Reichsbank as Vice President?
-
-PUHL: No, because, I repeat it again, we never discussed this in the
-Directorate, since it was of no basic significance for currency or
-banking policy or in any other respect.
-
-DR. SAUTER: Witness, if at that time in 1942 you had known that these
-were articles which the SS had taken away from many concentration camp
-victims, would you have received them into safekeeping?
-
-PUHL: No.
-
-DR. SAUTER: What would you have done?
-
-PUHL: Then we would have come to some decision on the attitude which the
-bank as a whole should adopt toward this problem.
-
-DR. SAUTER: Who would have had the decisive word?
-
-PUHL: The decision would have been made by the Directorate of the
-Reichsbank as an executive group, as a corporate body, and then it would
-have been submitted to the President for countersignature.
-
-DR. SAUTER: Earlier—I must fill in this gap in connection with your
-affidavit—you expressed yourself in a rather misleading way. You stated
-earlier: “This was brought to our knowledge, because the SS personnel
-attempted to convert this material into gold, into cash.” And today you
-say that you heard of it only after your arrest. Apparently, if I
-understand you correctly, there must be...
-
-THE PRESIDENT: Dr. Sauter, I do not understand why you say “earlier.” It
-is the sentence which followed the sentence which you put to him.
-
-DR. SAUTER: Yes, Mr. President.
-
-THE PRESIDENT: Why do you say “earlier” then? Why do you say “earlier”?
-
-DR. SAUTER: In his affidavit—if the wording of the affidavit is correct
-and there is no misunderstanding—the witness said...
-
-THE PRESIDENT: What I am pointing out to you is that the first sentence
-reads like this: “The material deposited by the SS included all these
-items taken from Jews, concentration camp victims, and other persons by
-the SS.” And it then goes on, “This was brought to our knowledge by the
-SS personnel who attempted to convert this material into cash.” What you
-are now putting to him is that that acceptance was put to him earlier.
-At least that is what I understood you to say.
-
-DR. SAUTER: No; the witness said today that he was told only during his
-interrogations in Frankfurt-on-Main that these articles had been taken
-from concentration camp victims, _et cetera_. The affidavit, however,
-can and must be interpreted in my opinion as saying that he received
-this information, already before his arrest, through the SS personnel
-and that apparently is not true. For that reason I asked the witness
-whether this expression in the affidavit is not a misunderstanding.
-
-Now, Witness, if I may repeat this: You first heard that these articles
-belonged to concentration camp victims at your interrogation?
-
-PUHL: Yes.
-
-DR. SAUTER: And when did you learn what was contained in this deposit;
-when did you know that, to pick out one example, gold teeth were
-contained in it?
-
-PUHL: Not at all. No details of this transaction were submitted to the
-Directorate by the strong-room or safe officials.
-
-DR. SAUTER: So of this, too, you heard only after your arrest?
-
-PUHL: Of the details, yes.
-
-DR. SAUTER: Good. Now, you speak of an agreement which, according to the
-statement of Funk, Himmler, the Reichsführer of the SS, is said to have
-made with the Reich Minister of Finance. What do you know about this
-agreement?
-
-PUHL: That is the agreement I have already mentioned. It was clear from
-the beginning that the value of the things deposited with us was to be
-credited to the Ministry of Finance.
-
-DR. SAUTER: Not to the SS?
-
-PUHL: No, not to the SS.
-
-DR. SAUTER: Why not? The SS were the depositors, were they not?
-
-PUHL: Yes, but they maintained that their actions were carried out in
-the name and on behalf of the Reich and its accounts.
-
-DR. SAUTER: Witness, do you know whether these valuables, which in some
-way had been confiscated or stolen by the SS in the East, were placed as
-a matter of principle at the disposal of the Reich Ministry of Finance?
-
-PUHL: I did not quite understand the question. Are you referring to
-these articles or to confiscated articles, valuables in general?
-
-DR. SAUTER: To all valuables. I am speaking of gold, foreign currency,
-and so forth, all these valuables acquired by the SS in the East; were
-they all to be placed at the disposal of the Reich Ministry of Finance,
-and not of the Reichsbank?
-
-PUHL: The equivalent value?
-
-DR. SAUTER: Yes, the equivalent value.
-
-PUHL: The equivalent value was credited to the Reich Ministry of
-Finance.
-
-DR. SAUTER: In this connection, Witness, may I show you two accounts. I
-do not know whether you have seen them. They are two accounts of the
-chief cashier’s office of your bank.
-
-PUHL: Yes, to us.
-
-DR. SAUTER: I should like you, then, to look at them, and to tell me
-whether you have seen them before and what you know about them?
-
-PUHL: I saw these two copies—photostat copies—during my
-interrogations.
-
-DR. SAUTER: But not earlier?
-
-PUHL: No, not earlier. And from these photostat copies it is clear—we
-have just discussed it—that the equivalent value was to be credited to
-the Reich Chief Cashier’s Office, as it says here; the Reich Chief
-Cashier’s Office was a part of the Ministry of Finance.
-
-DR. SAUTER: So apparently it is connected with this agreement, of which
-you heard, that finally all these things belonged to the Reich Ministry
-of Finance, to the Reich.
-
-PUHL: Yes.
-
-DR. SAUTER: Now I have one more question on this subject. And I would
-like to know whether perhaps there is a misunderstanding in this case
-too. You say in the affidavit that Funk told you this matter should be
-kept absolutely secret; that is the wording. You did not mention this
-point at all today, although we have the affidavit in front of us. Will
-you say now whether this is true or whether it is a misunderstanding?
-
-PUHL: That it should be kept secret? No.
-
-DR. SAUTER: Yes.
-
-PUHL: Of course, this matter was to be kept secret, but then everything
-that happens in a bank must be kept secret.
-
-DR. SAUTER: Witness, this statement cannot, of course, satisfy us. Did
-you, during your interrogation of 3 May, say what is contained in this
-document, namely, that the matter was to be kept absolutely secret, or
-did you express yourself in different words?
-
-PUHL: No, the wording of the affidavit is correct; the matter was to be
-kept absolutely secret.
-
-DR. SAUTER: Why?
-
-PUHL: Why? Because, plainly, such matters are usually kept secret and
-are not publicized; furthermore, these things came from the East. I
-repeat what I said before, that our attitude towards confiscated
-articles was always to avoid them.
-
-DR. SAUTER: Did it strike you as unusual that the Defendant Funk spoke
-of keeping the matter secret?
-
-PUHL: No.
-
-DR. SAUTER: Or did it not strike you as unusual?
-
-PUHL: Not as unusual.
-
-DR. SAUTER: Not as unusual?
-
-PUHL: No. It was merely decided in the conversation that since we were
-not willing to accept the confiscated articles of the foreign exchange
-control offices and the customs offices, we should, naturally, insist on
-secrecy in accepting these articles.
-
-DR. SAUTER: Yes. But from your account of the matter, it appears that,
-on one hand, you considered the business to be perfectly legal, and you
-yourself say that it was perfectly legal; on the other hand, secrecy was
-for you, as an old banking expert, a matter of course. Now the question
-arises, why then was the subject of keeping the matter secret discussed
-at all?
-
-PUHL: Herr Funk himself had been asked to keep the matter as secret as
-possible, and he passed on that request.
-
-DR. SAUTER: When did Funk tell you that he had been asked to keep it
-secret?
-
-PUHL: I do not remember that.
-
-DR. SAUTER: Did you not ask him why it should be kept secret, absolutely
-secret, as you say? I do not know whether you still maintain “absolutely
-secret”?
-
-PUHL: Yes, a special duty of observing secrecy was to be imposed on the
-officials.
-
-DR. SAUTER: Well, what did you, as Vice President, as Managing Vice
-President, say to that?
-
-PUHL: I did not say anything because, if that had been agreed upon, then
-this wish would have to be complied with.
-
-DR. SAUTER: But you do not know whether it had been agreed upon?
-
-PUHL: Well, I assume that it was agreed upon.
-
-DR. SAUTER: You consider it possible?
-
-PUHL: Yes.
-
-DR. SAUTER: And—to repeat this—you did not at all see the articles
-which arrived?
-
-PUHL: No, not at all.
-
-DR. SAUTER: And probably you do not know how many there were?
-
-PUHL: No, I do not know that either; and, as I said before, I never saw
-an account; that was not in conformity with our procedure, as individual
-transactions were not submitted to the members of the Directorate.
-
-DR. SAUTER: I ask because recently, when this case was discussed, it was
-asserted that whole truckloads of such articles, whole truckloads had
-arrived. You are already laughing and you will laugh more when I tell
-you that 47 truckloads of gold were said to have arrived at your bank;
-and you knew nothing about them?
-
-PUHL: I have never heard of that.
-
-DR. SAUTER: You heard nothing about that? Witness, we will leave this
-point and turn to the second point in your affidavit of May, with which
-we can deal very briefly.
-
-I think you knew Herr Pohl, SS Obergruppenführer Pohl, of whom you spoke
-just now, already in 1942?
-
-PUHL: Yes, but none the less this was the first occasion on which Pohl
-came to my office.
-
-DR. SAUTER: This is no reproach, I just wanted to establish a fact. You
-knew him as a result of this first credit transaction which took place
-at an earlier time.
-
-PUHL: Yes, that may be.
-
-DR. SAUTER: The Defendant Funk says, you see, that as far as he can
-remember this credit matter—and he did not attach any special
-significance to it at the time—it was negotiated about 1940, some time
-before the other transaction. Can that be true? Approximately?
-
-PUHL: I can neither deny nor confirm that; I no longer recall the date
-of the credit.
-
-DR. SAUTER: Well, in your affidavit you state, with reference to this
-credit, that the Reichsbank had granted a credit of 10 or 12 millions to
-the SS, I believe to pay off a loan which the SS had taken up with
-another bank. And you say that this credit was used for financing
-production in factories directed by the SS, where workers from
-concentration camps were employed.
-
-Witness, I am not primarily interested in this credit as such because it
-was, of course, part of your business as a bank; and the figure of, I
-think, 10 or 12 millions was also not unusual. But I am interested in
-how you knew that this money was to be used for SS factories in which
-workers from concentration camps were employed. How did you know that?
-
-PUHL: The application for credit came from the Economic Department of
-the SS which I have mentioned before. This department was directing a
-number of factories in Germany, and needed money for that purpose. The
-Gold Discount Bank was prepared to give this credit, but only in the
-form of regular business credits. In other words, the debtor had to
-submit a balance sheet to us and at regular intervals had to report on
-his production, his general financial position, his plans for the
-immediate future, in short, all matters on which a debtor is bound to
-inform his creditor.
-
-The board of directors of the Gold Discount Bank conducted these
-negotiations, in which the representatives of the Economic Department,
-who submitted the balance sheets, naturally discussed their production
-program, which was remarkable insofar as the wage figures affecting the
-balance were comparatively low. And so the natural question arose: Why
-is your wage account so low? The director of the Gold Discount Bank
-reported on this subject to the board meeting of the Gold Discount Bank.
-
-DR. SAUTER: You always refer to the Gold Discount Bank. The Tribunal
-would be interested to know whether the Gold Discount Bank is identical
-with the Reichsbank, whether it was also under the jurisdiction of the
-Defendant Funk and your own, and what was its position?
-
-PUHL: The Gold Discount Bank was an institute subsidiary to the
-Reichsbank; it was founded in the twenties for various purposes, not
-only for the promotion of exports, but also for the increase of
-production. The capital structure...
-
-DR. SAUTER: No, we are not interested in that.
-
-PUHL: Practically all the shares were in the hands of the Reichsbank.
-The Gold Discount Bank had a Board of Directors always headed by the
-President of the Reichsbank; it also had a deputy chairman who was the
-Second Vice President of the Reichsbank, and the Board of Directors
-itself included a number of members of the Directorate of the
-Reichsbank, and also the State Secretaries of the Ministry of Economics
-and of the Ministry of Finance.
-
-THE PRESIDENT: It is not interesting to us to know who the exact
-directors of the Gold Discount Bank were.
-
-DR. SAUTER: Witness, I wanted, in fact, to interrupt you earlier, and
-tell you that what you have just related is without significance for the
-Trial. To me and to the Tribunal it is only of interest to hear whether
-the Defendant Funk, as far as you definitely remember, had knowledge of
-these matters, of the purpose of this credit and whether he knew that in
-these factories people from the concentration camps were employed? Do
-you, or do you not know?
-
-PUHL: I might assume that, but I cannot know it. At any rate, it was
-known that the credit was destined for these factories.
-
-DR. SAUTER: Witness, I cannot be satisfied with that answer because the
-SS, as you have probably heard in the meantime, directed various
-undertakings in which no concentration camp inmates were employed. To my
-knowledge, for example, the porcelain factory at Allach did not
-apparently employ concentration camp inmates. Then for example, the
-entire personnel at the spas...
-
-MR. DODD: I object to testimony by counsel. He is practically giving the
-answer to this witness before he asks the question.
-
-DR. SAUTER: Do you know whether the SS had undertakings in which no
-concentration camp inmates were employed?
-
-PUHL: I did not, of course, know every individual business run by the
-SS, nor could I know in each case whether prisoners were or were not
-employed.
-
-DR. SAUTER: Was the Defendant Funk present at all during the meeting at
-which this credit was discussed?
-
-PUHL: No, he was not present; the records of the proceedings were
-submitted; we always adopted that procedure.
-
-DR. SAUTER: Then did the Defendant Funk talk at all with the people who
-had given information on the unusual figures of the wage account?
-
-PUHL: No, that was done by the Board of Directors of the Gold Discount
-Bank.
-
-DR. SAUTER: That was done by the board of the Gold Discount Bank, not by
-the Defendant Funk?
-
-Then, Mr. President, I have no further questions for the witness.
-
-MR. DODD: I have just a few questions to ask, Your Honor.
-
-[_Turning to the witness._] Whom have you talked to besides
-representatives of the Prosecution since you have arrived here in
-Nuremberg? Did you look at any paper?
-
-PUHL: I do not know all their names, I believe a Mr. Kempner, Mr.
-Margolis...
-
-MR. DODD: I am not asking you about the gentlemen of the Prosecution. I
-am asking you whom else you have talked to, if anybody, since you
-arrived here in Nuremberg. That doesn’t require very much thought. Have
-you talked to anybody else since you arrived here or not?
-
-PUHL: Only to the other prisoners in the corridor of our prison.
-
-MR. DODD: To no one else?
-
-PUHL: No one else.
-
-MR. DODD: Now, are you absolutely sure about that?
-
-PUHL: Yes, absolutely.
-
-MR. DODD: Did you talk to Dr. Stuckart over in the witness wing, and
-about your testimony that you were going to give here this morning?
-Answer that question.
-
-PUHL: Dr. Stuckart is one of the prisoners in the corridor of our
-witness wing.
-
-MR. DODD: I didn’t ask you that. I asked you if you didn’t talk to him a
-day or two ago about your testimony in this case?
-
-PUHL: No.
-
-MR. DODD: Now, I think it is awfully important to you that I remind you
-that you are under oath here. I am going to ask you again if you didn’t
-talk to Dr. Stuckart over in this witness wing about your testimony or
-about the facts concerning Funk in this case?
-
-PUHL: No, I talked about all sorts of general matters.
-
-MR. DODD: You didn’t talk to four or five of those other people over
-there either about your testimony or about the facts here?
-
-PUHL: No, absolutely not.
-
-MR. DODD: All right. You know a man by the name of Thoms, T-h-o-m-s?
-
-PUHL: T-h-o-m-s? He was an official of the Reichsbank who worked in the
-vaults of the Reichsbank in Berlin.
-
-MR. DODD: You know the man, you do know him?
-
-PUHL: Yes.
-
-MR. DODD: Now, you talked to him about these deposits put in by the SS,
-didn’t you, Herr Puhl?
-
-PUHL: To Herr Thoms, no.
-
-MR. DODD: You didn’t talk to him?
-
-PUHL: No, I have not seen Herr Thoms at all in Nuremberg, and only from
-a distance in Frankfurt.
-
-MR. DODD: I am not referring to Nuremberg now. We will get away from
-that for a minute. I mean during the time that these deposits were being
-made in the Reichsbank. Did you not talk to Herr Thoms about the
-deposits?
-
-PUHL: Yes, as has been stated here in the affidavit.
-
-MR. DODD: Well, never mind the affidavit for a few minutes. I have a few
-questions I want to ask you. I am particularly interested in this matter
-of secrecy. What did you tell Thoms about the requirement of secrecy
-with respect to these SS deposits? Did you tell Thoms about the
-requirement of secrecy with respect to these SS deposits?
-
-PUHL: I must add that I really talked with Herr Tonetti, because he was
-the person responsible; and Herr Thoms was only called in. I told both
-gentlemen that it was desired the matter be kept secret.
-
-MR. DODD: Did you say that it had to be kept a secret and that they must
-not discuss it with anybody else; that it was highly secret, a special
-transaction, and if anybody asked him about it, he was to say that he
-was forbidden to speak about it? Did you tell that to Herr Thoms in the
-Reichsbank?
-
-PUHL: Yes, that was the sense of what I said.
-
-MR. DODD: Well, that is what I am asking you. Why did you tell Thoms
-that he was not to speak about it; that it was absolutely forbidden;
-that it was highly secret, if it was just the ordinary confidence
-reposed in bank officials attached to a business relationship?
-
-PUHL: Because the Reichsbank President Funk personally conveyed this
-wish to me.
-
-MR. DODD: Well, now, I think perhaps there is some confusion in our
-minds. You see, I clearly understood, and I expect others as well as the
-Tribunal may have in the courtroom this morning, that you were telling
-counsel for Funk that the secrecy attached to these transactions was not
-extraordinary but just the ordinary secrecy or confidence that banking
-people attach to their relationship with customers. Now, of course, that
-wasn’t so, was it?
-
-PUHL: The position, as I explained it earlier, is this: These
-confiscated valuables were usually rejected by us when brought to the
-bank; and if an exception was now being made, then it was a matter of
-course that a greater amount of secrecy, a special obligation to
-maintain secrecy, should be observed.
-
-MR. DODD: I wish you would answer this question very directly. Wasn’t
-there a special reason for special secrecy with respect to these
-deposits by the SS? You can answer that Yes or No.
-
-PUHL: No, I did not perceive a special reason.
-
-MR. DODD: Then why were you telling Thoms that it was highly secret and
-he was to tell anybody who asked him about it that he was forbidden to
-speak about it? You didn’t ordinarily instruct your people to that
-effect, did you?
-
-PUHL: Because I myself had received this instruction.
-
-MR. DODD: That may be so, but that was a special secrecy, wasn’t it?
-That wasn’t your ordinary and customary way of doing business?
-
-PUHL: The confiscated articles were usually rejected when they reached
-us; if the exception which we made in this case became known, then it
-would immediately have provided an example for others; and that we
-wanted to avoid under all circumstances.
-
-MR. DODD: You didn’t want to discuss this matter on the telephone with
-Pohl of the SS, did you? You asked him to come to your office rather
-than talk about it on the telephone?
-
-PUHL: Yes.
-
-MR. DODD: Why was that, if it was just an ordinary business transaction?
-
-PUHL: Because one never knew to what extent the telephone was being
-tapped, and thus the transaction might have become known to others.
-
-MR. DODD: Well, you didn’t talk to anybody much on the telephone; is
-that right? You were a man that never used the telephone out of the
-Reichsbank? Now, I think you realize fully well that there was a special
-reason in this case for not wanting to talk on the telephone and I think
-you should tell the Tribunal what it was.
-
-PUHL: Yes; the reason was, as I have said repeatedly, that from the
-beginning special secrecy was desired, this desire was respected and
-adhered to everywhere, also as to this telephone call.
-
-MR. DODD: And you are still insisting that this transaction was not a
-special secret transaction that you told Dr. Kempner was a
-“Schweinerei.” Do you know what that word means?
-
-PUHL: Yes.
-
-MR. DODD: What does it mean? It means it smelled bad, doesn’t it?
-
-PUHL: That we should not have done it.
-
-MR. DODD: Now, you called up Thoms on more than one occasion to ask him
-how the deposits from the SS were coming in, didn’t you?
-
-PUHL: No, I saw Thoms relatively seldom, often not for months, as he
-could hardly come to my office.
-
-MR. DODD: I didn’t ask you if you saw him often. I asked you if you
-didn’t call him on the telephone and ask him how the deposits were
-coming along?
-
-PUHL: No, I took no further interest in the conduct of this particular
-transaction. Moreover, the requesting of a report from the cashier would
-have been the proper procedure.
-
-MR. DODD: Did you tell him to get in touch with Brigadeführer Frank or
-Gruppenführer or Obergruppenführer Wolff of the SS? Did you tell that to
-Thoms?
-
-PUHL: Yes, I repeat what I said earlier; when Pohl was in my office he
-told me that he would appoint two people to negotiate the transaction
-with the Reichsbank, and they were the two people just mentioned; I
-passed on their names to the cashier’s office.
-
-MR. DODD: What was the name under which these deposits were known in the
-Reichsbank?
-
-PUHL: I heard of the name under which these deposits were known in the
-Reichsbank for the first time in Frankfurt, when I saw it in the files.
-
-MR. DODD: Don’t you know the name Melmer, M-e-l-m-e-r?
-
-PUHL: Yes, from my time in Frankfurt.
-
-MR. DODD: Didn’t you on one occasion call Herr Thoms on the telephone
-and ask him how the “Melmer” deposits were coming along?
-
-PUHL: I am afraid I didn’t quite understand.
-
-MR. DODD: Well, I say, didn’t you on one occasion at least call Herr
-Thoms on the telephone in the Reichsbank and ask him how the “Melmer”
-deposits were coming along?
-
-PUHL: No, I could not have put that question because I did not know the
-word “Melmer.”
-
-MR. DODD: You don’t know that Melmer was the name of an SS man? You
-don’t know that?
-
-PUHL: No, I did not know that.
-
-MR. DODD: I want you to look at an affidavit by Mr. Thoms, executed the
-8th day of May 1946. You have seen this before, by the way; haven’t you,
-you saw it yesterday? Answer that question, will you please, Mr.
-Witness. You saw this affidavit yesterday, the one I just sent up to
-you? You saw that yesterday, didn’t you?
-
-PUHL: Yes.
-
-MR. DODD: You will observe in Paragraph 5 that Thoms, who executed this
-affidavit, said that he went to see you and that you told him that the
-Reichsbank was going to act as custodian for the SS and the receipt and
-disposition of deposits and that the SS would deliver the property,
-namely gold, silver and foreign currency; and you also explained that
-the SS intended to deliver numerous other kinds of property such as
-jewelry, and “we must find a way to dispose of it,” and that he
-suggested to you, Mr. Puhl, that:
-
- “We transmit the items to the Reichshauptkasse, as we did in the
- case of Wehrmacht booty, or that the items could be given by the
- Reichsführer-SS directly to the pawnshop for disposition, so
- that the Reichsbank had no more to do with it than it did in the
- case of confiscated Jewish property. Puhl told me that it was
- out of the question and that it was necessary that we arrange a
- procedure for handling this unusual property in order to hold
- the whole business secret.”
-
-Then he goes on to say:
-
- “This conversation with Puhl occurred just a short time,
- approximately two weeks, before the first delivery, which
- occurred on 26 August 1942. The conversation was in the office
- of Herr Puhl; nobody else was present. I don’t remember if Herr
- Frommknecht was present during the whole time; and Puhl said it
- was very important not to discuss this with anybody, that it was
- to be highly secret, that it was a special transaction, and if
- anybody asked about it that I should say I was forbidden to
- speak about it.”
-
-And on the next page you find, in Paragraph 8, Herr Thoms says:
-
- “I was told by Herr Puhl that if I had any questions on this
- matter I was to get in touch with Brigadeführer Frank or with
- Gruppenführer or Obergruppenführer Wolff of the SS. I remember
- getting the telephone number of this office, and I think I
- recall it was furnished me by Herr Puhl. I called Brigadeführer
- Frank about this, and he stated that the deliveries would be
- made by truck and would be in charge of an SS man by the name of
- Melmer. The question was discussed whether Melmer should appear
- in uniform or civilian clothes, and Frank decided it was better
- that Melmer appear out of uniform.”
-
-And so on.
-
-Then, moving on down, he says, in Paragraph 10:
-
- “When the first delivery was made, however, although Melmer
- appeared in civilian clothes, one or two SS men in uniform were
- on guard; and after one or two deliveries most of the people in
- the Hauptkasse and almost everybody in my office knew all about
- the SS deliveries.”
-
-Then moving on again, Paragraph 12:
-
- “Included in the first statement sent by the Reichsbank, and
- signed by me, to Melmer was a question concerning the name of
- the account to which the proceeds should be credited. In answer
- to that I was orally advised by Melmer that the proceeds should
- be credited to the account of ‘Max Heiliger.’ I confirmed this
- on the telephone with the Ministry of Finance; and in my second
- statement to Melmer, dated 16 November 1942, I confirmed the
- oral conversation.”
-
-Now, the next paragraph is 13:
-
- “After a few months, Puhl called me and asked me how the Melmer
- deliveries were going along and suggested that perhaps they
- would soon be over. I told Puhl that the way the deliveries were
- coming in it looked as though they were growing.”
-
-And then I call your attention to the next paragraph:
-
- “One of the first hints of the sources of these items occurred
- when it was noticed that a packet of bills was stamped with a
- rubber stamp, ‘Lublin.’ This occurred some time early in 1943.
- Another hint came when some items bore the stamp, ‘Auschwitz.’
- We all knew that these places were the sites of concentration
- camps. It was the tenth delivery, in November 1942, that dental
- gold appeared. The quantity of the dental gold became unusually
- great.”
-
-Now, there is another paragraph, but I particularly want to call your
-attention to the fact that Thoms says you called him and asked him how
-the Melmer deliveries were going, and also to the fact that you, as he
-states in here, impressed upon him the need for absolute secrecy.
-
-And now, I want to ask you, after having seen that affidavit again—and
-you will recall that you told our people yesterday that that affidavit,
-insofar as your knowledge was concerned, was absolutely true—now I am
-going to ask you if it isn’t a fact that there was a very special reason
-for keeping this transaction secret.
-
-PUHL: In reading this statement, it is obvious that the desire for
-secrecy came from the SS; and this tallies exactly with what I said
-before, namely, that the SS emphasized that the desire for secrecy
-originated with them. And as we heard, they went so far as to invent an
-account—“Max Heiliger”—which was obviously, as is also clear from the
-statement, an account for the Reich Ministry of Finance. In other words,
-this tallies with what I have been saying, namely, that the obligation
-to keep the matter secret, this special obligation, was desired by the
-SS, and was carried out; and it applied even to the transfer of the
-equivalent value. As regards the second point, that I am supposed to
-have talked to Thoms, I already stated yesterday that I do not remember
-such a conversation among the very great number of conversations which I
-had at the bank daily. Nor can I imagine that I went to see him. That
-would have been a very unusual procedure.
-
-I do not recall the expression “Melmer deliveries” in that connection;
-but I suggest that it is used in this statement for simplicity’s sake,
-just to refer briefly to the subject under discussion.
-
-MR. DODD: It isn’t too important, but of course he says you called him
-on the telephone, that you didn’t go to see him. However, I offer this
-as Exhibit USA-852.
-
-THE PRESIDENT: This statement we have before us doesn’t appear to be
-sworn.
-
-MR. DODD: Well, the witness is here in Nuremberg. I will withdraw it and
-have it sworn to and submit it at a later date. I wasn’t aware that it
-wasn’t sworn to. He is here and available. I had him brought here in
-case any question, was raised about him.
-
-[_Turning to the witness._] Now, the Defendant Göring knew something
-about these deposits, too, didn’t he? Now that we are talking this thing
-all out, what about that?
-
-PUHL: I was not aware that Herr Göring knew anything about these things.
-
-MR. DODD: I show you a document that was found in the files of the Reich
-Treasury, the Reichsbank, rather. It is Number 3947-PS, and it is a new
-document. You haven’t seen this, by the way.
-
-Now, this is a memorandum in the files, dated 31 March 1944, and it
-says, its subject is:
-
- “Utilization of jewels, and so forth, which have been acquired
- by official agencies in favor of the Reich.
-
- “According to an oral confidential agreement between the Vice
- President, Mr. Puhl, and the chief of one of Berlin’s public
- offices, the Reichsbank has taken over the converting of
- domestic and foreign moneys, gold and silver coins, precious
- metals, securities, jewels, watches, diamonds, and other
- valuable articles. These deposits will be processed under the
- code name ‘Melmer.’
-
- “The large amounts of jewelry, and so forth, acquired hereby
- have previously been turned over—after checking the number of
- pieces and, insofar as they had not been melted down, the
- approximate weights given—to the Municipal Pawn Shop, Division
- III, Main Office, Berlin N 4, Elsässer Strasse 74, for the best
- possible realization of value.”
-
-I am not going to read all of it. It goes on with more material about
-the pawnshop, but I want to call your attention to the paragraph
-beginning:
-
- “The Reich Marshal of the Greater German Reich, the Delegate for
- the Four Year Plan, informs the Reichsbank in his letter of 19
- March 1944, copy of which is enclosed, that the considerable
- amounts of gold and silver objects, jewels, and so forth at the
- Main Office of Trustees for the East (Haupttreuhandstelle Ost)
- are to be delivered to the Reichsbank according to an order
- issued by Reich Ministers Funk and Graf Schwerin von Krosigk.
- The converting of these objects must be accomplished in the same
- way as the ‘Melmer’ deliveries.
-
- “At the same time the Reich Marshal informs us on the converting
- of objects of the same kind which have been acquired in the
- occupied western territories. We do not know to which office
- these objects have been delivered and how they are liquidated.”
-
-Then there is more about an inquiry and more about this whole business,
-the pawnshops, and so on. But, first of all, I want to ask you: In the
-first paragraph it says “according to a confidential oral agreement
-between you and the chief of one of Berlin’s public offices”—who was
-this chief of the Berlin public office who had a confidential agreement
-about this business with you?
-
-PUHL: That was Herr Pohl. This is the agreement of which we spoke this
-morning.
-
-MR. DODD: That was Herr Pohl of the SS, wasn’t it?
-
-PUHL: Yes.
-
-MR. DODD: And that was this whole transaction; this whole SS transaction
-that this memorandum is about, that much of it is about?
-
-PUHL: This is a report from our cashier, and in line with the obligation
-of secrecy the words “SS Economic Department” have been avoided and the
-more general term “the head of a Berlin public office” is used.
-
-MR. DODD: And later on in the paragraph it refers to the incoming
-objects to be processed under the code name “Melmer,” M-e-l-m-e-r. That
-is the name I asked you a few minutes ago if you recognized, isn’t it?
-
-PUHL: I didn’t understand the question.
-
-MR. DODD: Well, the last sentence in this paragraph says: “All incoming
-deposits will be processed under the code name ‘Melmer.’” M-e-l-m-e-r.
-That is the name I asked you about a few minutes ago, and you said you
-didn’t know it.
-
-PUHL: Yes, and this statement also shows that I couldn’t have known it,
-because only now, in this statement, is it disclosed that the name
-“Melmer” was used.
-
-MR. DODD: I think if you will read it you will see that it shows just
-the opposite. It says, according to the oral confidential agreement
-between you and Pohl of the SS the Reichsbank took over the selling, and
-so on, of gold, silver coins, and so forth. “All incoming deposits will
-be processed under the code name ‘Melmer.’”
-
-You are not telling this Tribunal that a transaction like this was going
-on in your bank over which you were Vice President, under a code name,
-and you didn’t know it, and you were the man who was dealing directly
-with the SS man. Are you seriously saying that to this Court?
-
-PUHL: Yes. The word “Melmer” was never used in my presence. But our
-treasury directors could use code words for the accounts of clients who
-preferred not to give their own names and the names of their
-institutions; and the treasury made use of a code word in this case too.
-
-MR. DODD: You will observe that this is the second time this morning
-that we have run across the name Melmer. Herr Thoms says you used that
-term in talking to him, and now we find it in one of your own bank
-memorandums, which is a captured document. Are you still saying that you
-don’t know the term?
-
-PUHL: This memorandum wasn’t made for me, but for the responsible
-treasury official. And specifically in order to acquaint him with the
-arrangements made by the treasury, the memorandum states under what code
-name this transaction will be carried out.
-
-MR. DODD: Herr Puhl, look up at me a minute, will you. Didn’t you tell
-Lieutenant Meltzer, Lieutenant Margolis, and Dr. Kempner, when they were
-all together with you, that all of this business with the SS was common
-gossip in the Reichsbank? These gentlemen who are sitting right here,
-two of them at the United States table and one up here. You know them.
-Now I want you to think a minute before you answer that question.
-
-PUHL: We talked of the fact that the secret was not kept, and in the
-long run it is not possible to keep a permanent secret in a bank; but
-that has nothing to do with it. What we were speaking of just now were
-the technical details, how this sort of transaction was carried out;
-those details did not become general knowledge. What naturally could not
-be avoided was the transaction as such becoming known.
-
-MR. DODD: Now, in case you don’t understand me, we are not talking about
-that. I think you cannot help but remember because this is only a day or
-so ago, and in this building, you had a conversation with these
-gentlemen, didn’t you? And I am now asking you if it isn’t a fact that
-you told them that this whole SS transaction with the bank was common
-gossip in the bank.
-
-PUHL: There was a general whisper in the bank about this transaction;
-but details were, of course, not known.
-
-MR. DODD: Are you worried about your part in this? I think that is a
-fair question in view of your affidavit in your testimony. Are you
-concerned about what you had to do with this business? Are you?
-
-PUHL: No. I myself, once the matter had been set in motion, had nothing
-further to do with it. And in the statement, which you have submitted,
-Herr Thoms himself admits that he did not see me at all for months. The
-Directorate never discussed this matter in its meetings and was never
-approached for a decision.
-
-MR. DODD: You know, when the Defendant Funk was on the stand, he said
-that you were the one who first told him about the SS business. Is that
-your version of it?
-
-PUHL: No. My recollection is that the first conversation took place in
-the office of President Funk; and he told me, for reasons which I stated
-earlier, that we wanted to oblige the SS by taking over these
-“deposits”—that was the word used.
-
-MR. DODD: You put it more strongly than that the other day when you
-thought about it, when you said “Can you imagine Himmler talking to me
-instead of Funk”? Do you remember saying that to these gentlemen?
-
-PUHL: I’m sorry I didn’t understand the last question.
-
-MR. DODD: Well, it is not too important. I say, don’t you remember
-telling these gentlemen, Lieutenant Meltzer, Lieutenant Margolis, don’t
-you remember making this statement that Himmler wouldn’t talk to you as
-Vice President of the Bank, but that he would talk to Funk. You were
-quite upset when we told you that Funk had said that you were the man
-who originated this.
-
-PUHL: Yes.
-
-MR. DODD: You got terribly upset about it. Don’t you remember that?
-
-PUHL: Yes.
-
-MR. DODD: Finally, this question: Are you serious in saying that you
-didn’t know about these deposits until you were interrogated in
-Frankfurt, or what the nature of them was? In view of the Thoms
-affidavit, this exhibit that I have just shown you, and the whole
-examination this morning, do you want your testimony to close with the
-statement that you actually didn’t know what was in these deposits at
-any time?
-
-PUHL: I saw the statement put before me today, the statement by the
-treasury official put before me today, for the first time in Frankfurt,
-and never before. Moreover, I did not and could not, as Vice President,
-concern myself with the details of this transaction, for I was
-responsible for general economic and currency policy and for credits and
-such things. Besides, we had a whole staff of highly qualified officials
-in our treasury office; and if it had been necessary, they would have
-had to make a report to the Directorate of the Reichsbank.
-
-MR. DODD: Of course you don’t deny that you knew there were jewels and
-silver and all these other things in the deposits, do you?
-
-PUHL: The German term “Schmucksachen,” jewelry, was always used.
-
-MR. DODD: All right! Let’s see what you did know was in the deposits?
-You knew there was jewelry, some jewelry, there. You knew there was some
-currency. You knew there were coins. You knew there were other articles.
-Now, the only thing you didn’t know was the dental gold; is that so?
-
-PUHL: That is true, certainly. It was known from the outset, and Herr
-Pohl had told me, that the greater part of these deposits contained
-mainly gold, foreign currency, silver coins, and, he added, also “some
-jewelry.”
-
-MR. DODD: Well, now, the question I think you can answer simply is:
-Everything that is mentioned in your affidavit except the dental gold
-you did know was on deposits from the SS. Don’t you understand that
-question? I don’t think it is complicated. You don’t need to read
-anything, Herr Puhl. If you will just look up here, I am asking you if
-you know about everything that is mentioned in your affidavit except the
-dental gold.
-
-PUHL: Well, I knew about jewelry, but I did not know in detail what kind
-of jewelry it was.
-
-MR. DODD: I am not asking you about details. I am simply asking if you
-did know it was there. You knew there was currency there, and you knew
-there were other articles there. Those are about the only things that
-are mentioned excepting the dental gold, and that is the one thing you
-seem now not to have known.
-
-PUHL: Yes, I knew, in general, that the deposits contained gold and
-foreign currency, and I repeat that the jewelry...
-
-MR. DODD: And jewelry?
-
-PUHL: I knew that there was jewelry.
-
-MR. DODD: So the only thing you say now you didn’t know was the dental
-gold. That is all I am asking you. Why don’t you answer that? It doesn’t
-take very long. Isn’t that so? The only thing you didn’t know was the
-dental gold.
-
-PUHL: No.
-
-MR. DODD: Well, what else is mentioned you didn’t know about?
-
-PUHL: Spectacle frames, for example, were also mentioned.
-
-MR. DODD: You didn’t know about those either? All right, I will include
-those, spectacle frames and dental gold. These are the two things you
-didn’t know about?
-
-PUHL: Information I received contained only the general term “jewelry.”
-
-MR. DODD: They are the two matters that you had the most to worry about,
-aren’t they, eyeglass frames and dental gold?
-
-I have no further questions, Mr. President.
-
-THE PRESIDENT: One moment, please. Don’t take that man away.
-
-[_Turning to the witness._] Have you got a copy of your affidavit before
-you?
-
-PUHL: Of 3 May, yes.
-
-THE PRESIDENT: Have you only got one copy of it?
-
-PUHL: I must just look—Yes, I have another copy.
-
-THE PRESIDENT: Let me have it, please, will you?
-
-This document will be identified, and form part of the record. It had
-better be given whatever the appropriate number is.
-
-MR. DODD: I believe, Mr. President, that it is already in evidence.
-
-THE PRESIDENT: Not this particular document, it is not. This is the
-particular document he had before him; it has got a number of manuscript
-notes on it, and is in the English language.
-
-Mr. Dodd, you had better look at it.
-
-MR. DODD: All right, Sir.
-
-I believe it would become Exhibit USA-851; I think that is the next
-number in sequence.
-
-THE PRESIDENT: Exhibit USA-851; very well.
-
-MR. DODD: I might say I think there is one question that might be
-helpful to the Tribunal with respect to this affidavit.
-
-Herr Puhl, you personally typed up a large part of this affidavit
-yourself, did you not, or wrote it up, or dictated it?
-
-PUHL: A complete draft was put before me, and I altered it accordingly.
-
-THE PRESIDENT: One moment; and then signed it after you had altered it?
-
-[_The witness nodded assent._]
-
-THE PRESIDENT: Do not nod; please answer. You said, “A complete draft
-was put before me, and I altered it.” And I ask you, did you then sign
-it?
-
-PUHL: Yes.
-
-MR. DODD: And did you also initial those places that you altered on the
-original? Did you not put your initials in each place that you wanted to
-make a change?
-
-Isn’t that so?
-
-PUHL: No; we copied it again, it was completely rewritten...
-
-MR. DODD: I know you copied it anew. Did you not mark the places that
-you wanted changed and say how you wanted it changed? You did, did you
-not?
-
-PUHL: Yes; but that is of minor importance; for instance, the word for
-“Reichsbank” was changed to “Gold Discount Bank,” and there were similar
-editorial changes.
-
-MR. DODD: Well, I thought it might be helpful to the Tribunal to know
-that it was rewritten and initialed.
-
-THE PRESIDENT: Very well.
-
-THE TRIBUNAL (Mr. Francis Biddle, Member for the United States): Mr.
-Witness, I want to ask you a few questions. The first you heard about
-these transactions was from the Defendant Funk, was it not?
-
-PUHL: Yes.
-
-THE TRIBUNAL (Mr. Biddle): Did Funk tell you who had told him about them
-in the SS?
-
-PUHL: Himmler.
-
-THE TRIBUNAL (Mr. Biddle): Himmler had spoken to Funk about this? Who
-else, besides Himmler and Funk, was present when Funk talked to Himmler
-about this?
-
-PUHL: That I do not know.
-
-THE TRIBUNAL (Mr. Biddle): You do not know if Pohl was there also?
-
-PUHL: That I cannot say but I can say that from the very beginning the
-name of the Minister of Finance was mentioned in this connection. But
-whether he was personally present, I do not know.
-
-THE TRIBUNAL (Mr. Biddle): Did Funk say to you what Himmler said to him?
-
-PUHL: He asked that the facilities of the Reichsbank be placed at the
-disposal of the SS for this purpose.
-
-THE TRIBUNAL (Mr. Biddle): Then shortly after that, you took the matter
-up at the meeting of the Board of Directors?
-
-PUHL: Yes.
-
-THE TRIBUNAL (Mr. Biddle): Was Funk at that meeting?
-
-PUHL: No, he was not.
-
-THE TRIBUNAL (Mr. Biddle): What did you say to the Board of Directors?
-
-PUHL: I reported to the Directorate briefly on the transaction.
-
-THE TRIBUNAL (Mr. Biddle): What did you say to them?
-
-PUHL: In a few words I described my conversation with Herr Funk and my
-conversation with Herr Pohl, and I confirmed the fact that the
-Reichsbank would take the valuables of the SS into their vaults.
-
-THE TRIBUNAL (Mr. Biddle): And then did the Board of Directors approve
-the action?
-
-PUHL: Yes; there was no objection.
-
-THE TRIBUNAL (Mr. Biddle): Now, the defendant Funk said to you that
-these objects had come “from the East,” did he not?
-
-PUHL: Yes.
-
-THE TRIBUNAL (Mr. Biddle): What did you understand that he meant by that
-phrase, “from the East”?
-
-PUHL: Principally Poland, occupied Poland. But some Russian territories
-might also have been included in that phrase.
-
-THE TRIBUNAL (Mr. Biddle): You knew that this was confiscated property,
-I presume?
-
-PUHL: Yes.
-
-THE TRIBUNAL (Mr. Biddle): Now, you told Pohl that the Bank would
-perform certain services in handling the property, did you not?
-
-PUHL: Pohl asked me to place the good services of the Bank at the
-disposal of his men. That I agreed to do.
-
-THE TRIBUNAL (Mr. Biddle): And did those services include arranging the
-property, putting it in sacks and describing it?
-
-PUHL: That was not talked about.
-
-THE TRIBUNAL (Mr. Biddle): I did not ask you whether it was talked
-about. I asked you whether the services included arranging the property
-and putting it in different kinds of containers and sacks. Is that what
-you did?
-
-PUHL: Yes, that was a matter for the decision of the treasury directors;
-if they considered it necessary, they could do it.
-
-THE TRIBUNAL (Mr. Biddle): Was that done?
-
-PUHL: That I cannot know. It is a treasury matter.
-
-DR. SAUTER: Mr. President, may I put two more questions, two very brief
-questions?
-
-THE PRESIDENT: Very well, Dr. Sauter.
-
-DR. SAUTER: The one question, Witness, is this: You have been repeatedly
-asked here who has talked to you during the past few days.
-
-PUHL: Here in Nuremberg?
-
-DR. SAUTER: Yes, in Nuremberg. You know that several members of the
-Prosecution have discussed this with you during the last few days. I
-should like to establish here: Have I talked to you?
-
-PUHL: No, I am seeing you for the first time in my life today.
-
-DR. SAUTER: I just wanted to establish this, for the sake of
-correctness. And the second question is this—actually you have already
-confirmed this, but after the charge of the Prosecution I should like to
-hear it from you again—in all these negotiations or in the documents
-which have been submitted and which you have of course read, was mention
-ever made of the fact that these things came from concentration camps?
-
-PUHL: The word “concentration camp” was used neither during the
-conversation with Herr Funk nor during the conversation with Herr Pohl.
-
-DR. SAUTER: And Herr Funk did not give you an indication of that sort,
-either.
-
-PUHL: No.
-
-DR. SAUTER: Then I have no further questions, Mr. President; thank you.
-
-THE PRESIDENT: The witness can retire, and the Tribunal will adjourn.
-
- [_A recess was taken._]
-
-THE PRESIDENT: Mr. Dodd, you did offer 3947-PS as an exhibit, did you
-not?
-
-MR. DODD: Yes, Sir, I did, as Exhibit USA-850, I believe it was.
-
-THE PRESIDENT: 850, was it? Yes, and then that copy of the Puhl
-affidavit was USA-851?
-
-MR. DODD: Yes, Sir, that is right. I did not offer the other affidavit
-because we discovered it wasn’t sworn to as yet. I propose to do so and
-with your permission I delay the date. I have that witness here. This
-thing can’t go on interminably, and I don’t want to drag it on; but I
-would like to offer it as an affidavit when I can have him swear to it,
-and if there is going to be any demand for him I might respectfully
-suggest that Dr. Sauter states it now. He is not a prisoner, Mr.
-President, the witness Thoms. He is a free man in this country.
-
-THE PRESIDENT: You are suggesting that he should be called now?
-
-MR. DODD: If he is going to be called, I would suggest that it be done
-soon.
-
-THE PRESIDENT: If he wants to cross-examine him he should be called now.
-
-MR. DODD: I should be glad to have him now.
-
-DR. SEIDL: Mr. President, I am representing Attorney Dr. Kauffmann for
-the Defendant Göring. The Defendant Göring asked me to put two questions
-to the witness Puhl during his re-examination. The questions would
-probably be connected with the document which the Prosecution brought up
-in cross-examination of the witness Puhl, Document 3947-PS, of which the
-Prosecution read Page 2, Paragraph 3, beginning, “The Reich Marshal of
-the Greater German Reich, Delegate for the Four Year Plan...”
-
-THE PRESIDENT: One moment, Dr. Seidl. If you want to put questions to
-the witness Puhl on behalf of the Defendant Göring you can do so and
-Puhl will be recalled for that purpose.
-
-DR. SEIDL: Mr. President, the difficulty consists of something else. The
-Defendant Göring says, and I think rightly, that he can put his
-questions to the witness with reason only if he has an opportunity of
-seeing the document to which the Prosecution referred. Therefore, during
-the cross-examination I wanted to have the guard pass on Document
-3947-PS to Defendant Göring. That was refused, however, on the grounds
-that, by an order of the Commandant of the Prison, during the
-proceedings documents can no longer be handed to those defendants whose
-cases have already been concluded.
-
-THE PRESIDENT: Although the document was read over the earphones the
-Defendant Göring and yourself shall certainly see the document, but the
-witness must be called during this sitting. You may see the document and
-the Defendant Göring may see the document, but the witness must be
-recalled for any questions at once.
-
-DR. SEIDL: Mr. President, only excerpts were read from the document. In
-my opinion the Defendant Göring is right in saying: If I am to ask a
-sensible question I must know the whole document. I think there are only
-two possibilities; either the Prosecution must refrain from presenting
-new material during cross-examination of the defendants whose cases are
-said to have already been concluded, or the defendant must be given the
-opportunity of seeing this evidence...
-
-THE PRESIDENT: Don’t go too fast!
-
-DR. SEIDL: ...or the defendant must be given the opportunity of seeing
-the evidence newly introduced, and when only excerpts of a document are
-read, he must have access to the whole document.
-
-THE PRESIDENT: The document is only just over one page and there is only
-one paragraph in it which refers to Göring. And that paragraph has
-already been read. When I say one page, it is just one page of this
-English copy. I think you have a German translation before you.
-
-DR. SEIDL: I have 3½ pages.
-
-THE PRESIDENT: There is only one paragraph which relates to Göring.
-
-DR. SEIDL: Mr. President, it is only a question of whether in the main
-proceedings I may give this photostat copy to the Defendant Göring or
-not. If this is possible, and...
-
-THE PRESIDENT: You are going too fast!
-
-DR. SEIDL: ...and I see no reason why it should not be possible, then I
-will shortly be able to ask the witness Puhl any question that may be
-necessary; but I think the defendant is right in saying that he would
-like to see the entire contents of a document from which only excerpts
-have been read.
-
-MR. DODD: Mr. President, I might be a little bit helpful. I would like
-to point out that Dr. Seidl had the document for 10 minutes anyway
-during the recess; and also I would like to point out that we did not
-preclude him, as members of the Prosecution, from having it. It is a
-security measure altogether.
-
-THE PRESIDENT: Perhaps it will satisfy you, Dr. Seidl, if we order that
-the witness Puhl be recalled at 2 o’clock for Dr. Seidl to put any
-questions to him that you wish. And of course he would have the
-document. He has got the document now, and of course Göring will have
-the document, too.
-
-DR. SEIDL: That is the difficulty, Mr. President. I have the document,
-but on account of the existing instructions I cannot hand it to the
-Defendant Göring.
-
-THE PRESIDENT: You can give the document to Göring now.
-
-DR. SEIDL: I am not allowed to do that.
-
-THE PRESIDENT: I am telling you to do it, and they will let you do it.
-
-Dr. Sauter, do you wish to cross-examine the man who has made a
-statement? Do you wish to cross-examine Thoms?
-
-DR. SAUTER: Yes, if I may.
-
-THE PRESIDENT: You do?
-
-DR. SAUTER: Yes. Mr. President, may I comment on what Dr. Seidl has just
-said? It isn’t only a question concerning this one document which Dr.
-Seidl just wanted to give to the Defendant Göring, but it is a general
-question of whether during the session a defense counsel is authorized
-to hand to a defendant documents which have been submitted. Hitherto
-this has been allowed, but now the security ruling is that defendants
-whose cases have been completed for the present may no longer be given
-any documents in the courtroom by their defense counsel. Defense Counsel
-feel that this is an unfair ruling, since, as the case of Göring shows,
-it can very easily happen that a defendant is in some way involved in a
-later case. And the request which we now direct to you and to the Court
-is that Defense Counsel should again be permitted to give the defendants
-documents here during the session, even if the case of the defendant in
-question has already been concluded. That is what Dr. Seidl wanted to
-ask you.
-
-Mr. President, may I say something else?
-
-THE PRESIDENT: Yes, Dr. Sauter? You wanted to say something more to me?
-
-DR. SAUTER: May I also point out the following: In the interrogation
-room down in the prison we have so far not been allowed to hand any
-documents to the prisoners with whom we were speaking. Thus, if I want
-to discuss a document with my client, I have to read the whole of it to
-him. And when 10, 12, or 15 defense counsel are down there in the
-evening, it is almost...
-
-THE PRESIDENT: Dr. Sauter, the Tribunal is of the opinion that any
-document which is handed to the defendants’ counsel may be handed to the
-defendants themselves by the counsel and that it does not make any
-difference that a particular defendant’s case has been closed with
-reference to that rule.
-
-DR. SAUTER: We are very grateful to you, Mr. President, and we hope that
-your ruling will not in practice encounter any difficulties.
-
-THE PRESIDENT: Well then now, you want to cross-examine Thoms?
-
-DR. SAUTER: Yes.
-
-THE PRESIDENT: Is Thoms here? Can he be brought here at once?
-
-MR. DODD: He is on his way—he is probably right outside the door.
-
-THE PRESIDENT: Well, would the Marshal see if he is available.
-
-MR. DODD: I have not had time, Mr. President, to have the affidavit
-sworn to because I have not seen the man.
-
-THE PRESIDENT: No, but as far as his cross-examination is concerned, he
-can be put under oath here.
-
-MARSHAL: No, Sir, he is not here yet.
-
-MR. DODD: He is on his way.
-
-THE PRESIDENT: He is not available.
-
-MR. DODD: He is on his way. He was in Lieutenant Meltzer’s office a
-minute ago and he went out to get him.
-
-THE PRESIDENT: Well, he can be called then at 2 o’clock after the other
-witness.
-
-Now, Dr. Siemers, would you be ready?
-
-DR. SIEMERS: Your Honors, may I say, first of all, how I intend to
-proceed in the presentation of my case?
-
-In accordance with the suggestion of the Court, I should like to call
-Raeder as a witness in connection with all the documents which the
-Prosecution has submitted against him. I have given all these documents
-to Raeder so that he will have them before him on the witness stand, and
-no time will be lost by handing him each one individually. The British
-Delegation has kindly compiled the documents which were not included in
-the Raeder Document Book, in a new Document Book 10a. I assume that this
-document book is in the possession of the Tribunal.
-
-Thus, to facilitate matters, I shall give the page number of the English
-Document Book 10a or the English Document Book 10 in the case of each
-document.
-
-At the same time, if the Tribunal agrees, I intend already now to submit
-from my own document books those documents which in each case are
-connected with the matter under discussion. Thank you.
-
-May I then ask that Admiral Raeder be called to the witness stand.
-
-[_The Defendant Raeder took the stand._]
-
-THE PRESIDENT: Will you state your full name.
-
-ERICH RAEDER (Defendant): Erich Raeder.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The witness repeated the oath._]
-
-THE PRESIDENT: You may sit down.
-
-DR. SIEMERS: Admiral Raeder, may I ask you first to tell the Tribunal
-briefly about your past and your professional career?
-
-RAEDER: I was born in 1876 in Wandsbek near Hamburg. I joined the Navy
-in 1894 and became an officer in 1897. Then normal promotion: two years
-at the naval academy; in each year, three months leave to study
-languages; in Russia during the Russo-Japanese War. 1906 to 1908 in the
-Reich Navy Office, in Von Tirpitz’ Intelligence Division, responsible
-for the foreign press and the publications _Marine Rundschau_ and
-_Nautikus_.
-
-1910 to 1912, Navigation Officer on the Imperial Yacht Hohenzollern.
-1912 to the beginning of 1918, First Chief Naval Staff Officer and Chief
-of Staff to Admiral Hipper who was in command of the battle cruisers.
-
-After the first World War in the Admiralty, as Chief of the Central
-Division with Admiral Von Trotha. Then two years of writing at the naval
-archives: history of naval war. From 1922 to 1924, with the rank of Rear
-Admiral, Inspector of Training and Education in the Navy. 1925 to 1928,
-as Vice Admiral, chief of the Baltic naval station at Kiel.
-
-On 1 October 1928 Reich President Von Hindenburg named me Chief of the
-Navy Command in Berlin, at the suggestion of Reich Minister of Defense,
-Gröner.
-
-In 1935 I became Commander-in-Chief of the Navy, and on 1 April 1939
-Grossadmiral.
-
-On 30 January 1943 resigned as Commander-in-Chief of the Navy; I
-received the title of Admiral Inspector of the Navy, but remained
-without any official duties.
-
-DR. SIEMERS: I should like to come back to one point. You said that in
-1935 you became Commander-in-Chief of the Navy. This was only, if I am
-right, a new name?
-
-RAEDER: It was only a new name.
-
-DR. SIEMERS: So you were head of the Navy from 1928 to 1943?
-
-RAEDER: Yes.
-
-DR. SIEMERS: After the Versailles Treaty Germany had an army of only
-100,000 men, and a navy of 15,000 men, with officers. In relation to the
-size of the Reich, the Wehrmacht was thus extremely small.
-
-Was Germany in the twenties in a position to defend herself with this
-small Wehrmacht against possible attacks by neighboring states, and with
-what dangers did Germany have to reckon in the twenties?
-
-RAEDER: In my opinion, Germany was not at all in a position to defend
-herself effectively against attacks, even of the smallest states, since
-she had no modern weapons; the surrounding states, Poland in particular,
-were equipped with the most modern weapons, while even the modern
-fortifications had been taken away from Germany. The danger which
-Germany constantly faced in the twenties was...
-
-DR. SIEMERS: One moment. Now continue, please.
-
-RAEDER: The danger which Germany constantly faced in the twenties was a
-Polish attack on East Prussia with the object of severing this
-territory, already cut off from the rest of Germany by the Corridor, and
-occupying it. The danger was especially clear to Germany, because at
-that time Vilna was occupied by the Poles, in the midst of peace with
-Lithuania; and Lithuania took away the Memel area. In the south, Fiume
-was also taken away, without objection being raised by the League of
-Nations or anyone else. It was, however, quite clear to the German
-Government of those days that one thing which could not be allowed to
-happen to Germany during that time of her weakness was the occupation of
-East Prussia and its separation from the Reich. Our efforts were
-therefore aimed at preparing ourselves to oppose a Polish invasion of
-East Prussia with all possible means.
-
-DR. SIEMERS: You said that it was feared that such an invasion might
-take place. Did not several border incidents actually occur in the
-twenties?
-
-RAEDER: Yes, indeed.
-
-DR. SIEMERS: Is it true that these dangers were recognized, not only by
-you and by military circles, but also by the governments in the
-twenties, especially by the Social Democrats and by Stresemann?
-
-RAEDER: Yes. I already said that the government, too, realized that such
-an invasion could not be allowed to happen.
-
-DR. SIEMERS: Now, the Prosecution has accused you of conduct contrary to
-international law and contrary to existing treaties, even in the time
-before Hitler.
-
-On 1 October 1928 you became Chief of the Navy Command, and thus rose to
-the highest position in the German Navy. Did you, in view of the dangers
-you have described, use all your power to build up the German Navy
-within the framework of the Versailles Treaty, particularly with the
-object of protecting East Prussia?
-
-RAEDER: Yes, I exerted all my strength for the reconstruction of the
-Navy, and I came to consider this as my life work. In all stages of this
-period of naval reconstruction, I met with great difficulties; and as a
-result, I had to battle in one way or another constantly throughout
-those years in order to put this reconstruction into effect. Perhaps I
-became rather one-sided, since this fight for the reconstruction of the
-Navy filled all my time and prevented me from taking part in any matters
-not directly concerned with it. In addition to material reconstruction,
-I put every effort into the formation of a competent officer corps and
-well-trained, especially well-disciplined, crews.
-
-Admiral Dönitz has already commented on the result of this training of
-our men and officers, and I should like only to confirm that these
-German naval men earned full recognition in peacetime, both at home and
-abroad, for their dignified and good behavior and their discipline; and
-also during the war, when they fought to the end in an exemplary manner,
-in complete unity, with irreproachable battle ethics, and, in general,
-did not participate in any kind of atrocities. Also in the occupied
-areas to which they came, in Norway for instance, they earned full
-approval of the population for their good and dignified conduct.
-
-DR. SIEMERS: Since for fifteen years you were head of the Navy and
-reconstructed it in those years, can it be said that as chief of the
-Navy you are responsible for everything that happened in connection with
-this reconstruction?
-
-RAEDER: I am fully responsible for it.
-
-DR. SIEMERS: If I am correct, the only qualification would be the date 1
-October 1928.
-
-RAEDER: As regards the material rebuilding.
-
-DR. SIEMERS: Who were your superiors, as regards the reconstruction of
-the Navy? You could not, of course, act with complete independence.
-
-RAEDER: I was subordinate, firstly, to the Reichswehrminister and,
-through him, to the Reich Government, since I was not a member of the
-Reich Government; and secondly, I also had to obey the
-Commander-in-Chief of the Wehrmacht in these matters. From 1925 to 1934
-the Commander-in-Chief of the Wehrmacht was Reich President Field
-Marshal Von Hindenburg, and after his death on 1 August 1934, Adolf
-Hitler.
-
-DR. SIEMERS: Mr. President, in this connection may I submit Exhibit
-Number Raeder-3, a short excerpt from the Constitution of the German
-Reich. It is Number Raeder-3, in Document Book 1 on Page 9. Article 47
-reads:
-
- “The Reich President has the supreme command of all the Armed
- Forces of the Reich.”
-
-I also submit the Reich Defense Law, as Exhibit Number Raeder-4,
-Document Book 1, Page 11. I have to return to it later, but now I refer
-to Article 8 of the Reich Defense Law, which reads as follows:
-
- “The command is exclusively in the hands of the lawful
- superior...
-
- “The Reich President is the Commander-in-Chief of all Armed
- Forces. Under him, the Reich Minister for Defense has
- authoritative powers over all the Armed Forces. At the head of
- the Reich Army is a General, as Chief of the Army Command; at
- the head of the Reich Navy, an Admiral, as Chief of the Naval
- Command.”
-
-These paragraphs remained in full effect under the National Socialist
-regime. I refer to them only because they confirm what the witness has
-said. In regard to naval reconstruction, he was thus third in authority:
-Reich President, Reich Minister of Defense, and then the head of the
-branches of the Wehrmacht.
-
-Admiral, the Prosecution accuses you of building up the Navy: First, in
-violation of the Versailles Treaty; secondly, behind the back of the
-Reichstag and the Reich Government; and thirdly, with the intention of
-waging aggressive wars.
-
-I should like to ask you now whether the reconstruction of the Navy was
-undertaken for aggressive or defensive purposes. Make a chronological
-distinction, however, and speak first about the period overshadowed by
-the Versailles Treaty, that is, from 1928 until the Naval Agreement with
-England on 18 June 1935.
-
-My question is: Did the reconstruction of the Navy in this period take
-place for purposes of aggression as the Prosecution has asserted?
-
-RAEDER: The reconstruction of the Navy did not in any respect take place
-for the purposes of aggressive war. No doubt it constituted some evasion
-of the Versailles Treaty. Before I go into details, I should like to ask
-permission to read a few short quotations from a speech which I made in
-1928 in Kiel and Stralsund, the two largest garrisons of my naval
-station. This speech was delivered before the public during a week
-devoted to an historical anniversary; and when I took up my duties in
-Berlin, it was handed as my program to Minister Severing, who regarded
-me with some suspicion at that time. That is the...
-
-DR. SIEMERS: One moment. Raeder’s statements in the year 1928 show his
-attitude of that time much more clearly than his present recollections;
-and for that reason I think the Tribunal will agree that I submit this
-speech as Exhibit Number Raeder-6, Document Book 1, Page 15. The speech
-itself begins on Page 17. I shall read...
-
-THE PRESIDENT: Yes?
-
-DR. SIEMERS: Mr. President, it would take five or ten minutes, so may I
-ask whether this is a proper time to adjourn? I am willing to continue,
-however.
-
-THE PRESIDENT: We will adjourn.
-
- [_The Tribunal recessed until 1400 hours._]
-
-
-
-
- _Afternoon Session_
-
-DR. SERVATIUS: Mr. President, will you please grant permission for the
-Defendant Sauckel to be absent from the courtroom from the sessions of
-the 16th to the 18th inclusive so that he may prepare his defense?
-
-THE PRESIDENT: Be absent in order to prepare his defense? Yes,
-certainly.
-
-MR. DODD: Mr. President, I would like to suggest that, before the
-witness Puhl is recalled, the witness Thoms be called. I think it will
-save some of the Tribunal’s time. I think, from what I know of the
-prospective testimony, there may be questions that will arise in the
-mind of the Tribunal which it would like to put to the witness Puhl
-after having heard the witness Thoms.
-
-And also I would ask, so as to be absolutely fair to all concerned, that
-the witness Puhl be in the courtroom when the witness Thoms testifies. I
-think he should have that opportunity.
-
-THE PRESIDENT: Have you any objections, Dr. Sauter?
-
-DR. SAUTER: No, I have no objections.
-
-MR. DODD: May we call the witness Thoms?
-
-THE PRESIDENT: Yes, call Thoms, and have Puhl somewhere in the courtroom
-where he can hear.
-
-[_The witness Thoms took the stand._]
-
-THE PRESIDENT: Will you state your full name?
-
-ALBERT THOMS (Witness): Albert Thoms.
-
-THE PRESIDENT: Will you repeat this oath after me: I swear by God—the
-Almighty and Omniscient—that I will speak the pure truth—and will
-withhold and add nothing.
-
-[_The witness repeated the oath._]
-
-THE PRESIDENT: You may sit down.
-
-MR. DODD: Mr. President, I am aware that he has been called for
-cross-examination. However, there are one or two matters, now material,
-which were not included in the affidavit, and to save time I would like
-to bring those out before the cross-examination takes place.
-
-THE PRESIDENT: Very well.
-
-MR. DODD: Herr Thoms, you executed a statement on the 8th day of May
-1946. Is that so?
-
-THOMS: Yes.
-
-MR. DODD: And you signed it?
-
-THOMS: Yes.
-
-MR. DODD: And everything in it was true?
-
-THOMS: Yes.
-
-MR. DODD: And is true now, of course?
-
-THOMS: Yes.
-
-MR. DODD: I wish you would just look at it for the purposes of certainty
-and identify it now. Is that the statement that you signed, Herr Thoms?
-
-THOMS: Yes.
-
-MR. DODD: All right. Now, I have one or two questions to ask you about
-it. I wish to offer it, Mr. President, as Exhibit USA-852. You know this
-gentleman sitting to your left, do you not?
-
-THOMS: Yes.
-
-MR. DODD: That is Mr. Puhl, is it not?
-
-THOMS: Yes.
-
-MR. DODD: He was the Vice President of the Reichsbank when you were
-employed there.
-
-THOMS: Yes.
-
-MR. DODD: Now, did you ever have a conversation with Herr Puhl about any
-special deposit which was coming to the Reichsbank and about which you
-should maintain the utmost secrecy?
-
-THOMS: Yes.
-
-MR. DODD: Tell us when that conversation took place, what was said, and
-if anyone else was present at the time.
-
-THOMS: This conversation took place in the summer of 1942. I was called
-to Vice President Puhl’s office by Herr Frommknecht, a Treasury
-official. Herr Frommknecht took me to Herr Puhl, and there Herr Puhl
-disclosed the fact that a special transaction with the office of the
-Reichsführer-SS was to be undertaken. Do you want me to explain it in
-detail?
-
-MR. DODD: Tell us everything that he said to you.
-
-THOMS: Herr Puhl told me that the affair was to be kept absolutely
-secret and confidential. Not only would articles be delivered which
-would be automatically taken over in the ordinary course of business of
-the Reichsbank, but also the disposal of jewelry and other articles
-would have to be effected. Upon my objection that we had no expert men
-for such matters, he replied that we would have to find a way to convert
-these articles. First I made the suggestion that these special articles
-should then be sent to the Reich Main Treasury—that is, the Main
-Treasury of the Reich Government—which also held all booty of the Army.
-However, Herr Puhl thought that this matter should not go through the
-Reich Main Treasury, but should be handled by the Reichsbank in some
-other way. Thereupon I suggested that these articles could be sent to
-the Municipal Pawnbroker’s Office in Berlin, exactly as the deliveries
-from the confiscated Jewish property had been dealt with before. Herr
-Puhl agreed to this suggestion.
-
-MR. DODD: Now, when did the first of these shipments arrive?
-
-THOMS: The first delivery came to the Reichsbank during the month of
-August, as far as I can remember.
-
-MR. DODD: 1942?
-
-THOMS: 1942.
-
-MR. DODD: Does the name Melmer mean anything to you?
-
-THOMS: Melmer was the name of the SS man who subsequently brought these
-valuables to the Reichsbank. Under this code word all deliveries of the
-SS were later entered in the books of the bank.
-
-MR. DODD: Did you ever mention the name or the word “Melmer” to Puhl,
-and did he ever mention it to you?
-
-THOMS: The name “Melmer” was not mentioned by Vice President Puhl to me,
-but was mentioned by me to Vice President Puhl as I had to inform him
-about the start of the entire transaction and particularly about the
-carrying out of the transaction regarding the conversion of the
-valuables. In accordance with the suggestion of the office of the
-Reichsführer-SS, the money equivalent was transferred to the Reich
-Ministry of Finance into an account which was given the name “Max
-Heiliger.” I duly informed Vice President Puhl briefly about these
-facts.
-
-MR. DODD: Did you ever tell Puhl the nature of the material that you
-were receiving in the SS shipments?
-
-THOMS: After some months Vice President Puhl asked me how the “Melmer”
-affair was getting along. I explained to him that, contrary to the
-expectation that there would really be very few deliveries, deliveries
-were increasing and that apart from gold and silver coins they contained
-particularly a great deal of jewelry, gold rings, wedding rings, gold
-and silver fragments, dental gold, and all sorts of gold and silver
-articles.
-
-MR. DODD: What did he say when you told him there were jewels and silver
-and dental gold and other articles?
-
-THOMS: May I first of all add a few things. I drew his attention
-especially to the fact that on one occasion something like 12 kilograms
-of pearls had been collected and that I had never before seen such an
-unusual amount in all my life.
-
-MR. DODD; Wait a minute! What was it?
-
-THOMS: They were pearls and pearl necklaces.
-
-MR. DODD: Did you also tell him you were receiving a quantity of
-eyeglass rims?
-
-THOMS: I cannot swear to that at the moment, but I described the general
-character of these deliveries to him. Therefore, I think, I probably
-used “spectacles,” and similar words; but I would not like to state it
-on my oath.
-
-MR. DODD: Was Puhl ever in the vaults when this material was being
-looked through?
-
-THOMS: On several occasions he visited the strong-rooms of the bank to
-inspect the gold stored there and particularly to inform himself about
-the type of stores. The deliveries of the “Melmer” transactions were
-kept in a special part of one of the main safes, so that on those
-occasions Herr Puhl must also have seen the boxes and sacks full of
-those deliveries. Nearby in the corridor of the vault the articles of
-the “Melmer” deliveries were being dealt with.
-
-I am firmly convinced that when he walked through the strong-rooms, Herr
-Puhl must have seen these objects, as they were lying quite openly on
-the table and everyone who visited the strong-room could see them.
-
-MR. DODD: There were about 25 or 30 people that sorted this stuff out,
-were there not, before it was shipped away for melting and for sale in
-the pawnshops?
-
-THOMS: I would say that there were not 25 to 30 people who sorted these
-things—in the course of a day perhaps 25 to 30 people would visit the
-strong-rooms to carry out some official business there. For this
-particular business some four or five officials were occupied in sorting
-out the things, getting them ready.
-
-MR. DODD: And everyone under your supervision was sworn to secrecy? They
-didn’t talk about this business; they were forbidden to do so, were they
-not?
-
-THOMS: There were strict instructions in the bank that secret matters
-must not be discussed, not even with a colleague of one’s own
-department, if that colleague did not himself also work at the same job.
-So that...
-
-MR. DODD: Well, this was a super-secret matter, wasn’t it? It wasn’t the
-ordinary secrecy that attended. Wasn’t there a special secrecy
-surrounding these deliveries?
-
-THOMS: Quite right. It was quite an exceptional affair and it had to be
-kept especially secret. I would say that it went beyond the limits of
-top secrecy. For even I had been strictly forbidden to talk to anybody
-about it; and I said at the time when I left Vice President Puhl, after
-the first conversation, that I would however inform the leading
-officials in the Treasury, because after all my superiors must be
-informed about this business.
-
-MR. DODD: Was there a report made about these “Melmer” deposits to the
-Directorate?
-
-THOMS: No. The matter was treated as a verbal agreement. It was after
-all an exceptional case and only one account was kept of the deliveries
-made, which was called the “Melmer account.” This account was
-transmitted by the head cashier’s office to the foreign exchange
-department which, in turn, had to take further steps with the
-Directorate of the Reichsbank.
-
-MR. DODD: Well, the Directorate had to approve the handling of this type
-of thing, did it not? You weren’t allowed to handle materials like this
-without the approval of the bank Directorate?
-
-THOMS: In matters concerning gold particularly instructions had to be
-given and approved respectively by the Board of Directors. I could
-therefore never act independently. Generally the instructions were given
-to the Treasury in writing and they were signed by at least two
-officials and one member of the Board of Directors. So that it was quite
-unique that in this case instructions were given in a verbal form.
-
-MR. DODD: By the way, Herr Thoms, you have seen the film this noontime?
-We have shown you a film, haven’t we?
-
-THOMS: Yes.
-
-MR. DODD: After seeing that film, are you able to say whether or not
-that represents a fair representation of the appearance of some of the
-shipments that were received by the Reichsbank from the SS?
-
-THOMS: I may say that this film and the pictures which I have seen in it
-were typical of the “Melmer” deliveries. Perhaps I should qualify that
-by saying that the quantities shown in this film were in excess of the
-quantity of dental gold and particularly jewelry which came with the
-first deliveries. Only later did these amounts increase, so that the
-quantities which we have seen in this film had actually not yet been
-seen by the Reichsbank because they were contained in boxes or trunks
-which until then had remained locked. But generally the material which I
-have seen in that film is typical of the “Melmer” deliveries.
-
-MR. DODD: All right, sir. Now, approximately—I don’t expect a
-completely accurate answer, but approximately how many shipments did you
-receive of this stuff from the SS?
-
-THOMS: As nearly as I can remember at the moment, there must have been
-more than 70 deliveries, possibly 76 or 77. I can’t tell you exactly at
-the moment, but that must be about the right figure.
-
-MR. DODD: Very well, I have no further questions.
-
-DR. SAUTER: Witness, what is your occupation?
-
-THOMS: A councillor of the Reichsbank.
-
-DR. SAUTER: Where do you live?
-
-THOMS: Berlin-Steglitz. Then I—after my home was bombed I lived at
-Potsdam, Neu-Fahrland.
-
-DR. SAUTER: Did you volunteer for the examination of the Prosecution or
-how did you happen to be interrogated...
-
-THOMS: I was...
-
-DR. SAUTER: Please, will you wait until I have finished my question so
-that the interpreters can keep up with us? Will you please make a pause
-between question and answer.
-
-THOMS: I was ordered here.
-
-DR. SAUTER: By whom?
-
-THOMS: Probably by the Prosecution.
-
-DR. SAUTER: Are you a free man?
-
-THOMS: Yes, I am free.
-
-DR. SAUTER: Did you receive the summons in writing?
-
-THOMS: No. I was asked orally yesterday in Frankfurt to come to
-Nuremberg.
-
-DR. SAUTER: Frankfurt? Are you living in Frankfurt at the moment?
-
-THOMS: Yes.
-
-DR. SAUTER: Herr Thoms, where were you living on 8 May? That is a week
-ago today?
-
-THOMS: On 8 May of this year?
-
-DR. SAUTER: You are Herr Thoms, aren’t you?
-
-THOMS: Yes.
-
-DR. SAUTER: Yes, on 8 May, a week ago today.
-
-THOMS: In Frankfurt.
-
-DR. SAUTER: You were interrogated there, weren’t you?
-
-THOMS: That is quite right. I was interrogated at Frankfurt.
-
-DR. SAUTER: That is the affidavit which the Prosecutor has just put to
-you?
-
-THOMS: Yes.
-
-DR. SAUTER: How did you come to make the affidavit? Did you volunteer as
-a witness, or how did this happen?
-
-THOMS: I want to point out to you that already a year ago when I was
-working at Frankfurt, I voluntarily gave the American offices the
-details of the transactions which were known to me in the matter of the
-gold of the Reichsbank.
-
-DR. SAUTER: I see. So last year you already offered yourself as a
-witness?
-
-THOMS: I wouldn’t say as a witness in this matter. I merely placed
-myself at their disposal for the clarification of Reichsbank affairs for
-American purposes.
-
-DR. SAUTER: Yes. Did you ever discuss this matter with the President of
-the Reichsbank, Funk?
-
-THOMS: No. During my term of service, I never had an opportunity of
-talking to Minister Funk.
-
-DR. SAUTER: Have you any positive knowledge, perhaps from some other
-source, as to whether President of the Reichsbank Funk had exact
-knowledge of these things, or is that also unknown to you?
-
-THOMS: I cannot say anything about that either, because these matters
-happened on a higher level, which I could not judge.
-
-DR. SAUTER: Then I would be interested in hearing something about this
-deposit, or whatever you call it, which was under the name “Melmer”?
-
-THOMS: I want to point out that this was not a deposit, but that these
-were deliveries which were delivered under the name “Melmer.” Insofar as
-the transactions were those which the Reichsbank had to deal with, the
-Reichsbank took over these articles directly, and insofar as it was a
-question of matters not pertaining to the bank, the Reichsbank to a
-certain extent was the trustee for the conversion of these things.
-
-DR. SAUTER: More slowly, more slowly. Why was this matter, whether we
-call it a deposit or anything else, not dealt with under the name “SS,”
-why was it given the name “Melmer”? Did you ask anybody about that,
-Witness?
-
-THOMS: I have already mentioned at the beginning of the examination that
-this was a particularly secret affair in connection with which the name
-of the depositor was not to appear. In this case, therefore, it was Vice
-President Puhl who had to decide the way this affair was to be dealt
-with; and he desired and ordered this.
-
-DR. SAUTER: Did only officials of the Reichsbank come to the strong-room
-where these things were kept, or did other persons also have access to
-it, for instance, people who had a safe in the strong-room?
-
-THOMS: The Reichsbank did not have any private depositors, that is to
-say, we did not have any locked deposits which belonged to customers of
-the Reichsbank—at least not in those vaults. Deposits from private
-customers were in another vault so that there was no contact between the
-deposits of the bank and the deposits of the customers.
-
-DR. SAUTER: But quite a number of officials went down there. You have
-already said that.
-
-There is one thing I am not clear about: On the one hand, you have told
-us that these articles were lying about openly on tables so that
-everybody could see them; and on the other hand, you said previously
-towards the end of your statement that these things were kept in locked
-boxes and trunks. How does that tally?
-
-THOMS: I have stated that these things were delivered in closed boxes
-and trunks, and stored in them. When from time to time the deliveries
-were inventoried, the delivery which was to be dealt with naturally had
-to be opened and the contents counted, examined, and re-weighed. That,
-of course, could only be done by spreading out the contents, counting
-them, checking the weight, and then locking them in new containers.
-
-DR. SAUTER: Did you perhaps on your own initiative tell Herr Puhl—after
-all, you were a bank councillor, therefore also a senior official—that
-you had misgivings about the whole business? Please think over the
-question and give your answer very carefully, because you are under
-oath.
-
-THOMS: First of all, I have to say that I belonged to the group of
-officials of middle rank, but that is just in passing. Then, of
-course—or let me put it this way—when an official has worked for
-thirty years or longer for a concern and if throughout the long years of
-his career he has always had the feeling that the directors were
-irreproachable, then, I believe, he could have no misgivings if in a
-special case he is instructed to keep silent about a certain
-transaction. He would not object to carrying out this order. I have
-already said that the term “booty” was not unknown to us officials in
-the Reichsbank, because there was the order that all booty goods which
-came in from the Army were to be delivered directly to the Treasury,
-that is the Treasury of the Reich Government; and we in the Bank
-thought, of course, that the booty from the SS troops was to go through
-the Reichsbank. An official of the Reichsbank cannot very well oppose
-such an order. If the Directors of the Bank give him instructions, then
-he has to carry them out, because of the oath which he has sworn.
-
-DR. SAUTER: So that, Witness, if I understand you correctly, you are
-telling us that at the beginning, at any rate, you considered that the
-matter was in order, and there was nothing wrong with it?
-
-THOMS: At the beginning? As a matter of fact, I considered it correct
-that it should be carried right through.
-
-DR. SAUTER: Did you ever have any doubts that this might be, let us say,
-criminal?
-
-THOMS: Certainly I would have had doubts if I had had the knowledge and
-experience then which I have today.
-
-DR. SAUTER: That is the same with everyone.
-
-THOMS: Yes, quite right. As far as that is concerned, I had to suppress
-any doubts; I would not admit any doubts, because the affair was not
-known only to me, it was known to the Reichsbank Directorate and in the
-administration office of the Main Treasury. The valuables in the
-strong-room were checked every night by a deputy director of the Main
-Treasury, so that I was responsible only for the technical carrying out
-of this business; and the responsibility for the correctness of this
-transaction was not within my competence.
-
-DR. SAUTER: I do not know about the responsibility but, Witness, I asked
-you, did you ever have any doubts, and at what precise moment did you
-consider the whole affair criminal? Did you consider it criminal?
-
-THOMS: We assumed that these were goods which the SS—after they had
-partly burned down towns in the East, particularly in the battle for
-Warsaw—we thought that afterwards they captured this booty in the
-houses and then delivered this booty to our Bank.
-
-DR. SAUTER: As booty?
-
-THOMS: Yes. If a military department delivers booty goods it does not
-follow that an official who is entrusted with the handling of these
-things would have to consider these deliveries as being criminal.
-
-DR. SAUTER: When taking over these articles, did you think, or did Vice
-President Puhl tell you, or at least hint to you, that these gold
-articles might have been taken from victims in the concentration camps?
-
-THOMS: No.
-
-DR. SAUTER: You did not think of that, did you?
-
-THOMS: No.
-
-DR. SAUTER: Not at all?
-
-THOMS: Once we saw the name “Auschwitz,” and another time the name
-“Lublin,” on some slips of paper which we found. I said that in
-connection with Lublin we found this inscription on some packets of bank
-notes which came in to be dealt with and which were then returned to the
-Polish Bank to be cashed. Strangely enough, the same packets came back
-later after they had been dealt with by the bank. Consequently, here the
-explanation was that these could not be deliveries from a concentration
-camp, since they had come to us through official bank channels. As
-regards the camp at Auschwitz—well, I cannot say today with what sort
-of deliveries these slips of paper were found, but it is possible that
-they were slips attached to some notes, and perhaps they may have been
-deliveries of foreign bank notes, from the concentration camps. But then
-there were arrangements according to which prisoners of war, or
-prisoners, could exchange their notes for other money in the camp, so
-that such deliveries could have been made through legal channels.
-
-DR. SAUTER: If I understand you correctly, Witness, then, the meaning of
-what you have just told us is that you still considered the matter legal
-or lawful even when in 1943 you saw the inscription “Auschwitz” and
-“Lublin” on some items. Even then you considered the matter legal,
-didn’t you?
-
-THOMS: Yes.
-
-DR. SAUTER: Well, then, why did you in your affidavit of 8 May 1946—it
-is true it is not a sworn affidavit—tell the story somewhat
-differently? Perhaps I can read the sentence to you...
-
-THOMS: Please, do.
-
-DR. SAUTER: ...and you can then tell me if I misunderstood you or
-whether the official took it down incorrectly. It says there, after
-first of all saying that you considered the matter to be legal:
-
-“One of the first indications of the origin of these articles was when
-it was noticed that a packet of bills, presumably bonds...”
-
-THOMS: No, they were bank notes.
-
-DR. SAUTER: “...were stamped ‘Lublin.’”
-
-THOMS: This occurred early in 1943.
-
-DR. SAUTER: “Another indication was the fact that some articles bore the
-stamp ‘Auschwitz.’ We all knew these places were the sites of
-concentration camps. In connection with the tenth delivery in November
-1942”—that is, previously—“gold teeth appeared, and the quantity of
-gold teeth grew to an unusual extent.”
-
-So much for the quotation from your unsworn statement of 8 May 1946.
-Now, will you please tell us: Does that mean the same as you said a
-little earlier, or does it mean something different in your opinion?
-
-THOMS: That in my opinion tallies with my statement. We could not assume
-that deliveries which came through the concentration camp had to be
-absolutely illegal. We only observed that gradually these deliveries
-became larger. A delivery of notes from a concentration camp need not be
-illegal because of this. It might have been an official calling-in,
-especially as we did not know the regulations applicable to
-concentration camps. It would be perfectly possible that these people
-had the right to sell the articles in their possession or give them in
-payment.
-
-DR. SAUTER: The dollars which you have also seen in that film would
-hardly be sold by anybody.
-
-THOMS: May I point out to you that I was not of the opinion that these
-bank notes necessarily came from concentration camps. I merely said that
-the word “Lublin” was on some of the packets of bank notes. That might
-have pointed to their having come from a concentration camp; but it did
-not necessarily mean that these particular notes came from that
-concentration camp, and the same applies to “Auschwitz.” The name
-“Auschwitz” cropped up. There may have been a certain suspicion, but we
-had not any proof, and we did not feel that we were in any way called
-upon to object to these deliveries of the SS.
-
-DR. SAUTER: Consequently, Witness, apparently because you put this
-construction on it, you did not use the occasion to make a report to
-Vice President Puhl or the Directorate, or to voice any doubts; you did
-not have any cause for that?
-
-THOMS: I called Vice President Puhl’s attention to the composition of
-these deliveries as early as a few months after the arrival of the first
-delivery. Therefore, the general character of these deliveries was known
-to Herr Puhl. He knew the contents of the deliveries.
-
-DR. SAUTER: But you told us earlier that the character of these
-deliveries did not seem peculiar to you. You considered that it was
-booty. And now you want to say that you called Vice President Puhl’s
-attention to it and that he must have noticed something peculiar.
-
-THOMS: I did not say that. I did not say that Herr Puhl must have
-noticed something peculiar. I merely said that, if any objections were
-to be raised, then they would have to come from Herr Puhl, since he was
-as well aware of the character of these deliveries as I was. And, if
-there was any suspicion, then Herr Puhl’s suspicion would probably have
-been aroused more strongly than mine.
-
-DR. SAUTER: Witness, you told us earlier that special secrecy was
-ordered in this connection, but at the same time you mentioned that
-quite apart from this SS affair, there were also other business matters
-which apparently had to be handled with special secrecy. Is that true?
-
-THOMS: Yes.
-
-DR. SAUTER: You need not give us any names, but I would only like to
-know what the other affairs were?
-
-THOMS: These are matters which had to do with the conduct of the war.
-There were transactions in gold, and perhaps also in foreign currency,
-_et cetera_.
-
-DR. SAUTER: They were not criminal affairs, therefore?
-
-THOMS: No, not criminal.
-
-DR. SAUTER: Then, Witness...
-
-THE PRESIDENT: Dr. Sauter, the Tribunal thinks that this is getting too
-far away from the point really to ask him about other deliveries.
-
-DR. SAUTER: Yes, but the question is already answered, Mr. President.
-
-Witness, because of this secrecy in connection with the SS deliveries
-which reached the Reichsbank, I should be interested in knowing, insofar
-as they were realized by the Reichsbank, whether any accounts were
-rendered, as I assume to be the case from the documents before us?
-
-THOMS: Yes.
-
-DR. SAUTER: By your Main Treasury?
-
-THOMS: Yes.
-
-DR. SAUTER: To whom were these accounts sent?
-
-THOMS: They were sent to the Reichsführer-SS office direct; that is to
-say, they were collected by Melmer directly from the bank.
-
-DR. SAUTER: Did they not go to any other office?
-
-THOMS: And then they were officially passed on to the Foreign Currency
-Department.
-
-DR. SAUTER: To the Foreign Currency Department, that is, to a State
-Department?
-
-THOMS: No, that is a department of the Reichsbank which in turn is the
-link with the Directorate.
-
-DR. SAUTER: Were not these accounts also transmitted, or did they not
-go, to the Reich Ministry of Finance?
-
-THOMS: The liaison man, Melmer, always received two accounts, that is,
-in duplicate. Whether the Reichsführer’s office sent one copy to the
-Reich Ministry of Finance, I do not know.
-
-DR. SAUTER: Were these accounts really treated confidentially, that is,
-kept secret?
-
-THOMS: Yes.
-
-DR. SAUTER: For instance, the accounts with the Municipal Pawn Broker’s
-Office?
-
-THOMS: In the account with the Municipal Pawn Broker’s Office the
-depositor was not named.
-
-DR. SAUTER: What happened to these gold teeth?
-
-THOMS: They were melted down by the Prussian State Mint. The gold was
-then refined and the fine gold was returned to the Reichsbank.
-
-DR. SAUTER: Witness, you said earlier that at the beginning of 1943
-certain articles had arrived stamped “Auschwitz.” I think you said at
-the beginning of 1943.
-
-THOMS: Yes, but I cannot tell you the exact date now.
-
-DR. SAUTER: You said “We all knew that there was a concentration camp
-there.” Did you really know that as early as the beginning of 1943,
-Witness?
-
-THOMS: Naturally, now I can...
-
-DR. SAUTER: Yes, now of course, we all know it. I am talking about the
-time at which this happened.
-
-THOMS: I cannot say that for certain. I made that statement on the
-strength—I beg your pardon, that is, probably—these deliveries were
-probably not handled until as late as 1945 or 1944 in the late autumn.
-It is possible that something about Auschwitz had already leaked out.
-
-DR. SAUTER: Now, you said under Number 14 of your statement that one of
-the first clues to the source of these articles—apparently meaning the
-concentration camps—was the fact that a parcel of paper was stamped
-“Lublin.” This was early in 1943. And another indication was the fact
-that some items bore the stamp “Auschwitz.” “We all knew”—I’ve already
-emphasized this before for a very good reason—“we all knew that these
-places were the sites of concentration camps.” That’s your statement,
-and I now repeat the question. Of course we all know it now; but did
-you, Herr Reichsbank Councillor, know at the beginning of 1943 that
-there was this huge concentration camp at Auschwitz?
-
-THOMS: No. To that positive type of question I must say no, I did not
-know it, but...
-
-THE PRESIDENT: He did not say anything about a huge concentration camp
-at Auschwitz.
-
-DR. SAUTER: No, that was a rhetorical exaggeration of mine. I said that
-we knew from the Trial that there was a huge concentration camp there.
-
-THE PRESIDENT: Did he know it? Did he know that there was a huge
-concentration camp in 1943? He has not said so.
-
-THOMS: I can answer “no” to your question, but this is the point: I
-assume that this slip marked “Auschwitz” came from a delivery which was
-probably made in 1943, but was not dealt with until much later; and I
-made that statement when I was already in Frankfurt, so that the name
-“Auschwitz” was familiar to me. I admit that there may be an
-exaggeration insofar as I did retrospectively tell myself that that was
-a concentration camp, you see. But I know that at the time, somehow, our
-attention was drawn to the name “Auschwitz,” and I think we even asked a
-question about the connection; but we received no answer and we never
-asked again.
-
-DR. SAUTER: Well then, Witness, I have one last question. The
-Prosecution has shown us the Document 3947-PS. I repeat, 3947-PS.
-Apparently this is the draft of a memorandum which some department in
-the Reichsbank seems to have prepared for the Directorate of the
-Reichsbank. It is dated 31 March 1944, and it contains the sentence on
-Page 2 which I shall read to you because it refers to Defendant Funk and
-to Defendant Göring. This is the sentence:
-
- “The Reich Marshal of the Greater German Reich, the Delegate for
- the Four Year Plan, hereby informs the German Reichsbank, in a
- letter of 19 March 1944, copy of which is
- enclosed,”—incidentally, the copy is not here, at least I have
- not got it—“that the considerable amounts of gold and silver
- objects, jewels, and so forth, at the Main Trustee Office East
- should be delivered to the Reichsbank according to the order
- issued by Reich Minister Funk”—the defendant—“and Graf
- Schwerin-Krosigk, Reich Finance Minister. The conversion of
- these objects should be accomplished in the same way as the
- ‘Melmer’ deliveries.”
-
-That is the end of my quotation.
-
-Defendant Funk tells me, however, that he knew nothing about such
-instructions, and that such an agreement or such a letter was entirely
-unknown to him and that he did not know anything at all about the
-“Melmer” deliveries.
-
-MR. DODD: I must object to the form of the question. I have objected
-before that it is a long story anticipating the answer to the question
-put to the witness. I think it is an unfair way to examine.
-
-THE PRESIDENT: Dr. Sauter, you know, do you not, that you are not
-entitled to give evidence yourself? You are not entitled to say what
-Funk told you, unless he has given the evidence.
-
-DR. SAUTER: Mr. President, this is not one of our witnesses. This is a
-witness who has volunteered for the Prosecution.
-
-THE PRESIDENT: Dr. Sauter, it is not a question of whose witness he is.
-You were stating what Funk told you, and you were not referring to
-anything that Funk had said in evidence, and you are not entitled to do
-that.
-
-DR. SAUTER: As you were Reichsbankrat I should be interested to know
-whether you knew anything about these orders which are mentioned in the
-letter of 31 March 1944 from an office of the Reichsbank, and whether
-the Defendant Funk was concerned with this?
-
-THOMS: I think I can remember that instructions actually did exist which
-stated that gold from the Main Trustee Office East should be delivered
-to the Reichsbank. I am not absolutely certain whether this sentence is
-from a note written by the Deputy Director of the Main Treasury, Herr
-Kropp, to the Directorate of the Reichsbank at the time. I am fairly
-certain that originally such instructions were actually given, but I
-want to point out that the Main Treasury through the Precious Metal
-Department was against accepting these valuables because technically
-they were not in a position permanently to assume responsibility for
-such considerable deliveries of miscellaneous articles. This instruction
-was cancelled later on through Herr Kropp’s intervention. The deliveries
-from the Main Trustee Office East to the Reichsbank, especially to the
-Main Treasury, were not undertaken. I believe, however, I am right in
-saying that originally instructions of the type which you have just
-described did exist.
-
-DR. SAUTER: Did you see that instruction yourself?
-
-THOMS: I think that in the files of the Precious Metals Department,
-which are in the hands of the American Government, there will be carbon
-copies of these instructions.
-
-DR. SAUTER: Was that instruction signed by the Defendant Funk?
-
-THOMS: That I cannot say.
-
-DR. SAUTER: Or by some other office?
-
-THOMS: I really cannot tell you at the moment, but I cannot assume that
-it is the case because if the text reads, “from the Finance Minister and
-Herr Funk,” then some other department must have signed.
-
-DR. SAUTER: Mr. President, I have no further questions.
-
-MR. DODD: May I ask one or two questions on re-direct examination.
-
-THE PRESIDENT: Yes.
-
-MR. DODD: Herr Thoms, there wasn’t any exaggeration about the fact that
-you did find a slip of paper with the word “Auschwitz” written on it
-among one of these shipments, was there?
-
-THOMS: No. I found the note.
-
-MR. DODD: Now, I suppose you found lots of things among these shipments
-with names written on them. There must have been something that made you
-remember “Auschwitz,” isn’t that so?
-
-THOMS: Yes.
-
-MR. DODD: Well, what was it?
-
-THOMS: I must assume—I mean that I know from my recollection that there
-was some connection with a concentration camp, but I cannot say. I am of
-the opinion that it must have happened later. It is really...
-
-MR. DODD: Well, I don’t care to press it. I just wanted to make
-perfectly clear to the Tribunal that you told us that you did remember
-“Auschwitz” and it had such a meaning for you that you remembered it as
-late as after the surrender of Germany. That is so, isn’t it?
-
-THOMS: Yes.
-
-MR. DODD: I have no further questions.
-
-THE TRIBUNAL (Mr. Biddle): You said there were about 77 deliveries, is
-that right?
-
-THOMS: Yes, there were over 70.
-
-THE TRIBUNAL (Mr. Biddle): How large were the deliveries? Were they in
-trucks?
-
-THOMS: They varied in size. Generally they arrived in ordinary cars, but
-sometimes they arrived in trucks. It depended. When there were bank
-notes, for instance, the bulk was smaller and the weight was less. If it
-was silver or silver articles, then the weight was greater and a small
-lorry would bring it.
-
-THE TRIBUNAL (Mr. Biddle): There were several lorries, or trucks, in
-each delivery, usually?
-
-THOMS: No, the deliveries were not so large as that. There was at the
-most one truck.
-
-THE TRIBUNAL (Mr. Biddle): And one other question: Do I understand you
-to say that these articles were transferred to new containers?
-
-THOMS: Yes, they were put into ordinary bags by the Reichsbank. The bags
-were labeled “Reichsbank.”
-
-THE TRIBUNAL (Mr. Biddle): Bags marked with the Reichsbank’s name on the
-bag?
-
-THOMS: Yes, on which the word “Reichsbank” was written.
-
-THE PRESIDENT: The witness can retire.
-
-[_The witness Puhl took the stand._]
-
-THE PRESIDENT: Now, Dr. Seidl, do you want to ask the witness Puhl a few
-questions?
-
-Witness, you remember that you are still on oath?
-
-PUHL: Yes, Sir.
-
-DR. SEIDL: Witness, in connection with Document 3947-PS, USA-850, I have
-several questions to put to you.
-
-You heard earlier when the witness Thoms was examined that this letter
-contains a paragraph which refers to Reich Marshal Göring and which is
-connected with the Main Trustee Office East. Is it true that this Main
-Trustee Office was an office which had been established by a Reich law
-and that its right to confiscate had also been specifically outlined by
-Reich law?
-
-PUHL: I cannot answer the second part of your question without looking
-it up since I am not a legally trained man. The Main Trustee Office East
-was an officially established office—whether by a law or by a decree,
-is something I cannot tell you at the moment.
-
-DR. SEIDL: To your knowledge, did the Main Trustee Office East have any
-connection with the SS Economic Administration headquarters, that is to
-say, with the office of Pohl?
-
-PUHL: I have never observed that.
-
-DR. SEIDL: Is it obviously out of the question, at least when you read
-the letter, that the Main Trustee Office East and its deliveries could
-in any way be connected with the “Melmer” action?
-
-PUHL: That very probably is so, yes.
-
-DR. SEIDL: You mean there was no connection?
-
-PUHL: That there was no connection.
-
-DR. SEIDL: You mentioned this morning that among the business
-transactions which the Reichsbank handled very unwillingly were those
-with the Customs Investigation and the Currency Control Offices. The
-last part of this paragraph which refers to the Defendant Göring
-contains a sentence which refers to the conversion of objects of a
-similar type which were taken from the occupied western territories. Is
-it true that, particularly in the occupied western territories, both the
-Currency Control Offices and the Customs Investigation Offices obtained
-rich booty?
-
-PUHL: The total of the valuables which were brought in by both these
-offices is unknown to me. I rather doubt that it was extraordinarily
-big. However, they were fairly large sums, mostly, of course, in foreign
-currency.
-
-DR. SEIDL: I have no further questions to the witness.
-
-THE PRESIDENT: Mr. Dodd, do you want to ask him anything?
-
-MR. DODD: After having heard Herr Thoms’ testimony, do you wish to
-change any of your testimony that you gave this morning?
-
-PUHL: No.
-
-MR. DODD: And your affidavit that you gave under oath, do you wish to
-have it remain as it is?
-
-PUHL: Yes.
-
-MR. DODD: That is all I have.
-
-THE PRESIDENT: Do you know who Kropp, who signed under the word
-“Hauptkasse” in the letter of 31 March 1944, Document 3947-PS, is?
-
-PUHL: Herr Kropp was an official of our Treasury Department. He had a
-comparatively responsible position.
-
-THE PRESIDENT: Of which department?
-
-PUHL: The Treasury Department.
-
-THE PRESIDENT: Thank you. The witness can retire.
-
-[_The witness left the stand._]
-
-Dr. Siemers.
-
-DR. SIEMERS: Admiral Raeder, will you come up to the witness stand?
-
-[_The Defendant Raeder took the stand._]
-
-May I remind you that I put the basic question whether the construction
-of the Navy was to serve aggressive or defensive purposes.
-
-The witness wishes to answer that question by referring to parts of the
-speech he made in 1928. It is Exhibit Number Raeder-6, Document Book 1,
-Page 5, and the speech itself begins on Page 17.
-
-Please go ahead.
-
-RAEDER: First of all, I want to say that Minister Severing, whom I had
-asked for as one of my witnesses, brought this speech along of his own
-free will, as he still remembers the year 1928.
-
-DR. SIEMERS: Mr. President, this is to be found on Page 16 of the
-document book. It is Raeder’s letter to Minister Severing, dated 8
-October 1928. Severing gave me this speech when he came to Nuremberg to
-appear as a witness.
-
-RAEDER: I shall quote from Page 17, the fifth line from the bottom, to
-shorten the sentence somewhat for the interpreters:
-
- “The Armed Forces—I am speaking of course primarily for the
- Navy, but I know that today it is the same with the Army,
- because since 1919 its inner solidarity and training has been
- perfected with the greatest devotion and loyalty to duty—in
- their present structure, whether officer or soldier, in their
- present form of development and their inner attitude, are a firm
- and reliable support, I might even say, because of their
- inherent military might and in view of conditions within the
- Reich, the firmest and most reliable support of our German
- fatherland, the German Reich, the German Republic, and its
- Constitution; and the Armed Forces are proud to be that.”
-
-I then turn to Page 3, and it is the sixth line:
-
- “If, however, the State is to endure, this power must be
- available only to the constitutional authorities. No one else
- may have it; that is, not even the political parties. The
- Wehrmacht must be completely nonpolitical and be composed only
- of servicemen who, in full realization of this necessity, refuse
- to take part in any activity of domestic politics. To have
- realized this from the outset and organized the Wehrmacht
- accordingly is the great and enduring achievement of Noske, the
- former Reichswehrminister, whom the meritorious Minister Dr.
- Gessler followed on this road with the deepest conviction.”
-
-Then I talk about the composition of the Navy, and on the fourth page I
-continue, Line 7. Perhaps this is the most important sentence:
-
- “In my opinion, one thing is of course a prerequisite for the
- inner attitude of the serviceman, namely, that he is willing to
- put his profession into practice when the fatherland calls upon
- him. People who never again want war cannot possibly wish to
- become soldiers. One cannot take it amiss if the Wehrmacht
- infuses into its servicemen a manly and warlike spirit; not the
- desire for war or even a war of revenge or a war of aggression,
- for to strive after that would certainly in the general opinion
- of all Germans be a crime, but the will to take up arms in the
- defense of the fatherland in its hour of need.”
-
-Then I pass on to the last paragraph on Page 4.
-
- “One must understand—for it is in accordance with the essence
- of the Wehrmacht—if it strives to be as far as possible in a
- position to fulfil its tasks, even under the conditions today,
- dictated by the limitation of the Versailles Treaty.”
-
-I then refer to the tasks of the small Navy, and that is on Page 5,
-second paragraph, Line 6.
-
- “Consider the extent of the German coast line in the Baltic and
- North Sea, chiefly the Prussian coast line, which would be open
- to invasion and to the ravages of even the smallest maritime
- nation, had we not at our disposal modern mobile naval forces at
- least up to the strength permitted by the provisions of the
- Versailles Treaty. Above all, think of the position of East
- Prussia, which in the event of the closing of the Corridor would
- be wholly dependent on overseas imports, imports which would
- have to be brought past the bases of foreign nations and in the
- event of war would be endangered to the utmost, or even be made
- impossible if we were not in possession of fighting ships. I ask
- you to remember the reports about the effect of the visits of
- our training ships and of our fleet to foreign countries, when,
- already in 1922, the model conduct of our ship crews testified
- to an improvement in the internal conditions of the Reich, and
- increased considerably the esteem for the German Reich.”
-
-So much for this speech.
-
-THE PRESIDENT: Since you are passing from that now, we might perhaps
-adjourn.
-
- [_A recess was taken._]
-
-DR. SIEMERS: Admiral, hanging over this Trial are the words: “Wars of
-Aggression are Crimes.”
-
-We have just seen from your speech that, as early as January, 1928, you
-used these words, before the Kellogg Pact. In conclusion, I should like
-to ask you, did this principle of January 1928 remain your principle
-during the whole time of your command of the Navy?
-
-RAEDER: Of course.
-
-DR. SIEMERS: In connection with the Versailles Treaty, I should now like
-to submit an affidavit, because some figures are necessary here which
-are easier to present in writing than by interrogation. I shall submit
-Affidavit II by Vice Admiral Lohmann, Exhibit Number Raeder-8, Document
-Book 1, Page 39.
-
-For the guidance of the Tribunal, so that there may be no
-misunderstanding, I should like to point out that Vice Admiral Lohmann
-has nothing to do with the Captain Lohmann who was well-known, almost
-famous, in the twenties.
-
-The Tribunal may remember that the Lohmann affair was mentioned in
-connection with the breaches of the Versailles Treaty. Captain Lohmann
-died in 1930, and has nothing to do with the present author of this
-affidavit, Vice Admiral Lohmann. I also remind the Court that the
-Lohmann affair took place before Admiral Raeder was in charge of the
-Navy, before 1928.
-
-I quote from the Lohmann affidavit the statement under Numeral I.
-
-THE PRESIDENT: Are you wanting to call this Admiral Lohmann as a
-witness?
-
-DR. SIEMERS: No, I did not name him as a witness; I was satisfied with
-an affidavit, because of the many figures. The British Prosecution has
-already agreed to the affidavit being submitted, but asked that Admiral
-Lohmann might be cross-examined. It was arranged between Sir David and
-myself.
-
-THE PRESIDENT: I see, yes. You do not need to go into all these figures
-of tons, do you? You do not need to read all these, do you?
-
-DR. SIEMERS: No. I did not want to read the individual figures. I would
-point out that this affidavit does not deal with tonnage; it concerns
-Number Raeder-8, Page 39.
-
-THE PRESIDENT: Yes, I have got the one. There are a good many tons in
-it, though.
-
-DR. SIEMERS: I should like to read under Numeral I:
-
- “Under the Versailles Treaty, Germany was permitted to build
- eight armored ships. Germany, however, built only three armored
- ships, the _Deutschland_, the _Admiral Scheer_, and the _Graf
- Spee_.”—I will skip the following.
-
- “II. Under the Versailles Treaty, Germany was permitted to build
- eight cruisers. Germany, however, built only six cruisers.”
-
-I shall omit the details according to the wish of the Tribunal.
-
- “III. Under the Versailles Treaty, Germany was permitted to
- build 32 destroyers and/or torpedo boats. Germany, however,
- built only 12 destroyers and no torpedo boats.”
-
-According to this, in building up the Navy, Germany in no way took
-advantage of the possibilities of the Versailles Treaty, and if I
-understand correctly, she specifically omitted the construction of
-offensive weapons, namely, the large ships.
-
-May I ask you to make a statement about this.
-
-RAEDER: That is entirely correct. It is astonishing that at this period
-of time so little advantage was taken of the Versailles Treaty. I was
-reproached for this later when the National Socialist government came to
-power. They did not bear in mind, however, that the government at that
-time, and the Reichstag, were not inclined to let us have these ships.
-We had to fight hard for permission. But this failure to build up the
-Navy to the strength permitted has no relationship to the small breaches
-of the Versailles Treaty, which we committed mainly in order to build
-up, one could say, a pitiable defense of the coast in the event of
-extreme emergency.
-
-DR. SIEMERS: I shall come back to Document C-32. It is established that
-during the time of the Versailles Treaty, Germany did not take advantage
-of the provisions of the Treaty, particularly in regard to offensive
-weapons. On the other hand, on the basis of the documents submitted by
-the Prosecution, it has been established and it is also historically
-known, that the Navy in building itself up committed breaches of the
-Versailles Treaty in other directions. I should like to discuss with you
-the individual breaches which were presented with great precision by the
-Prosecution. But first I should like to discuss the general accusation,
-which I have already mentioned, that these breaches were committed
-behind the back of the Reichstag and the Government.
-
-Is this accusation justified?
-
-RAEDER: Not at all. I must repeat that I was connected with these
-breaches only when on 1 October 1928, I became Chief of the Navy Command
-in Berlin. I had nothing to do with things which had been done
-previously.
-
-When I came to Berlin, the Lohmann case, which you mentioned previously,
-had already been concluded. It was in the process of being liquidated;
-and the Reich Defense Minister Gröner, when the affair was first
-discovered, ordered the Army as well as the Navy to report to him all
-breaches which were in process; and from then on he was going to deal
-with these things together with Colonel Von Schleicher, his political
-adviser. He liquidated the Lohmann affair, and this liquidation was
-still in progress when I came there.
-
-On 1 October 1928 he had already come to the decision to transfer the
-responsibility for all these evasions and breaches of the Versailles
-Treaty to the Reich Government, as a whole, at that time the
-Müller-Severing-Stresemann Government, since he believed that he could
-no longer bear the responsibility alone.
-
-As a result on 18 October, when I had just become acquainted with these
-matters, he called a cabinet meeting to which the Chief of the Army
-Command, General Heye, and I, as well as some office chiefs in both
-administrations, were called. At this cabinet meeting, General Heye and
-I had to report openly and fully before all the Ministers as to what
-breaches there were on the part of the Army and the Navy. The
-Müller-Severing-Stresemann government took full responsibility and
-exonerated the Reich Defense Minister, who, however, continued to be
-responsible for carrying things through. We had to report to the Reich
-Defense Minister everything which happened in the future and were not
-allowed to undertake any steps alone. The Reich Defense Minister handled
-matters together with the Reich Minister of the Interior, Severing, who
-showed great understanding for the various requirements.
-
-DR. SIEMERS: At this cabinet meeting you and General Heye as Chief of
-the Army Command submitted a list of the individual small breaches?
-
-RAEDER: Yes.
-
-DR. SIEMERS: And thereupon the Government told you, “We will take the
-responsibility”?
-
-RAEDER: Yes.
-
-DR. SIEMERS: Accordingly, in the following years did you always act in
-agreement with the Reich Government?
-
-RAEDER: Yes, the Reich Defense Minister, Gröner, was extremely sensitive
-on this point. He had dissolved all the so-called “black” funds which
-existed and insisted absolutely that he should know about everything and
-should sanction everything. He thought that only in this way could he
-take the responsibility towards the Government.
-
-I had nothing whatever to do with the Reichstag. The military chiefs
-were not allowed to have contact with the members of the Reichstag in
-such matters. All negotiations with the Reichstag were carried out
-through the Reich Defense Minister or by Colonel Von Schleicher on his
-behalf. I was therefore in no position to go behind the back of the
-Reichstag in any way. I could discuss budget matters with the Reichstag
-members only in the so-called Budget Committee, where I sat next to the
-Reich Defense Minister and made technical explanations to his
-statements.
-
-DR. SIEMERS: From 1928 on, that is from your time on, there were no
-longer any secret budgets within the construction program of the Navy
-without the approval of the Reich Government?
-
-RAEDER: Without the approval of the Reich Government and, above all, of
-the Reich Defense Minister who allotted the money to us exactly as the
-other budgets were allotted.
-
-DR. SIEMERS: May I ask the Tribunal in this connection to look at
-Document Exhibit Number Raeder-3 which has already been submitted,
-“Constitution of the German Reich,” Document Book 1, Page 10, Article
-50; it is brief and reads:
-
- “In order to be valid, all decrees and orders issued by the
- Reich President, including those pertaining to the Armed Forces,
- must be countersigned by the Reich Chancellor or the competent
- Reich Minister. By the act of countersigning, responsibility is
- accepted by the Reich Chancellor.”
-
-That is the constitutional principle which the Reich Government at that
-time—Stresemann, Müller, Severing—insisted upon in October 1928.
-
-An important part of the building up of the Navy consisted in renewing
-the old capital ships and cruisers from the last war. In this
-connection, I take the liberty of submitting to the Tribunal Exhibit
-Number Raeder-7, Document Book 1, Page 23. This document deals with the
-so-called ship replacement construction plan. This ship replacement
-construction plan was, as Page 24 of the document book shows, Paragraph
-2, Figure 2, submitted by a resolution of the Reichstag. I should like
-to refer you to Page 24, Figure 3, of the document which shows that this
-ship replacement construction plan covered three armored ships, and it
-adds that the construction might last until 1938.
-
-May it please the Tribunal, this figure is important. The Prosecution
-desired to construe the chance fact that in 1933 a construction plan was
-drawn up to extend until 1938, to mean that there were aggressive
-intentions.
-
-This ship replacement construction plan of the year 1930 had the same
-goal in 1938 and, as the Prosecution will admit, can have nothing to do
-with a war of aggression.
-
-The plan was submitted then, Witness, through the Reich Government and
-you did only the preparatory work?
-
-RAEDER: Yes.
-
-DR. SIEMERS: Is this only true of the ship replacement plan for 1930, or
-was it always handled in the same way in subsequent years?
-
-RAEDER: The plan as submitted was approved in principle by the
-Reichstag. Each individual ship, however, had to be approved again in
-the budget plan of the year in which the construction was to begin. The
-whole construction program was thus always in close agreement with the
-Reich Government and the Reichstag.
-
-DR. SIEMERS: In connection with this ship replacement program within the
-framework of the documentary evidence, I should like to refer to two
-points which will greatly shorten the questioning of the witness.
-
-For the time being I do not want to quote from Page 26. I ask you to
-take judicial notice of the rest of the contents, and wish merely to
-point out that this refers to the great age of all capital ships, and
-their replacement which this necessitated.
-
-On Page 27 of the document book it expressly mentions that the Reichstag
-in its 89th session of 18 June 1929 asked the Reich Government for an
-extension of the period for the construction program. The general
-opinion at that time was, as the ship replacement program shows, set out
-in the _Frankfurter Zeitung_ of 15 August 1928, where the _Frankfurter
-Zeitung_ points out that an armored cruiser gains its full value only
-when it forms part of a squadron. The _Frankfurter Zeitung_ was, as is
-well known, the best German newspaper; and it was banned only in 1943
-during the war by the National Socialist dictatorship which was growing
-ever stronger.
-
-I should like to refer to Page 29 and quote one sentence:
-
- “The building of battleships will be extended as far as
- possible, so as to keep the naval yards at Wilhelmshaven
- occupied continuously. The ideal time of construction is about
- three years; and it is then explained that, working on the
- principle of giving as long employment as possible, the building
- time is prolonged as much as possible.”
-
-I believe this shows there was no aggressive intention, since otherwise
-the building program would have been speeded up.
-
-Then I ask you to take judicial notice of Page 30, the construction cost
-of an armored ship having a tonnage of 10,000 tons, where it mentions
-that it was about 75 million marks. This figure is important to me as
-evidence in view of the further course of the testimony, where the cost
-of the breaches of the Versailles Treaty will be shown.
-
-Finally may I quote from Page 30 a few lines which give the principle
-for the employment of the Wehrmacht. I quote:
-
- “Since carrying out the disarmament program, which so far the
- German Republic alone among all the Great Powers has effected,
- for the Wehrmacht, which serves to protect the borders and
- peace, the following eventualities for the taking up of arms
- comes into consideration: (a) defense against the stealing of
- territories, (b) defense of neutrality in conflicts among third
- parties.”
-
-[_Turning to the defendant._] I should like to refer to the individual
-breaches of the Treaty of which the Prosecution has accused you. In this
-connection, I submit Exhibit Raeder-1, in Document Book 1, Page 1, and I
-refer to Page 3, Article 191. It concerns the accusation that Germany,
-contrary to the Versailles Treaty, constructed submarines. Article 191
-reads, and I quote, “The construction and acquisition of all submersible
-craft, even for commercial purposes, is forbidden to Germany.”
-
-I will soon put a question to you in regard to the established fact that
-the Navy was interested in a firm which dealt with the designing of
-submarines in Holland and in a general construction program for ships
-and submarines, which was being carried out in Holland; but in order to
-save time, it will be simpler if I read from the Lohmann affidavit which
-I submit as Exhibit Raeder-2, in Document Book 1, Page 4. I quote a
-short paragraph under 1:
-
- “According to the Treaty of Versailles, the German Reich was
- neither to build nor to acquire U-boats. When in July, 1922, the
- firm N. V. Ingenieurskantoor Voor Scheepsbouw was established in
- the Hague, the Navy acquired an interest in it in order to keep
- informed on modern U-boat construction. The intention was to use
- the experience gained thereby for the German Navy, when later on
- the conditions of the Treaty of Versailles would be annulled by
- negotiations and Germany would be again permitted to build
- U-boats. Moreover, the Navy wanted, for the same purpose, to
- train a small nucleus of skilled personnel. The Dutch firm was
- strictly a designing bureau.”
-
-May it please the Tribunal, as a precaution I should like to point out
-in this passage that there is a translation mistake in the English copy.
-The word “Konstruktion” has been translated “construction,” and
-construction means “building” in German. It was not a construction
-bureau. As far as I know, “Konstruktion” must be translated “design.”
-Since in view of Article 191 this point is important, I want to correct
-this.
-
-I quote further:
-
- “The first German U-boat was commissioned 29 June 1935. The
- procuring of parts to build U-boats had started correspondingly
- earlier.”
-
-I wish to remind you that, when the first submarine was commissioned,
-the Anglo-German Naval Agreement, according to which submarine
-construction was permitted, was already in existence. I will ask if this
-statement of Admiral Lohmann is correct.
-
-RAEDER: Yes. It entirely corresponds with the facts.
-
-DR. SIEMERS: Then I come to Prosecution Document C-141, Exhibit USA-47.
-This is in the Raeder Document Book Number 10, on Page 22, in the
-compilation of the British Delegation. This is your letter of 10
-February 1932 in regard to torpedo armament of the S-boats, the speed
-boats.
-
-THE PRESIDENT: Is this in Document Book 10a or 10?
-
-DR. SIEMERS: Document Book 10. The old document book.
-
-THE PRESIDENT: I’ve got my pages wrongly marked somehow. It is all
-right.
-
-DR. SIEMERS: Please excuse me. That is how the page numbers were given
-to me.
-
-THE PRESIDENT: It is correct in the other members’ books.
-
-DR. SIEMERS: The torpedo armament of speed boats was not expressly
-permitted in the Versailles Treaty and for that reason you are accused
-in this connection. Did this involve only the five speed boats mentioned
-in this document?
-
-RAEDER: Yes. There were five boats which we had ordered for use as
-patrol boats in the shipbuilding replacement program and which in
-themselves had no armament.
-
-DR. SIEMERS: How big were these boats?
-
-RAEDER: Certainly not bigger than 40 tons, probably considerably
-smaller.
-
-DR. SIEMERS: Were more boats of this type built during the Versailles
-Treaty?
-
-RAEDER: I cannot say with certainty. In any case, we had no armed boats
-in addition.
-
-DR. SIEMERS: Yes, excuse me, that is what I mean—more armed boats.
-
-RAEDER: No. We could build 12 plus 4, which makes 16 torpedo boats of
-200 tons. A torpedo boat of 200 tons could not be produced in a
-practical manner at that time because of the question of the motors and
-the question of seaworthiness. For that reason we did not build these
-torpedo boats for the time being but kept in service a number of quite
-old torpedo boats, built at the beginning of the century, in order to be
-able to train crews with them. We could no longer use these boats for
-fighting. But so that—as long as we could not replace these boats—we
-might have a few boats capable of action, however small, which could be
-of use in blocking the Baltic, I ordered that these patrol boats should
-be equipped to take torpedo tubes on board.
-
-However, so that in 1932 we should not make our situation worse by open
-breaches of the Treaty, when we hoped that at the Disarmament Conference
-we might make some progress, I had one boat at a time armed in order to
-fit and test the armament; and I then had the armament dismounted again
-so that there was always only one boat available with armament at any
-one time. We planned to put the torpedo tubes on board the speed boats
-only if the political situation, that is, the situation after the
-Disarmament Conference, would permit it. That is what I say in Number 3
-in the concluding sentence.
-
-DR. SIEMERS: I can take it then that we were allowed to build 16 torpedo
-boats making 3,200 tons in all?
-
-RAEDER: Yes.
-
-DR. SIEMERS: And instead we built only five speed boats totalling 200
-tons?
-
-RAEDER: Yes.
-
-DR. SIEMERS: Concerning the accusation made by the Prosecution that you
-did not count the speed boats against the torpedo boats you actually did
-not intend to keep anything secret; but you wanted to discuss it with
-the Control Commission when the time came?
-
-RAEDER: Yes.
-
-DR. SIEMERS: Now I come to the most extensive document in regard to
-breaches which the Prosecution submitted, Document C-32, USA-50. The
-document is in Document Book 10a, Page 8; in the new document book of
-the British Delegation.
-
-In this list all breaches are included under date 9 September 1933. The
-Prosecution justly points out that this compilation is very thorough;
-and the Prosecution presented it just as thoroughly, although, as I
-believe I can prove, they are, in the last analysis, small matters. I am
-compelled to ask the witness to answer these points in detail since they
-were brought up in detail. Breach Number 1 concerns the exceeding of the
-permitted number of mines. In Column 2 it states that according to the
-Versailles Treaty, that is, by the Commission, 1,665 mines were
-permitted; but we owned 3,675 mines. That is 2,000 too many. Will you
-please tell the Court the significance of this breach; it doubtlessly
-was a breach.
-
-RAEDER: I should like to say in advance that this list was prepared for
-our Navy representative at the Disarmament Conference, so that if these
-things should be mentioned, he could give them an explanation. That is
-why it was so explicit, even though most of the things it contains are
-of minor importance. I should like to add to what I said previously, in
-regard to the danger of attacks by Poland, that in view of the political
-situation at that time we always feared that the Poles, if they should
-undertake an invasion of our country, might receive certain support from
-the sea by France, inasmuch as French ships, which at that time often
-visited the Polish port of Gdynia, could attack our coast through the
-Baltic entrances, the Belt, and the Sound. For this reason the defense
-of the Baltic entrances by mines played an important role. Thus, we
-undertook this breach of the Treaty in order to be able to close at
-least the Baltic entrances at the narrow points, which was of course
-possible only for a certain time. With these mines only a stretch of 27
-nautical miles could have been closed. Thus, we would have been able to
-close a part of Danzig Bay on which Gdynia was situated, or a part of
-the Belt, by laying several rows of mines. This was the only method
-which could be effective for any length of time. This was purely a
-question of defense, but still they exceeded the number of mines
-permitted from the war supplies still available.
-
-DR. SIEMERS: Just now in the calculation of the 27 nautical miles you
-included the total number which Germany had at that time.
-
-RAEDER: Yes.
-
-DR. SIEMERS: Not just the number which exceeded that which was
-permitted?
-
-RAEDER: No, the total.
-
-DR. SIEMERS: So that the number in excess is only half this number?
-
-RAEDER: Yes.
-
-DR. SIEMERS: And then I should like to have an approximate comparison. I
-was told, by way of comparison, that the British in the first World War
-laid about 400,000 to 500,000 mines in the North Sea. Do you recall if
-this number is approximately right?
-
-RAEDER: Approximately it may be right. I cannot say exactly from memory.
-
-DR. SIEMERS: I believe the approximation suffices to give a picture of
-the relative values.
-
-A second small question now. Is it true that for mining English ports
-Reich Marshal Göring’s Luftwaffe in one action alone used 30,000 to
-50,000 mines? Do you know of that?
-
-RAEDER: I have heard so.
-
-DR. SIEMERS: Then there is a second point. I quote, “Continuous storing
-of guns from the North Sea area for Baltic artillery batteries.”
-
-This involves 96 guns, only 6 of which are of large caliber, the others
-of smaller caliber. May I ask you to explain this breach of the Treaty?
-
-RAEDER: This is quite a small breach. We were allowed a comparatively
-large number of guns on the North Sea coast. On the other hand,
-according to plans the Baltic coast was comparatively bare of guns,
-since they wanted to retain free entry to the Baltic, whereas we had the
-greatest interest in closing the Baltic against attacks. For this reason
-we stored the gun barrels, which belonged in the North Sea but which had
-been brought to the Baltic for repairs, in sheds in the Baltic area for
-a long time in order to be able to mount these guns on the Baltic coast
-in case of attack. The North Sea coast had many guns; and because of the
-shallowness, it was much easier to defend than the Baltic coast. That
-was the breach.
-
-DR. SIEMERS: In practice it only involved moving them from the North Sea
-to the Baltic coast. That is, not mounting them, but merely storing
-them.
-
-RAEDER: Yes.
-
-DR. SIEMERS: Then under Figure 3, another charge, “non-scrapping of
-guns.” A total of 99 guns is mentioned of which the ten largest, of 28
-centimeters, were actually scrapped. Please comment on this.
-
-RAEDER: When we acquired new guns, as for example, for the battleship
-_Deutschland_, six 28-centimeter guns were constructed, or for the
-_Deutschland_ and the cruisers, forty-eight 15-centimeter guns, we had
-to scrap a corresponding number of old guns. Ten of this number were
-actually scrapped. All the guns were turned over to the Army for
-scrapping and we received a receipt for them, saying that the guns had
-been scrapped. We learned, however, that the Army in fact had not
-scrapped the guns, but with the exception of the ten 28-centimeter guns,
-it intended to use them for arming the fortifications to be built in
-case of attack, since the Army had no such guns at all.
-
-DR. SIEMERS: I should like to make the time clear. This must have been a
-breach of the Treaty which occurred long before the time you took office
-as Chief of the Navy Command.
-
-RAEDER: This happened between 1919 and 1925 for the most part. In any
-case I had nothing to do with these matters.
-
-DR. SIEMERS: Number 4 is very simple: “Deviation from the places settled
-by the Entente for the disposition of coastal batteries.”
-
-RAEDER: Previously, up to the time of the World War, especially the
-heavy batteries and the medium-sized batteries were placed very close to
-each other, or rather in the batteries the guns were placed very close
-to each other. According to our experience in the World War the heavy
-and medium-sized guns within the batteries were placed further apart, so
-that a single hit would not destroy several guns at once. For this
-reason we re-arranged these heavy and medium batteries and moved the
-guns a little further apart. For that reason they were no longer exactly
-in the places where they had been at the time of the Treaty. Otherwise
-nothing was changed.
-
-DR. SIEMERS: Would not these things have been approved by the Control
-Commission because they were purely technical?
-
-RAEDER: I cannot say, I never took part in these negotiations.
-
-DR. SIEMERS: Number 5 concerns the laying of gun platforms for artillery
-batteries and the storing of A. A. ammunition. In Column 2 there is
-again the question of changing to a different place than that allowed by
-the Entente. Does the same thing apply here as to Number 4?
-
-RAEDER: No, not completely. We wanted to put the A. A. batteries where
-they were particularly useful and could be fully utilized, whereas the
-Commission did not want to have them at these places. As a result we
-left the A. A. batteries where they were; but at other points we
-prepared so-called gun platforms, which were improvised wooden
-platforms, so that in case of attack from any enemy we could set up the
-A. A. guns in order to use them most effectively. In the same way...
-
-DR. SIEMERS: This is only a question then of platforms for an A. A.
-battery, only the foundations for a defense?
-
-RAEDER: Yes, only foundations.
-
-DR. SIEMERS: Then comes Number 6: “Laying gun platforms in the Kiel
-area.”
-
-RAEDER: The Kiel area was especially bared of guns, because the entrance
-through the Belt to Kiel was to be as little armed and as open as
-possible. For this reason the setting up of guns in the Kiel area was
-especially forbidden; and in order to be able to set up some guns in a
-hurry, in case of necessity, gun platforms were prepared there also.
-
-DR. SIEMERS: The next point the Prosecution gives comes under Number 7:
-“Exceeding the caliber permitted for coastal batteries.” “Coastal
-batteries” shows that it is for defense, but nevertheless it was brought
-up as an accusation.
-
-RAEDER: Yes. It says here that instead of six 15-centimeter, three
-17-centimeter guns were built. Of course, it is a deviation, insofar as
-the guns were to stay there; but it is open to doubt whether these six
-15-centimeter guns might not have been better along the coast than the
-three 17-centimeter guns.
-
-DR. SIEMERS: I see, you mean that they are actually less than the number
-permitted?
-
-RAEDER: Yes.
-
-DR. SIEMERS: Instead of five 15-centimeter there were only three
-17-centimeter?
-
-RAEDER: Instead of six.
-
-DR. SIEMERS: Yes, instead of six only three, and the caliber was 2
-centimeter larger.
-
-RAEDER: Yes.
-
-DR. SIEMERS: Then comes Number 8, the arming of M-boats. M-boats are
-mine sweepers.
-
-RAEDER: We had the old mine sweepers which in case of attack on the
-Baltic were to serve the double purpose of finding the mines and of
-guarding the mine barrage which we wanted to lay in the exits of the
-Belt in order to close the Baltic, and of defending it against light
-enemy forces. For this reason we gave each one a 10.5-centimeter gun and
-one machine gun C-30.
-
-DR. SIEMERS: Actually a minimum armament?
-
-RAEDER: Yes, quite a minimum armament.
-
-DR. SIEMERS: Number 9 can be quickly settled, I believe: “Arming of six
-S-boats and eight R-boats.”
-
-The six S-boats are those which were discussed in the Document C-141?
-
-RAEDER: Yes, it says here boats armed with torpedoes.
-
-DR. SIEMERS: Number 10: “Setting up practice A. A. batteries.” Is that a
-breach of the Treaty?
-
-RAEDER: Yes, it was, after all, an A. A. battery. It was only because
-near the garrisons where there were barracks with our men we wanted an
-opportunity to practice A. A. firing exercise. That is why we set up
-these batteries near the barracks. There was no intention of using them
-in this place for defense. It was only a matter of expediency for
-training.
-
-DR. SIEMERS: Then comes Number 11.
-
-RAEDER: The individual cases are gradually becoming more ridiculous. I
-consider it a waste of time.
-
-DR. SIEMERS: I am sorry, Admiral, that I must put you to this trouble;
-but I believe it is necessary, since the Prosecution read almost all
-these items into the record and wanted to put a construction on them
-which puts you at a disadvantage.
-
-RAEDER: Then there is the “Salute Battery Friedrichsort.”
-
-Friedrichsort is the entrance to Kiel where foreign ships salute when
-they enter, and the salute must be returned. Two 7.7-centimeter field
-guns which had been rendered unserviceable had been approved for this
-purpose. With these guns, sharp-shooting was not possible; it was since
-there was a battery foundation already available there, that instead of
-these two 7.7-centimeter guns we should set up four 8.8-centimeter A. A.
-guns which were ready for full use. But this too was long before the
-time when I was Commander-in-Chief of the Navy.
-
-THE PRESIDENT: We will adjourn now.
-
- [_The Tribunal adjourned until 16 May 1946, at 1000 hours._]
-
-
-
-
- TRANSCRIBER NOTES
-
-Punctuation and spelling have been maintained except where obvious
-printer errors have occurred such as missing periods or commas for
-periods. English and American spellings occur throughout the document;
-however, American spellings are the rule, hence, “Defense” versus
-“Defence”. Unlike Blue Series volumes I and II, this volume includes
-French, German, Polish and Russian names and terms with diacriticals:
-hence Führer, Göring, etc. throughout.
-
-Although some sentences may appear to have incorrect spellings or verb
-tenses, the original text has been maintained as it represents what the
-tribunal read into the record and reflects the actual translations
-between the German, English, French, and, most specifically with this
-volume, Russian documents presented in the trial.
-
-An attempt has been made to produce this eBook in a format as close as
-possible to the original document presentation and layout.
-
------
-
-* Page 155 in the text has a date correction where the Reich Defense Law
-of 4 September 1939 has been corrected to 4 September 1938.
-
- “Under the Reich Defense Law of 4 September =1938= I have the
- direction for the economic preparations for the Reich defense,
- except the armament industry.”
-
-[The end of _Trial of the Major War Criminals Before the International
-Military Tribunal Vol. 13_, by Various.]
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-<p style='text-align:center; font-size:1.2em; font-weight:bold'>The Project Gutenberg eBook of Trial of the Major War Criminals Before the International Military Tribunal, Vol. 13, by International Military Tribunal</p>
-<div style='display:block; margin:1em 0'>
-This eBook is for the use of anyone anywhere in the United States and
-most other parts of the world at no cost and with almost no restrictions
-whatsoever. You may copy it, give it away or re-use it under the terms
-of the Project Gutenberg License included with this eBook or online
-at <a href="https://www.gutenberg.org">www.gutenberg.org</a>. If you
-are not located in the United States, you will have to check the laws of the
-country where you are located before using this eBook.
-</div>
-
-<p style='display:block; margin-top:1em; margin-bottom:0; margin-left:2em; text-indent:-2em'>Title: Trial of the Major War Criminals Before the International Military Tribunal, Vol. 13</p>
-<p style='display:block; margin-left:2em; text-indent:0; margin-top:0; margin-bottom:1em;'>Nuremburg 14 November 1945-1 October 1946</p>
- <p style='display:block; margin-top:1em; margin-bottom:0; margin-left:2em; text-indent:-2em'>Author: International Military Tribunal</p>
-<p style='display:block; text-indent:0; margin:1em 0'>Release Date: October 13, 2021 [eBook #66530]<br />
-[Last updated: October 21, 2021]</p>
-<p style='display:block; text-indent:0; margin:1em 0'>Language: English</p>
- <p style='display:block; margin-top:1em; margin-bottom:0; margin-left:2em; text-indent:-2em; text-align:left'>Produced by: John Routh PM, Cindy Beyer, and the online Distributed Proofreaders Canada team at http://www.pgdpcanada.net</p>
-<div style='margin-top:2em; margin-bottom:4em'>*** START OF THE PROJECT GUTENBERG EBOOK TRIAL OF THE MAJOR WAR CRIMINALS BEFORE THE INTERNATIONAL MILITARY TRIBUNAL, VOL. 13 ***</div>
-<div class='figcenter' style='width:80%'>
-<img src='images/cover.jpg' alt='' id='iid-0000' style='width:100%;height:auto;'/>
-</div>
-
-<hr class='pbk'/>
-
-<div class='lgc' style=''> <!-- rend=';' -->
-<p class='line' style='margin-top:2em;font-size:1.5em;'>TRIAL</p>
-<p class='line' style='margin-top:.2em;margin-bottom:.2em;font-size:.7em;'>OF</p>
-<p class='line' style='font-size:1.5em;'>THE MAJOR WAR CRIMINALS</p>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:.7em;'>BEFORE</p>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:1.2em;'>THE INTERNATIONAL</p>
-<p class='line' style='font-size:1.2em;'>MILITARY TRIBUNAL</p>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:.7em;'><span class='gesp'>NUREMBERG</span></p>
-<p class='line' style='margin-top:.2em;margin-bottom:2em;font-size:.7em;'>14 NOVEMBER 1945—1 OCTOBER 1946</p>
-<p class='line'>&#160;</p>
-<p class='line'>&#160;</p>
-<div class='figcenter'>
-<img src='images/title.jpg' alt='' id='iid-0001' style='width:80px;height:auto;'/>
-</div>
-<p class='line'>&#160;</p>
-<p class='line'>&#160;</p>
-<p class='line' style='margin-top:4em;font-size:.7em;'><span class='gesp'>PUBLISHED AT NUREMBERG, GERMANY</span></p>
-<p class='line' style='margin-top:.2em;font-size:.7em;'><span class='gesp'>1948</span></p>
-</div> <!-- end rend -->
-
-<hr class='pbk'/>
-
-<div class='literal-container' style='margin-top:4em;margin-bottom:20em;'><div class='literal'> <!-- rend=';fs:.8em;' -->
-<p class='line' style='font-size:.8em;'>This volume is published in accordance with the</p>
-<p class='line' style='font-size:.8em;'>direction of the International Military Tribunal by</p>
-<p class='line' style='font-size:.8em;'>the Secretariat of the Tribunal, under the jurisdiction</p>
-<p class='line' style='font-size:.8em;'>of the Allied Control Authority for Germany.</p>
-</div></div> <!-- end rend -->
-
-<hr class='pbk'/>
-
-<div class='lgc' style='margin-top:8em;margin-bottom:4em;'> <!-- rend=';' -->
-<p class='line'>VOLUME XIII</p>
-<p class='line'>&#160;</p>
-<p class='line'>&#160;</p>
-<hr class='tbk100'/>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:1.2em;'><span class='gesp'>OFFICIAL TEXT</span></p>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:.8em;'><span class='gesp'>IN THE</span></p>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:1.2em;'>ENGLISH LANGUAGE</p>
-<p class='line'>&#160;</p>
-<hr class='tbk101'/>
-<p class='line'>&#160;</p>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:1.2em;'><span class='gesp'>PROCEEDINGS</span></p>
-<p class='line'>&#160;</p>
-<p class='line' style='font-size:.8em;'>3 May 1946—15 May 1946</p>
-</div> <!-- end rend -->
-
-<hr class='pbk'/>
-
-<table id='tab1' summary='' class='center'>
-<colgroup>
-<col span='1' style='width: 6em;'/>
-<col span='1' style='width: 22.5em;'/>
-<col span='1' style='width: 2.5em;'/>
-</colgroup>
-<tr><td class='tab1c1 tab1c1-col3 tdStyle0' colspan='3'><span style='font-size:larger'>CONTENTS</span></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'></td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'></td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twentieth Day, Friday, 3 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_1'>1</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_44'>44</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-first Day, Saturday, 4 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_80'>80</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-second Day, Monday, 6 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_103'>103</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_129'>129</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-third Day, Tuesday, 7 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_166'>166</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_203'>203</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-fourth Day, Wednesday, 8 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_231'>231</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_246'>246</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-fifth Day, Thursday, 9 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_267'>267</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_296'>296</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-sixth Day, Friday, 10 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_330'>330</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_372'>372</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-seventh Day, Saturday, 11 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_410'>410</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-eighth Day, Monday, 13 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_437'>437</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_467'>467</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Twenty-ninth Day, Tuesday, 14 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_496'>496</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_523'>523</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>&nbsp;</td><td class='tab1c3 tdStyle3'>&nbsp;</td></tr>
-<tr><td class='tab1c1 tab1c1-col2 tdStyle1' colspan='2'>One Hundred and Thirtieth Day, Wednesday, 15 May 1946,</td><td class='tab1c3 tdStyle3'></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Morning Session</td><td class='tab1c3 tdStyle3'><a href='#Page_559'>559</a></td></tr>
-<tr><td class='tab1c1 tdStyle1'></td><td class='tab1c2 tdStyle2'>Afternoon Session</td><td class='tab1c3 tdStyle3'><a href='#Page_600'>600</a></td></tr>
-</table>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='1' id='Page_1'></span><h1><span style='font-size:larger'>ONE HUNDRED AND TWENTIETH DAY</span><br/> Friday, 3 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The Defendant Schacht resumed the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT (Lord Justice Sir Geoffrey Lawrence): The
-Tribunal will sit in open session tomorrow at 10 o’clock and will
-adjourn into closed session at 12 noon.</p>
-
-<p class='pindent'>Mr. Justice Jackson and Defendant Schacht: It is desired on
-behalf of the interpreters that you should pause if possible after
-the question has been put to you and if you find it necessary,
-owing to the condition of the documents with which you are
-dealing, to read in English or speak in English, to give an adequate
-pause so that those interpreters who are interpreting from
-English into other languages can take over the interpretation.
-Is that clear?</p>
-
-<p class='pindent'>MR. JUSTICE ROBERT H. JACKSON (Chief of Counsel for
-the United States): I owe an apology constantly to the interpreters.
-It is hard to overcome the habit of a lifetime.</p>
-
-<p class='pindent'>THE PRESIDENT: It is very difficult.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: [<span class='it'>Turning to the defendant.</span>] Dr. Schacht,
-by the way, the photograph Number 10 which was shown you
-yesterday, that was one of the occasions on which you wore the
-Party Badge which you referred to, was it not?</p>
-
-<p class='pindent'>HJALMAR SCHACHT (Defendant): That may be.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You are quite sure of that, are
-you not?</p>
-
-<p class='pindent'>SCHACHT: I cannot distinguish it clearly; but it may be, and
-that would prove that the picture must have been taken after 1937.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: That is what I wanted to prove. And
-as a matter of fact, it was taken after 1941, was it not? As a
-matter of fact, Bormann did not come to any important official
-position until after 1941, did he?</p>
-
-<p class='pindent'>SCHACHT: Bormann?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Bormann, yes.</p>
-
-<p class='pindent'>SCHACHT: That I do not know.
-<span class='pageno' title='2' id='Page_2'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, if we return to the Four Year
-Plan which began in 1936, as I understand it you opposed the
-appointment of Göring to have charge of the Four Year Plan on
-two grounds: First, you thought that that new plan might interfere
-with your functions; and secondly, if there were to be a
-Four Year Plan, you did not think Göring was fit to administer
-it?</p>
-
-<p class='pindent'>SCHACHT: I do not know what you mean by “opposed.” I was
-not satisfied with it and considered the choice of Göring not the
-right one for any leading position in economics.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: As a matter of fact you have described
-Göring as a fool in economics, have you not?</p>
-
-<p class='pindent'>SCHACHT: Yes, as one does say such things in a heated conversation.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Or in interrogation?</p>
-
-<p class='pindent'>SCHACHT: Interrogations are also sometimes heated.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, very soon Göring began to
-interfere with your functions, did he not?</p>
-
-<p class='pindent'>SCHACHT: He tried it repeatedly, I believe.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, he got away with it too, did
-he not?</p>
-
-<p class='pindent'>SCHACHT: I do not understand what you mean by “he got
-away with it.”</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, this American slang is difficult,
-I admit. I mean he succeeded.</p>
-
-<p class='pindent'>SCHACHT: In July 1937 he had me completely against the wall.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: That started over a proposal that he
-made or a measure that he took with reference to mining?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: He also made a speech to some industrialists,
-did he not?</p>
-
-<p class='pindent'>SCHACHT: I assume that he made several speeches to industrialists.
-I do not know to which one you are referring. I presume
-you mean the speech in December 1936 or so.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I am referring to the speech in which
-you said to us in interrogation that Göring had assembled industrialists
-and said a lot of foolish things about the economy which
-you had to refute.</p>
-
-<p class='pindent'>SCHACHT: That was the meeting of 17 December 1936.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And then you wrote to Göring complaining
-about the mining measures?
-<span class='pageno' title='3' id='Page_3'></span></p>
-
-<p class='pindent'>SCHACHT: I assume that you mean the letter of 5 August?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Right. That document is Document
-EC-497, Exhibit USA-775. And in that letter of August 1937 you
-said this, if I quote you correctly:</p>
-
-<div class='blockquote'>
-
-<p>“Meanwhile I repeatedly stressed the need of increased
-exports and actively worked towards that end. The very
-necessity of bringing our armament up to a certain level
-as rapidly as possible must place in the foreground the idea
-of as large returns as possible in foreign exchange and therewith
-the greatest possible assurance of raw material supplies.”</p>
-
-</div>
-
-<p class='pindent'>Correct?</p>
-
-<p class='pindent'>SCHACHT: I assume it is.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you also said this, I believe:</p>
-
-<div class='blockquote'>
-
-<p>“I have held this view of the economic situation which
-I have explained above from the first moment of my collaboration.”</p>
-
-</div>
-
-<p class='pindent'>That was also true, was it not?</p>
-
-<p class='pindent'>SCHACHT: Yes, certainly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, both of those things were true,
-were they not?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And then you concluded, addressing
-Göring:</p>
-
-<div class='blockquote'>
-
-<p>“I ask you to believe me, my dear Prime Minister, that it is
-far from me to interfere with your policies in any way whatsoever.
-I offer no opinion, either, as to whether my views,
-which are not in agreement with your economic policy, are
-correct or not. I have full sympathy for your activities. I do
-believe, however, that in a totalitarian state it is wholly
-impossible to conduct two divergent economic policies.”</p>
-
-</div>
-
-<p class='pindent'>And that was also true, was it not?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And that was the basis on which
-you and Göring disagreed so far as policy was concerned?</p>
-
-<p class='pindent'>SCHACHT: So far as what was concerned?—Policy? I do not
-understand what you mean by policy. I mean the way business
-was conducted.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes.</p>
-
-<p class='pindent'>SCHACHT: Entirely aside from other differences which we had.
-<span class='pageno' title='4' id='Page_4'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: These other differences were personal
-differences. You and Göring did not get along well together?</p>
-
-<p class='pindent'>SCHACHT: On the contrary. Until then we were on very
-friendly terms with each other.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Oh, were you?</p>
-
-<p class='pindent'>SCHACHT: Oh, yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: So the beginning of your differences
-with Göring was the struggle as to which of you would dominate
-the preparations for war?</p>
-
-<p class='pindent'>SCHACHT: No.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well...</p>
-
-<p class='pindent'>SCHACHT: I have to deny that absolutely. The differences...</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Do you want to say anything more
-about it?</p>
-
-<p class='pindent'>SCHACHT: The differences which led to my resignation resulted
-from the fact that Göring wanted to assume command over
-economic policies while I was to have the responsibility for them.
-And I was of the opinion that he who assumes responsibility should
-also have command; and if one has command then he also has to
-assume the responsibility. That is the formal reason why I asked
-for my release.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well now, I turn to your interrogation
-of 16 October 1945, Document 3728-PS, Exhibit USA-636, and ask
-if you did not give the following testimony:</p>
-
-<div class='blockquote'>
-
-<p>“After Göring had taken over the Four Year Plan—and I
-must say after he had taken over the control of Devisen,
-already since April 1936—but still more after the Four Year
-Plan in September 1936, he had always tried to get control of
-the whole economic policy. One of the objects, of course, was
-the post of Plenipotentiary for War Economy in the case of
-war, being only too anxious to get everything into his hands,
-he tried to get that away from me. Certainly as long as I
-had the position of Minister of Economics, I objected to
-that...”</p>
-
-</div>
-
-<p class='pindent'>You made that statement?</p>
-
-<p class='pindent'>SCHACHT: I believe that is correct.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes, and then you describe your last
-visit with him after Luther for two months had endeavored to
-unite Göring and yourself.</p>
-
-<p class='pindent'>SCHACHT: That is a mistake; it is Hitler, and not Luther.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Very well.
-<span class='pageno' title='5' id='Page_5'></span></p>
-
-<p class='pindent'>You described it as follows:</p>
-
-<div class='blockquote'>
-
-<p>“Then I had a last talk with Göring; and at the end of this
-talk Göring said, ‘But I must have the right to give orders
-to you.’ Then I said, ‘Not to me, but to my successor.’ I
-have never taken orders from Göring; and I would never
-have done it, because he was a fool in economics and I knew
-something about it, at least.</p>
-
-<p>“Question: ‘Well, I gather that was a culminating, progressive,
-personal business between you and Göring. That seems
-perfectly obvious.’</p>
-
-<p>“Answer: ‘Certainly.’ ”</p>
-
-</div>
-
-<p class='pindent'>Is that correct?</p>
-
-<p class='pindent'>SCHACHT: Yes, certainly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And then the interrogator went on:</p>
-
-<div class='blockquote'>
-
-<p>“Let us go into the duties of that job for a moment and see
-what he was trying to take away from you. There are only
-two possibilities, as it has been explained to me; if I am
-wrong, correct me. One would be the preparation for a
-mobilization, and the other would be the actual taking charge
-of this in the event of war. Otherwise, the post had no meaning.
-So the things you resisted his taking away from you, as
-I see it, were the right to be in charge of the preparation for
-mobilization and, secondly, the right to control in the event
-of war.</p>
-
-<p>“Answer: ‘Correct.’ ”</p>
-
-</div>
-
-<p class='pindent'>Did you give that testimony?</p>
-
-<p class='pindent'>SCHACHT: Please, Mr. Justice, you are confusing the events
-in relation to time. The differences with Göring about this so-called
-Plenipotentiary for War Economy occurred in the winter 1936-37;
-and the so-called last conversation with Göring which you have
-just mentioned took place in November 1937. I stated, I believe in
-January 1937, that I was prepared to turn over the office and the
-activity as Plenipotentiary for War Economy immediately to Göring.
-That can be found in the memorandum from the Jodl Diary which
-has been frequently mentioned here.</p>
-
-<p class='pindent'>At that time the War Ministry, and Blomberg in particular, asked
-to have me kept in the position of Plenipotentiary for War Economy,
-since I was the Minister of Economy, as long as I was the Minister
-of Economy. You can find the correspondence about that, which I
-think has already been submitted by you to the Tribunal.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, all right; I think the dates appear
-in your testimony. I am not concerned at the moment with the
-sequence of events; I am concerned with the functions that you were
-<span class='pageno' title='6' id='Page_6'></span>
-quarreling over, and which you described in your interrogations.
-And the questions and answers which I read to you are correct; these
-are the answers you made at the time, are they not?</p>
-
-<p class='pindent'>SCHACHT: Yes, but I must say the following: If you ask me
-about these individual phases, it will give an entirely different picture
-if you do not single out the different periods. Mr. Justice, surely
-you cannot mention events of January and November in the same
-breath and then ask me if that is correct. That is not correct.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, let us get what is wrong about
-this, if anything.</p>
-
-<p class='pindent'>When was your last conversation with Göring in which you told
-him he would give orders to your successor but not to you?</p>
-
-<p class='pindent'>SCHACHT: November 1937.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, the question as to the duties of
-the job has nothing to do with relation to time, has it? That is, the
-Plenipotentiary for War Economy, the disagreement between you
-and Göring, and in order to make it perfectly clear I will read this
-question and answer to you again, and I am not concerned with
-time; I am concerned with your description of the job.</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Let us go into the duties of that job for a moment
-and see what he was trying to take away from you. Now,
-there are only two possibilities, as it has been explained to
-me; if I am wrong, correct me. One would be the preparation
-for a mobilization, and the other would be the actual taking
-charge of this in the event of war. Otherwise the post had no
-meaning. So the things you resisted his taking away from
-you, as I see it, were the right to be in charge of the preparation
-for mobilization and, secondly, the right to control in the
-event of war.’ ”</p>
-
-</div>
-
-<p class='pindent'>And you answered, “correct,” did you not?</p>
-
-<p class='pindent'>SCHACHT: This difference...</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Can you answer me first as to whether
-you did give that answer to that question, that it was correct?</p>
-
-<p class='pindent'>SCHACHT: Yes, the minutes are correct. And now I should
-like...</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: All right.</p>
-
-<p class='pindent'>SCHACHT: But now please let me finish.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: All right, go ahead with your explanation.</p>
-
-<p class='pindent'>SCHACHT: Yes. Now I wish to say that that disagreement
-between Göring and myself had absolutely nothing to do with the
-conversation of November, and that it was not even a disagreement
-<span class='pageno' title='7' id='Page_7'></span>
-between Göring and myself. That disagreement which you have just
-read about occurred in January 1937, but it was not at all a difference
-of opinion between Göring and myself because I said right
-away, “Relieve me of the post of Plenipotentiary for War Economy
-and turn it over to Göring.” And the War Ministry, that is, Herr
-Von Blomberg, protested against this, not I. I was delighted to turn
-over that office to Göring.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Is there anything in writing about
-that, Dr. Schacht?</p>
-
-<p class='pindent'>SCHACHT: The documents which you have submitted here. I
-would like to ask my counsel to look for these documents and to
-present them during the re-examination. They have been submitted
-by the Prosecution.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, is it not a fact that your controversy
-with Göring was a controversy of a personal character, between
-you and him, for control and not a controversy as to the question of
-armament? You both wanted to rearm as rapidly as possible.</p>
-
-<p class='pindent'>SCHACHT: I do not want to continue that play with words as
-to whether it was personal or anything else, Mr. Justice. I had
-differences with Göring on the subject; and if you ask whether it
-was on armament, speed, or extent, I reply that I was at greatest
-odds with Göring in regard to these points.</p>
-
-<p class='pindent'>I have never denied that I wanted to rearm in order to gain
-equality of position for Germany. I never wanted to rearm any
-further. Göring wanted to go further; and this is one difference
-which cannot be overlooked.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now I do not want to play upon
-words; and if you say my reference to it as personal is a play upon
-words, you force me to go into what you told us about Göring.</p>
-
-<p class='pindent'>Is it not a fact that you told Major Tilley this?</p>
-
-<div class='blockquote'>
-
-<p>“Whereas I have called Hitler an amoral type of person, I can
-regard Göring only as immoral and criminal. Endowed by
-nature with a certain geniality which he managed to exploit
-for his own popularity, he was the most egocentric being
-imaginable. The assumption of political power was for him
-only a means to personal enrichment and personal good living.
-The success of others filled him with envy. His greed knew
-no bounds. His predilection for jewels, gold and finery, <span class='it'>et
-cetera</span>, was unimaginable. He knew no comradeship. Only as
-long as someone was useful to him did he profess friendship.</p>
-
-<p>“Göring’s knowledge in all fields in which a government member
-should be competent was nil, especially in the economic
-field. Of all the economic matters which Hitler entrusted to
-<span class='pageno' title='8' id='Page_8'></span>
-him in the autumn of 1936 he had not the faintest notion,
-though he created an immense official apparatus and misused
-his powers as lord of all economy most outrageously. In his
-personal appearance he was so theatrical that one could only
-compare him with Nero. A lady who had tea with his second
-wife reported that he appeared at this tea in a sort of Roman
-toga and sandals studded with jewels, his fingers bedecked
-with innumerable jewelled rings and generally covered with
-ornaments, his face painted and his lips rouged.”</p>
-
-</div>
-
-<p class='pindent'>Did you give that statement to Major Tilley?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes. And you say you had no personal
-differences with Göring?</p>
-
-<p class='pindent'>SCHACHT: Mr. Justice, I ask here again that the different periods
-of time should not be confused. I found out about all these
-things only later and not at the time of which you speak, that is,
-the year 1936.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Do you dispute the testimony of Gisevius
-that in 1935 he told you about Göring’s complicity in the whole
-Gestapo setup?</p>
-
-<p class='pindent'>SCHACHT: I have testified here that I knew about the Gestapo
-camps which Göring had set up and said that I was opposed to them.
-I do not at all deny that.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: But your friendship continued despite
-that knowledge.</p>
-
-<p class='pindent'>SCHACHT: I have never had a friendship with Göring.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well...</p>
-
-<p class='pindent'>SCHACHT: I surely cannot refuse to work with him, especially
-as long as I do not know what kind of a man he is.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: All right. Let us take up foreign relations,
-about which you have made a good deal of complaint here.
-I think you have testified that in 1937 when you were doing all this
-rearming, you did not envisage any kind of a war, is that right?</p>
-
-<p class='pindent'>SCHACHT: No, what you are saying, Mr. Justice, is not correct.
-In 1937 I did not do everything to rearm; but from 1935, from the
-fall of 1935 on, I tried everything possible to slow down the rearming.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: All right. I refer you to your interrogation
-of 16 October 1945, and ask whether you gave these answers
-to these questions:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Let me ask you then, in 1937 what kind of war did
-you envisage?’
-<span class='pageno' title='9' id='Page_9'></span></p>
-
-<p>“Answer: ‘I never envisaged a war. We might have been
-attacked, invaded by somebody; but even that I never expected.’</p>
-
-<p>“Question: ‘You did not expect that. Did you expect a possibility
-of a mobilization and concentration of economic forces
-in the event of war?’</p>
-
-<p>“Answer: ‘In the event of an attack against Germany, certainly.’</p>
-
-<p>“Question: ‘Now, putting your mind back to 1937, are you able
-to say what sort of an attack you were concerned with?’</p>
-
-<p>“Answer: ‘I do not know, Sir.’</p>
-
-<p>“Question: ‘Did you have thoughts on that at the time?’</p>
-
-<p>“Answer: ‘No, never.’</p>
-
-<p>“Question: ‘Did you then consider that the contingency of war
-in 1937 was so remote as to be negligible?’</p>
-
-<p>“Answer: ‘Yes.’</p>
-
-<p>“Question: ‘You did?’</p>
-
-<p>“Answer: ‘Yes.’ ” (Document Number 3728-PS)</p>
-
-</div>
-
-<p class='pindent'>Did you give those answers?</p>
-
-<p class='pindent'>SCHACHT: I have made exactly the same statements as found
-in this interrogation, here before the Tribunal.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, you testified that you tried to
-divert Hitler’s plan which was to move and expand to the East—you
-tried to divert his attention to colonies instead.</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: What colonies? You have never
-specified.</p>
-
-<p class='pindent'>SCHACHT: Our colonies.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And where were they located?</p>
-
-<p class='pindent'>SCHACHT: I assume that you know that exactly as well as I do.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You are the witness, Dr. Schacht. I
-want to know what you were telling Hitler, not what I know.</p>
-
-<p class='pindent'>SCHACHT: Oh, what I told Hitler? I told Hitler we should try
-to get back a part of the colonies which belonged to us and the
-administration of which was taken away from us, so that we could
-work there.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: What colonies?</p>
-
-<p class='pindent'>SCHACHT: I was thinking especially of the African colonies.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And those African colonies you would
-regard as essential to your plan for the future of Germany?
-<span class='pageno' title='10' id='Page_10'></span></p>
-
-<p class='pindent'>SCHACHT: Not those, but generally any colonial activity; and
-of course, at first, I could only limit my colonial desires to our own
-property.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And your property, as you call it, was
-the African colonies?</p>
-
-<p class='pindent'>SCHACHT: Not I personally called them that. That is what the
-Treaty of Versailles calls them—“our property.”</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Any way you wish it, you wanted the
-colonies you are talking about.</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You considered that the possession and
-exploitation of colonies was necessary to the sort of Germany that
-you had in mind creating?</p>
-
-<p class='pindent'>SCHACHT: If you would replace the word “exploitation” by
-“development,” I believe there will be no misunderstanding, and
-to that extent I agree with you completely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, by “development” you mean
-trading, and I suppose you expected to make a profit out of trade?</p>
-
-<p class='pindent'>SCHACHT: No, not only “trade” but “developing the natural
-resources” or the economic possibilities of the colonies.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And it was your proposal that Germany
-should become reliant upon those colonies instead of relying
-on expansion to the East?</p>
-
-<p class='pindent'>SCHACHT: I considered every kind of expansion within the
-European continent as sheer folly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: But you agreed with Hitler that expansion,
-either colonial or to the East, was a necessary condition of
-the kind of Germany you wanted to create.</p>
-
-<p class='pindent'>SCHACHT: No, that I never said. I told him it was nonsense
-to undertake anything toward the East. Only colonial development
-could be considered.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you proposed as a matter of policy
-that Germany’s development should depend on colonies with which
-there was no overland trade route to Germany and which, as you
-knew, would require a naval power to protect them.</p>
-
-<p class='pindent'>SCHACHT: I do not think that at all—how do you get that idea?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, you do not get to Africa overland,
-do you? You have to go by water at some point, do you not?</p>
-
-<p class='pindent'>SCHACHT: You can go by air.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: What was your trade route? You were
-thinking only of air developments?
-<span class='pageno' title='11' id='Page_11'></span></p>
-
-<p class='pindent'>SCHACHT: No, no. I thought of ships also.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes. And Germany was not then a
-naval power?</p>
-
-<p class='pindent'>SCHACHT: I believe we had a merchant marine which was quite
-considerable.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Did your colonial plan involve rearmament
-by way of making Germany a naval power to protect the trade
-routes to the colonies that you were proposing?</p>
-
-<p class='pindent'>SCHACHT: Not in the least.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Then your plan was to leave the
-trade route unprotected?</p>
-
-<p class='pindent'>SCHACHT: Oh, no. I believed that international law would be
-sufficient protection.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, that is what you disagreed with
-Hitler about.</p>
-
-<p class='pindent'>SCHACHT: We never spoke about that.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, in any event he rejected your
-plan for colonial developments?</p>
-
-<p class='pindent'>SCHACHT: Oh, no. I have explained here that upon my urgent
-request he gave me the order in summer 1936 to take up these
-colonial matters.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Did you not give these answers in
-your interrogation, Dr. Schacht?</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘In other words, at the time of your talks with
-Hitler in 1931 and 1932 concerning colonial policy, you did
-not find him, shall we say, enthusiastic about the possibility?’</p>
-
-<p>“Answer: ‘Neither enthusiastic nor very much interested.’</p>
-
-<p>“Question: ‘But he expressed to you what his views were
-alternatively to the possibility of obtaining colonies?’</p>
-
-<p>“Answer: ‘No, we did not go into other alternatives.’ ”</p>
-
-</div>
-
-<p class='pindent'>Did you give those answers?</p>
-
-<p class='pindent'>SCHACHT: Certainly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, after the Fritsch affair, at least,
-you knew that Hitler was not intent upon preserving the peace of
-Europe by all possible means.</p>
-
-<p class='pindent'>SCHACHT: Yes, I had my doubts.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And after the Austrian Anschluss you
-knew that the Wehrmacht was an important factor in his Eastern
-policy?
-<span class='pageno' title='12' id='Page_12'></span></p>
-
-<p class='pindent'>SCHACHT: Well, you may express it that way. I do not know
-exactly what you mean by it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, do not answer anything if you
-do not know what I mean, because we will make it clear as we go
-along. Except for the suggestion of colonies you proposed no other
-alternative to his plan of expansion to the East?</p>
-
-<p class='pindent'>SCHACHT: No.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Never at any Cabinet meeting or elsewhere
-did you propose any other alternative?</p>
-
-<p class='pindent'>SCHACHT: No.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, as to the move into Austria, I
-think you gave these answers:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Actually Hitler did not use the precise method
-that you say you favored?’</p>
-
-<p>“Answer: ‘Not at all.’</p>
-
-<p>“Question: ‘Did you favor the method that he did employ?’</p>
-
-<p>“Answer: ‘Not at all, Sir.’</p>
-
-<p>“Question: ‘What was there in his method that you did not
-like?’</p>
-
-<p>“Answer: ‘Oh, it was simply overrunning, just taking the
-Austrians over the head—or what do you call it? It was
-force, and I have never been in favor of such force.’ ”</p>
-
-</div>
-
-<p class='pindent'>Did you give those answers?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, you have made considerable complaint
-here that foreigners did not come to your support at various
-times in your efforts to block Hitler, have you not?</p>
-
-<p class='pindent'>SCHACHT: Certainly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You knew at the time of the Austrian
-Anschluss the attitude of the United States towards the Nazi regime,
-as expressed by President Roosevelt, did you not?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you knew of his speech suggesting
-that the Nazi menace ought to be quarantined to prevent its spread?</p>
-
-<p class='pindent'>SCHACHT: I do not remember; but I certainly must have read
-it at that time, if it was published in Germany, as I assume it was.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Goebbels let loose a campaign of attack
-on the President as a result of it, did he not?</p>
-
-<p class='pindent'>SCHACHT: I assume I read that.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: As a matter of fact, you joined in the
-attack on foreigners who were criticizing the methods, did you not?
-<span class='pageno' title='13' id='Page_13'></span></p>
-
-<p class='pindent'>SCHACHT: When and where? What attacks?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: All right. After the Austrian Anschluss,
-when force was used, with your disapproval, you immediately
-went in and took over the Austrian National Bank, did you not?</p>
-
-<p class='pindent'>SCHACHT: That was my duty.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes. Well, you did it.</p>
-
-<p class='pindent'>SCHACHT: Of course.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you liquidated it for the account
-of the Reich.</p>
-
-<p class='pindent'>SCHACHT: Not liquidated; I merged it, amalgamated it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I beg your pardon?</p>
-
-<p class='pindent'>SCHACHT: Amalgamated.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Amalgamated it. And you took over
-the personnel?</p>
-
-<p class='pindent'>SCHACHT: Everything.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes. And the decree doing so was
-signed by you.</p>
-
-<p class='pindent'>SCHACHT: Certainly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes. And you called the employees
-together on 21 March 1938.</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And made a speech to them.</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And did you say the following among
-other things...</p>
-
-<p class='pindent'>SCHACHT: Certainly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, you have not heard it yet.</p>
-
-<p class='pindent'>SCHACHT: Yes, I heard it during the case of the Prosecution.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, I would like to quote some of
-it to you and remind you of it.</p>
-
-<div class='blockquote'>
-
-<p>“I think it is quite useful if we recall these things to our mind
-in order to expose all the sanctimonious hypocrisy exuding
-from the foreign press. Thank God, these things could after
-all not hinder the great German people on their way, for
-Adolf Hitler has created a communion of German will and
-German thought. He has bolstered it up with the newly
-strengthened Wehrmacht, and he has thereby given the external
-aspect to the inner union between Germany and
-Austria.
-<span class='pageno' title='14' id='Page_14'></span></p>
-
-<p>“I am known for sometimes expressing thoughts which give
-offense; nor would I care to depart from this custom today.”</p>
-
-<p>“Hilarity” is noted at this point in your speech.</p>
-
-<p>“I know that there are even here in this country a few people—I
-believe they are not too numerous—who find fault with
-the events of the last few days. But nobody, I believe, doubts
-the goal; and it should be said to all hecklers that you cannot
-satisfy everybody. There are those who say they would have
-done it in some other way, perhaps, but strange to say they
-did not do it”—and in parentheses the word “hilarity” appears
-again. Continuing with your speech—“it was done by our
-Adolf Hitler (Long, continued applause); and if there is still
-something left to be improved, then those hecklers should try
-to bring about these improvements from within the German
-Reich and the German community and not disturb it from
-without.” (Document EC-297)</p>
-
-</div>
-
-<p class='pindent'>Did you use that language?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: In other words, you publicly ridiculed
-those who were complaining of the methods, did you not?</p>
-
-<p class='pindent'>SCHACHT: If that is the way you see it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Then you also, in addressing the personnel
-of the Austrian National Bank, which you were taking over,
-said this:</p>
-
-<div class='blockquote'>
-
-<p>“I consider it completely impossible that even a single person
-will find a future with us who is not wholeheartedly for Adolf
-Hitler. (Loud, continued applause; shouts of ‘Sieg Heil’).”</p>
-
-</div>
-
-<p class='noindent'>Continuing with the speech:</p>
-
-<div class='blockquote'>
-
-<p>“Whoever does not do so had better withdraw from our circle
-of his own accord. (Loud applause).”</p>
-
-</div>
-
-<p class='pindent'>Is that what happened?</p>
-
-<p class='pindent'>SCHACHT: Yes, they all agreed, surprisingly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, had the Reichsbank before 1933
-and 1934 been a political institution?</p>
-
-<p class='pindent'>SCHACHT: No.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Had politics been in the Reichsbank?</p>
-
-<p class='pindent'>SCHACHT: Never.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, on this day, speaking to its employees,
-you said this, did you not?</p>
-
-<div class='blockquote'>
-
-<p>“The Reichsbank will always be nothing but National Socialist,
-or I shall cease to be its manager. (Heavy, protracted applause).”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='15' id='Page_15'></span></p>
-
-<p class='pindent'>Did that happen?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, Sir, you have said that you never
-took the oath to Hitler.</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I ask you if this is what you, as head
-of the Reichsbank, required of the employees whom you were
-taking over in Austria; and I quote:</p>
-
-<div class='blockquote'>
-
-<p>“Now I shall ask you to rise. (The audience rises.) Today we
-pledge allegiance to the great Reichsbank family, to the great
-German community; we pledge allegiance to our newly arisen,
-powerful Greater German Reich, and we sum up all these
-sentiments in the allegiance to the man who has brought
-about all this transformation. I ask you to raise your hands
-and to repeat after me:</p>
-
-<p>“I swear that I will be faithful and obedient to the Führer
-of the German Reich and the German people, Adolf Hitler,
-and will perform my duties conscientiously and selflessly.
-(The audience takes the pledge with uplifted hands.)</p>
-
-<p>“You have taken this pledge. A bad fellow he who breaks it.
-To our Führer a triple ‘Sieg Heil’.”</p>
-
-</div>
-
-<p class='pindent'>Is that a correct representation of what took place?</p>
-
-<p class='pindent'>SCHACHT: The oath is the prescribed civil service oath and it
-is quite in accordance with what I said here yesterday, that the oath
-is made to the head of the state just as I have stated before too:
-“We stand united before the German people”—I do not know exactly
-what the German expression is. I hear your English version here.
-That oath is exactly the same.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I have referred to Document EC-297,
-Exhibit USA-632, in the course of this. That is the exhibit I have
-been using.</p>
-
-<p class='pindent'>So you say that was to an impersonal head of state and not to
-Adolf Hitler?</p>
-
-<p class='pindent'>SCHACHT: Yes. One obviously cannot take an oath to an idea.
-Therefore, one has to use a person. But I said yesterday that I did
-not take an oath to Herr Ebert or to Herr Hindenburg or to the
-Kaiser, but to the head of State as representative of the people.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You told your employees that all of
-the sentiments of this oath were summed up in the allegiance to the
-man, did you not?</p>
-
-<p class='pindent'>SCHACHT: No.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Is that not what you said?
-<span class='pageno' title='16' id='Page_16'></span></p>
-
-<p class='pindent'>SCHACHT: No, that is not correct. If you read it again, it does
-not say to the man but to the leader as the head of State.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, no matter what you took the
-oath to...</p>
-
-<p class='pindent'>SCHACHT: [<span class='it'>Interposing.</span>] Excuse me. There is a very great difference.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, we will get to that. Whatever
-you took the oath to, you were breaking it at the very time, were
-you not?</p>
-
-<p class='pindent'>SCHACHT: No. I never broke the oath to this man as representative
-of the German people, but I broke my oath when I found
-out that that man was a criminal.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: When you plotted to cause his death?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Do you want to explain to the Tribunal
-how you could cause the death of Adolf Hitler without also
-causing the death of the head of the German State?</p>
-
-<p class='pindent'>SCHACHT: There is no difference because unfortunately that
-man was the head of the German nation.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You say you never broke the oath?</p>
-
-<p class='pindent'>SCHACHT: I do not know what you want to express by that.
-Certainly I did not keep the oath which I took to Hitler because
-Hitler unfortunately was a criminal, a perjurer, and there was no
-true head of State. I do not know what you mean by “breaking the
-oath,” but I did not keep my oath to him and I am proud of it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: So you were administering to your
-employees an oath which you at that moment were breaking and
-intended to break?</p>
-
-<p class='pindent'>SCHACHT: Again you confuse different periods of time, Mr.
-Justice. That was in March 1938 when as you have heard me say
-before, I still was in doubt, and therefore it was not clear to me
-yet what kind of a man Hitler was. Only when in the course of
-1938 I observed that Hitler was possibly walking into a war, did
-I break the oath.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: When did you find him walking into
-a war?</p>
-
-<p class='pindent'>SCHACHT: In the course of 1938 when, judging from the events,
-I gradually became convinced that Hitler might steer into a war,
-that is to say, intentionally. Then only did I break my oath.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, you stated yesterday that you
-started to sabotage the government in 1936 and 1937.
-<span class='pageno' title='17' id='Page_17'></span></p>
-
-<p class='pindent'>SCHACHT: Yes, because I did not want excessive armament.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And we find you administering an
-oath to the employees to be faithful and obedient.</p>
-
-<p class='pindent'>Now, I ask you if you did not make this statement in interrogation:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘But you make this statement at the end of the
-oath, after everybody has raised his hand and made his
-oath. Did you say the following, “You have taken this
-pledge. A bad fellow he who breaks it”?’</p>
-
-<p>“Answer: ‘Yes, I agree to that and I must say that I myself
-broke it.’</p>
-
-<p>“Question: ‘Do you also say that at the time that you urged
-this upon the audience, that you already were breaking it?’</p>
-
-<p>“Answer: ‘I am sorry to say that within my soul I felt very
-shaken in my loyalty already at that time, but I hoped that
-things would turn out well at the end.’ ”</p>
-
-</div>
-
-<p class='pindent'>SCHACHT: I am glad that you quote this because it confirms
-exactly what I have just said; that I was in a state of doubt and
-that I still had hope that everything would come out all right;
-that is to say, that Hitler would develop in the right direction.
-So it confirms exactly what I have just said.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, I am sure we want to be helpful
-to each other, Dr. Schacht.</p>
-
-<p class='pindent'>SCHACHT: I am convinced that both of us are trying to find
-the truth, Mr. Justice.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, you remained in the Reichsbank
-after this Anschluss, of course?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you remained there until later—until
-January 1939, if that is the date?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, after this Anschluss, the mefo
-bills which had been issued began to become due, did they not,
-in 1938 and 1939?</p>
-
-<p class='pindent'>SCHACHT: No, the maturity date of the first mefo bills must
-have been at the earliest in the spring of 1939. They had all been
-issued for 5 years and I assume that the first mefo bills were
-issued in the spring of 1934, so that the first mefo bills became
-due in the spring of 1939.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, this is the question and the
-answer. Correct me if I am wrong.
-<span class='pageno' title='18' id='Page_18'></span></p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Well, did you in the Reichsbank utilize funds
-which were available? Let me put it this way: As these
-mefo bills became due, what did you do about them?’</p>
-
-<p>“Answer: ‘I asked the Minister of Finance whether he could
-repay them, because after 5 years he had to repay them,
-some in 1938 or 1939, I think. The first mefo bills would
-have become due for repayment and of course he said, “I
-cannot.” ’ ”</p>
-
-</div>
-
-<p class='pindent'>You had that conversation with the Finance Minister while
-you were still President of the Reichsbank?</p>
-
-<p class='pindent'>SCHACHT: Mr. Justice, I said that throughout our financial
-dealings we became somewhat worried as to whether we would
-get our bills paid back or not. I have already explained to the
-Tribunal that in the second half of 1938 the Finance Minister got
-into difficulties and he came to me in order again to borrow
-money. Thereupon I said to him, “Listen, in what kind of a situation
-are you anyway for you will soon have to repay the first
-mefo bills to us. Are you not prepared for that?” And now it
-turned out, that was in the fall of 1938, that the Reich Finance
-Minister had done nothing whatever to fulfill his obligation to
-meet payment of the mefo bills; and that, of course, in the fall
-of 1938, made for exceedingly strained relations with the Reich
-Finance Minister, that is, between the Reichsbank and the Reich
-Finance Minister.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, taxes did not yield any sufficient
-revenue to discharge those bills, did they?</p>
-
-<p class='pindent'>SCHACHT: Yes; I explained already yesterday that the risk
-which was taken in the mefo bills, which I have admitted from
-the very beginning, was not really a risk if a reasonable financial
-policy were followed; that is, if from 1938 on, further armament
-had not continued and additional foolish expenditures not been
-made, but if instead, the money accruing from taxes and bonds
-had been used for meeting the payment of the mefo bills.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: All I am asking you at the present
-moment, Dr. Schacht, is whether these bills could not have been
-paid out of the revenue from taxes.</p>
-
-<p class='pindent'>SCHACHT: Surely. Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: They could have?</p>
-
-<p class='pindent'>SCHACHT: Of course, but that was the surprising thing, they
-were not repaid; the money was used to continue rearming. May
-I add something in order to give you further information?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: No, I am really not concerned with
-the financing; I am merely concerned with what kind of a mess
-you were in at the time you resigned.
-<span class='pageno' title='19' id='Page_19'></span></p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: The mefo bills were due and could
-not be paid?</p>
-
-<p class='pindent'>SCHACHT: Shortly.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: They were shortly to mature?</p>
-
-<p class='pindent'>SCHACHT: Yes, but they could be paid. That is a mistake if
-you say that they could not be paid.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, they could not be paid out of
-the current year’s taxes, could they?</p>
-
-<p class='pindent'>SCHACHT: Yes, indeed. You are not interested and do not want
-me to tell you, but I am quite ready to explain it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, you have explained it pretty
-well to us.</p>
-
-<p class='pindent'>SCHACHT: You have just told me you were not interested.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Your subscriptions to the Fourth Reich
-Loan of 1938 had produced unsatisfactory results, had they not?</p>
-
-<p class='pindent'>SCHACHT: They were hardly pleasing. The capital market
-was not good.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you have reported on the loan
-that there had been a shortage in the public subscription? And the
-result had been unsatisfactory?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, did you not make this answer
-to the interrogator’s question:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘But I am asking you whether during that period
-from 1 April 1938 to January 1939 you did not continue to
-finance armaments?’</p>
-
-<p>“Answer: ‘Sir, otherwise these mefo bills had to be refunded
-by the Reich, which they could not be, because the Reich
-had no money to do it; and I could not procure any money
-for refunding because that would have had to come from
-taxes or loans. So I had to continue to carry these mefo bills
-and that, of course, I did.’ ”</p>
-
-</div>
-
-<p class='pindent'>Did you give that answer?</p>
-
-<p class='pindent'>SCHACHT: Yes, that was quite in order—kindly let me speak,
-would you not—because the Finance Minister did not make his
-funds available for the repayment of the mefo bills, but instead
-gave them for armaments. If he had used these funds to pay the
-mefo bills, everything would have been all right.
-<span class='pageno' title='20' id='Page_20'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you carried the mefo bills which
-let him use current revenues to continue the plans of rearmament
-after 1938, did you not?</p>
-
-<p class='pindent'>SCHACHT: Mr. Justice, this was the situation. A large part
-of the mefo bills was already on the financial and capital market.
-Now, when that market was too heavily burdened by the government,
-then the people brought in the mefo bills to the Reichsbank,
-for the Reichsbank had promised to accept them. That, precisely,
-was the great obstruction to my policy. The Reich Finance Minister
-financed the armament instead of honoring the mefo bills as he had
-promised.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, it was under those circumstances
-that you took a position which would result in your retirement
-from the Reichsbank?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now we come to Czechoslovakia.
-Did you favor the policy of acquiring the Sudetenland by threat
-of resort to arms?</p>
-
-<p class='pindent'>SCHACHT: Not at all.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I think you characterized the manner
-in which the Sudetenland was acquired as wrong and reprehensible.</p>
-
-<p class='pindent'>SCHACHT: I do not know when I could have done that. I said
-that the Allies, by their policy, gave the Sudetenland to Hitler,
-whereas I always had expected only that the Sudeten Germans
-would be given autonomy.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Then you approved of Hitler’s policy
-in handling the Sudetenland situation? Is that what you want to
-be understood as saying?</p>
-
-<p class='pindent'>SCHACHT: I never knew that Hitler, beyond autonomy, demanded
-anything else.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Your only criticism of the Czechoslovakian
-situation relates to the Allies, as I understand you?</p>
-
-<p class='pindent'>SCHACHT: Well, it also applies to the Czechs, maybe to the
-Germans too; for goodness sake, I do not want to play the
-judge here.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, now on 16 October 1945, in
-Exhibit USA-636, Document 3728-PS, I ask if you did not make
-these replies to questions:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Now, I am coming back to the march against
-Czechoslovakia which resulted in the appeasement policy,
-Munich, and the cession of the Sudetenland to the Reich.’</p>
-
-<p>“Answer: ‘Yes.’
-<span class='pageno' title='21' id='Page_21'></span></p>
-
-<p>“Question: ‘Did you at that time favor the policy of acquiring
-the Sudetenland?’</p>
-
-<p>“Answer: ‘No.’</p>
-
-<p>“Question: ‘Did you favor at that time the policy of threatening
-or menacing the Czechs by force of arms so as to acquire
-the Sudetenland?’</p>
-
-<p>“Answer: ‘No, certainly not.’</p>
-
-<p>“Question: ‘Then I ask you, did it strike you at that time, did
-it come to your consciousness, that the means which Hitler
-was using for threatening the Czechs was the Wehrmacht and
-the armament industry?’</p>
-
-<p>“Answer: ‘He could not have done it without the Wehrmacht.’ ”</p>
-
-</div>
-
-<p class='pindent'>Did you give those answers?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Continuing:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Did you consider the manner in which he handled
-the Sudeten question wrong or reprehensible?’</p>
-
-<p>“Answer: ‘Yes.’</p>
-
-<p>“Question: ‘You did?’</p>
-
-<p>“Answer: ‘Yes, Sir.’</p>
-
-<p>“Question: ‘And did you have a feeling at that time, looking
-back on the events that had proceeded and in your own
-participation in them, that this army which he was using
-as a threat against Czechoslovakia was at least in part an
-army of your own creation? Did that ever strike you?’</p>
-
-<p>“Answer: ‘I cannot deny that, Sir.’ ”</p>
-
-</div>
-
-<p class='pindent'>SCHACHT: Certainly not.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: But here again, you turned in to
-help Hitler, once he had been successful with it, did you not?</p>
-
-<p class='pindent'>SCHACHT: How can you say such a thing? I certainly did not
-know that Hitler would use the army in order to threaten other
-nations.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: After he had done it, you turned in
-and took over the Czech bank, did you not?</p>
-
-<p class='pindent'>SCHACHT: Of course.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes. You followed to clean up
-economically just so far as Hitler got the territory, did you not?</p>
-
-<p class='pindent'>SCHACHT: But I beg your pardon. He did not take it with
-violence at all. The Allies presented him with the country. The
-whole thing was settled peacefully.
-<span class='pageno' title='22' id='Page_22'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, we have your testimony on
-the part the Wehrmacht played in it and what part you played
-in the Wehrmacht.</p>
-
-<p class='pindent'>SCHACHT: Yes, I have never denied that.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: No. What I mean is this, referring
-to your interrogation of 17 October (Exhibit US-616):</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Now, after the Sudetenland was taken over by
-the Munich agreement, did you, as the President of the
-Reichsbank, do anything about the Sudeten territory?’</p>
-
-<p>“Answer: ‘I think we took over the affiliations of the Czech
-Bank of Issue.’</p>
-
-<p>“Question: ‘And you also arranged for the currency conversion,
-did you not?’</p>
-
-<p>“Answer: ‘Yes.’ ”</p>
-
-</div>
-
-<p class='pindent'>That is what you did after this wrong and reprehensible act
-had been committed by Hitler, did you not?</p>
-
-<p class='pindent'>SCHACHT: It is no “wrong and reprehensible” act “committed”
-by Hitler, but Hitler received the Sudeten German territory by way
-of treaty and, of course, the currency and the institute which directed
-financing had to be amalgamated with this field in Germany. There
-can be no talk of injustice. I cannot believe that the Allies have put
-their signature to a piece of injustice.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: So you think that everything up to
-Munich was all right?</p>
-
-<p class='pindent'>SCHACHT: No. I am certainly of a different opinion. There
-was much injustice.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Were you in this Court when Göring
-testified to his threat to bomb Prague—“the beautiful city of
-Prague”?</p>
-
-<p class='pindent'>SCHACHT: Thanks to your invitation, I was here.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes. I suppose you approved that use
-of the force which you had created in the Wehrmacht?</p>
-
-<p class='pindent'>SCHACHT: Disapproved; disapproved under all circumstances.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You did not think that was right
-dealing, then?</p>
-
-<p class='pindent'>SCHACHT: No, no, that was an atrocious thing.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, we have found something we
-agree on, Doctor. You knew of the invasion of Poland?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You regarded it as an unqualified act
-of aggression on Hitler’s part, did you not?
-<span class='pageno' title='23' id='Page_23'></span></p>
-
-<p class='pindent'>SCHACHT: Absolutely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: The same was true of the invasion
-of Luxembourg, was it not?</p>
-
-<p class='pindent'>SCHACHT: Absolutely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And of Holland?</p>
-
-<p class='pindent'>SCHACHT: Absolutely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And of Denmark?</p>
-
-<p class='pindent'>SCHACHT: Absolutely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And of Norway?</p>
-
-<p class='pindent'>SCHACHT: Absolutely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And of Yugoslavia?</p>
-
-<p class='pindent'>SCHACHT: Absolutely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And of Russia?</p>
-
-<p class='pindent'>SCHACHT: Absolutely, sir; and you have left out Norway and
-Belgium.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Yes; well, I got to the end of my
-paper. The entire course was a course of aggression?</p>
-
-<p class='pindent'>SCHACHT: Absolutely to be condemned.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And the success of that aggression at
-every step was due to the Wehrmacht which you had so much to
-do with creating?</p>
-
-<p class='pindent'>SCHACHT: Unfortunately.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, I intend to take up another subject
-and perhaps it would be ... it is almost recess time.</p>
-
-<p class='pindent'>THE PRESIDENT: We will adjourn now.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>MARSHAL (Colonel Charles W. Mays): If it pleases the Tribunal,
-the report is made that Defendant Von Neurath is absent.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Dr. Schacht, in your direct testimony
-you made reference to a film, which was taken and exhibited in
-Germany for propaganda purposes, of your demeanor on the occasion
-of Hitler’s return after the fall of France.</p>
-
-<p class='pindent'>SCHACHT: May I correct that? Not I, but my counsel, spoke of
-this film; and it was not mentioned that it was used for propaganda
-purposes. My counsel merely said that it had been run in a newsreel,
-so it probably was shown for about one week.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I will ask to exhibit that film to the
-Tribunal. It is a very brief film, and the movement in it is very
-<span class='pageno' title='24' id='Page_24'></span>
-rapid. There is very little of translation involved in it, but the
-speed of it is such that for myself I had to see it twice in order
-to really see what it is.</p>
-
-<p class='pindent'>THE PRESIDENT: Do you want to put it on now?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I would like to put it on now. It
-will take only a moment, and Dr. Schacht should be placed where
-he can see it for I want to ask him some questions and [<span class='it'>Turning
-to the defendant</span>] particularly I may ask you to identify the persons
-in it.</p>
-
-<p class='pindent'>I will ask, if I may, to have it shown twice, so that after all
-has been seen you can once more see it.</p>
-
-<p class='pindent'>THE PRESIDENT: Certainly.</p>
-
-<p class='pindent'>[<span class='it'>Moving pictures were then shown.</span>]</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I think that I, in mentioning this exhibit
-which I wish to offer in evidence, spoke of it as a “propaganda
-film.” That was not the language of Dr. Dix. Dr. Dix
-described it as a “weekly newsreel” and as a “weekly film.”</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] While our memory is fresh about
-that, will you tell the Court as many of the defendants as you
-recognized present in that picture?</p>
-
-<p class='pindent'>SCHACHT: In glancing at it quickly I could not see exactly
-who was there. However, I should assume that almost all were
-present—I say that from memory, not from the film—either in
-Hitler’s retinue or among those who received him.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: While you were still President of the
-Reichsbank and after the action in taking over the Czechoslovakian
-Bank you made a speech, did you not, on 29 November 1938?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: It is Document EC-611, Exhibit USA-622.
-I am advised that the film became Exhibit USA-835, and
-before I pass from it I would like to offer the statement as to the
-personality of Hermann Göring, which is Document 3936-PS, as
-Exhibit USA-836.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] In this speech of 29 November 1938,
-Dr. Schacht, if I am correctly informed—and by the way, it was
-a public speech was it not?</p>
-
-<p class='pindent'>SCHACHT: Inasmuch as it was made before the German Academy.
-It was entirely public, and if it passed the censorship it
-certainly was also mentioned in the papers. It was public; anyone
-could hear it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You used this language, did you not?:
-<span class='pageno' title='25' id='Page_25'></span></p>
-
-<div class='blockquote'>
-
-<p>“It is possible that no bank of issue in peace times has carried
-on such a daring credit policy as has the Reichsbank
-since the seizure of power by National Socialism. With the
-aid of this credit policy, however, Germany has created an
-armament second to none, and this armament in turn has
-made possible our political successes.” (Document EC-611)</p>
-
-</div>
-
-<p class='pindent'>Is that correct?</p>
-
-<p class='pindent'>SCHACHT: That is absolutely correct, and—would you please
-mind letting me talk in the future? That is correct and I was very
-much surprised that it was necessary to do this in order to create
-justice in the world.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: The taking over of Czechoslovakia
-representing your idea of justice?</p>
-
-<p class='pindent'>SCHACHT: I have already told you that Germany did not “take
-over Czechoslovakia,” but that it was indeed presented to Germany
-by the Allies on a silver platter.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Are you now saying that that was
-an act of justice, or are you condemning it? I cannot get your
-position, Doctor. Just tell us, were you for it? Are you today for
-it, or against it?</p>
-
-<p class='pindent'>SCHACHT: Against what? Will you please tell me against what
-and for what?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Against the taking over of the
-Sudetenland by the method by which it was done.</p>
-
-<p class='pindent'>SCHACHT: I cannot answer your question for the reason that,
-as I said, it was no “taking over,” but was a present. If someone
-gives me a present, such as this, I accept it gratefully.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Even though it does not belong to
-them to give?</p>
-
-<p class='pindent'>SCHACHT: Well, that I must naturally leave up to the donor.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And although it was taken at the
-point of a gun, you still would accept the gift?</p>
-
-<p class='pindent'>SCHACHT: No, it was not taken “at the point of a gun.”</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, we will pass on to your speech.
-Did you say also:</p>
-
-<div class='blockquote'>
-
-<p>“Instead of a weak and vacillating government a single, purposeful,
-energetic personality is ruling today. That is the
-great miracle which has happened in Germany and which
-has had its effect in all fields of life and not last in that of
-economy and finance. There is no German financial miracle.
-There is only the miracle of the reawakening of German
-<span class='pageno' title='26' id='Page_26'></span>
-national consciousness and German discipline, and we owe
-this miracle to our Führer, Adolf Hitler.” (Document EC-611)</p>
-
-</div>
-
-<p class='pindent'>Did you say that?</p>
-
-<p class='pindent'>SCHACHT: Certainly. That was what I was so greatly astonished
-at.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: As Minister without Portfolio, what
-did your Ministry consist of?</p>
-
-<p class='pindent'>SCHACHT: Nothing.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: What employees did you have?</p>
-
-<p class='pindent'>SCHACHT: One female secretary.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: What space did you occupy?</p>
-
-<p class='pindent'>SCHACHT: Two or three rooms in my own apartment which
-I had furnished as office rooms.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: So the government did not even furnish
-you an office?</p>
-
-<p class='pindent'>SCHACHT: Yes, they paid me a rental for those rooms.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Oh, and whom did you meet with as
-Minister without Portfolio?</p>
-
-<p class='pindent'>SCHACHT: I do not understand. Whom I met with?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, did you have any meetings?
-Did you have any official meetings to attend?</p>
-
-<p class='pindent'>SCHACHT: I have stated here repeatedly that, after my retirement
-from the Reichsbank, I never had a single meeting or conference,
-official or otherwise.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Did anybody report to you, or did
-you report to anybody?</p>
-
-<p class='pindent'>SCHACHT: No, no one reported to me, nor did I report to anyone
-else.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Then I take it that you had no duties
-whatever in this position?</p>
-
-<p class='pindent'>SCHACHT: Absolutely correct.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you were Minister without Portfolio,
-however, at the time that Hitler came back from France, and
-you attended the reception for him at the railway station? And
-went to the Reichstag to hear his speech?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, notwithstanding your removal
-as President of the Reichsbank, the government continued to pay
-you your full salary until the end of 1942, did it not?
-<span class='pageno' title='27' id='Page_27'></span></p>
-
-<p class='pindent'>SCHACHT: I stated yesterday that that is not correct. I received
-my salary from the Reichsbank, which was due to me by contract,
-but a minister’s salary was not paid to me. I believe that as Minister
-I received certain allowances to cover expenses, I cannot say
-that at the moment; but I did not receive a salary as a Minister.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, I will return to your interrogation
-of 9 October 1945 and ask you whether you gave these
-answers to these questions on that interrogation:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘What salary did you receive as Minister without
-Portfolio?’</p>
-
-<p>“Answer: ‘I could not tell you exactly. I think it was some
-24,000 marks, or 20,000 marks. I cannot tell you exactly, but
-it was accounted on the salary and afterward on the pension
-which I got from the Reichsbank, so I was not paid twice.
-I was not paid twice.’</p>
-
-<p>“Question: ‘In other words, the salary that you received as
-Minister without Portfolio during the period you were also
-President of the Reichsbank was deducted from the Reichsbank?’</p>
-
-<p>“Answer: ‘Yes.’</p>
-
-<p>“Question: ‘However, after you severed your connection with
-the Reichsbank in January 1939, did you then receive the
-whole salary?’</p>
-
-<p>“Answer: ‘I got the whole salary because my contract ran
-until the end of June 1942, I think.’</p>
-
-<p>“Question: ‘So you received a full salary until the end of June
-1942?’</p>
-
-<p>“Answer: ‘Full salary and no extra salary, but from the 1st
-of July 1942 I got my pension from the Reichsbank, and again
-the salary of the Ministry was deducted from that, or vice
-versa. What was higher, I do not know; I got a pension of
-about 30,000 marks from the Reichsbank.’ ”</p>
-
-</div>
-
-<p class='pindent'>And on 11 July 1945, at Ruskin, you were questioned and gave
-answers as follows:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘What was the date of your contract?’</p>
-
-<p>“Answer: ‘From 8 March 1939, 1940, 1941, 1942. Four years.
-Four years’ contract.’</p>
-
-<p>“Question: ‘You were really then given a four-year appointment?’</p>
-
-<p>“Answer: ‘That is what I told you. After 1942 I got a pension
-from the Reichsbank.’</p>
-
-<p>“Question: ‘What was the amount of your salary and all other
-income from the Reichsbank?’
-<span class='pageno' title='28' id='Page_28'></span></p>
-
-<p>“Answer: ‘All the income from the Reichsbank, including my
-fees for representation, amounted to 60,000 marks a year, and
-the pension is 24,000. You see, I had a short contract but a
-high pension. As Reich Minister without Portfolio, I had
-another, I think also 20,000 or 24,000 marks.’ ”</p>
-
-</div>
-
-<p class='pindent'>Now, is that correct?</p>
-
-<p class='pindent'>SCHACHT: The salaries are stated on paper and are correctly
-cited here and I have indeed claimed that I was paid by one source
-only. I was asked, “What salary did you receive as Reich Minister?”
-I stated the amount, but I did not receive it, as it was merely
-deducted from my Reichsbank salary. And the pension, as I see
-here, is quoted wrongly in one case. I believe I had only 24,000
-marks’ pension, while it says here somewhere that it was 30,000
-marks. In my own money affairs I am somewhat less exact than
-in my official money affairs. However, I was paid only once, and
-that is mainly by the Reichsbank up to—and that also has not been
-stated here correctly. It was not the end of 1942, but the end of
-June 1942, that my contract expired. Then the pension began and
-it too was paid only once. How those two, that is, the Ministry and
-Reichsbank, arranged it with each other is unknown to me.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, you were entitled to a salary
-and a pension both, and one was offset against the other; is that
-what you mean? And that arrangement continued as long as you
-were a part of the regime?</p>
-
-<p class='pindent'>SCHACHT: It is still in effect today. It has nothing to do with
-the regime. I hope that I shall still receive my pension; how else
-should I pay my expenses?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, they may not be very heavy,
-Doctor.</p>
-
-<p class='pindent'>When General Beck resigned, he asked you to resign, did he not?</p>
-
-<p class='pindent'>THE PRESIDENT: Just a minute; it is quite unnecessary for
-anyone present in Court to show his amusement by laughter.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Were you asked to resign when General
-Beck resigned?</p>
-
-<p class='pindent'>SCHACHT: No, he did not say that.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Have you in mind the testimony given
-by Gisevius here?</p>
-
-<p class='pindent'>SCHACHT: Yes. It was a mistake on the part of Gisevius.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Oh, well, in any event, when General
-Beck resigned, it was called sharply to your attention?</p>
-
-<p class='pindent'>SCHACHT: He paid me a visit and told me about it a few days
-before his retirement. I assume that was about the end of August
-or the beginning of September of 1938.
-<span class='pageno' title='29' id='Page_29'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you say that no proposal was
-made to you at that time that you should resign along with Beck?</p>
-
-<p class='pindent'>SCHACHT: No, nothing was said about that. Beck saw me in
-my room; he did not mention anything of this sort, and it was not
-discussed by us.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Did it ever occur to you that resignation
-would be the appropriate way of expressing your protest
-against these things which you now say you disapprove?</p>
-
-<p class='pindent'>SCHACHT: No, I do not at all believe that a resignation would
-have been the means to achieve that which had to be done, and
-I also regretted it very much that Beck retired. That which happened,
-Mr. Justice, was caused by an entirely false policy—a policy
-that partly was forced upon us, and partly, I am sorry to say, was
-not handled properly by us. In February, Neurath was dismissed.
-In the fall Beck stepped out; in January 1939 I was dismissed. One
-after the other was gotten rid of. If it had been possible for our
-group—if I too may now speak of a group—to carry out a common
-action, as we hoped for and expected, then that would have been
-an excellent thing. However, these individual retirements served
-no purpose whatsoever; at least, they had no success.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You felt that Beck should have stayed
-at his post and been disloyal to the head of the State?</p>
-
-<p class='pindent'>SCHACHT: Absolutely.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And, in all events, you continued in
-every public way throughout the period, until the fall of France,
-to hold yourself out as a part of the government and a part of the
-regime, did you not?</p>
-
-<p class='pindent'>SCHACHT: Well, I never considered myself a part of the regime
-exactly, because I was against it. But, of course, ever since the
-fall of 1938 I worked towards my own retirement, as soon as I saw
-that Hitler did not stop the rearmament but continued it, and when
-I became aware that I was powerless to act against it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, when did you start working
-towards your own retirement?</p>
-
-<p class='pindent'>SCHACHT: Pardon me; I did not understand—to work towards
-what?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: When did you start working towards
-your own retirement from office.</p>
-
-<p class='pindent'>SCHACHT: After Munich and after we realized that we could
-no longer expect disarmament or a stopping of rearmament by
-Hitler and that we could not prevent a continuation of the rearmament;
-so, within the circles of the Reichsbank Directorate, we began
-<span class='pageno' title='30' id='Page_30'></span>
-to discuss this question and to realize that we could not follow the
-further course of rearmament. That was the last quarter of 1938.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And all of these events of which you
-disapproved never were of sufficient consequence to cause you to
-resign and withhold a further use of your name from this regime?</p>
-
-<p class='pindent'>SCHACHT: Until then I had still hoped that I could bring about
-a change for the better; consequently I accepted all the disadvantages
-entailed with my remaining in office, even facing the danger
-that some day I might be judged, as I am today.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You continued to allow your name
-to be used at home and abroad despite your disapproval, as you say,
-of the invasion of Poland?</p>
-
-<p class='pindent'>SCHACHT: I never was asked for my permission, and I never
-gave that permission.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You knew perfectly well, did you not,
-that your name meant a great deal to this group at any time and
-that you were one of the only men in this group who had any
-standing abroad?</p>
-
-<p class='pindent'>SCHACHT: The first part of your statement I already accepted
-yesterday from you as a compliment. The second part, I believe,
-is not correct. I believe that several other members of the regime
-also had a “standing” in foreign countries, some of whom are sitting
-with me here in the prisoners’ dock.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Any foreign observer, who read affairs
-in Germany, would have obtained the understanding that you were
-supporting the regime continuously until you were deprived of the
-office of Minister without Portfolio, would they not?</p>
-
-<p class='pindent'>SCHACHT: That is absolutely incorrect. As I have stated
-repeatedly yesterday and also during my direct examination, I was
-always referred to in foreign broadcasts as a man who was an opponent
-of this system, and all my numerous friends and acquaintances
-in foreign countries knew that I was against this system and
-worked against it. And if any journalist can be mentioned to me
-today who did not know this, then he does not know his business.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Oh, do you refer to the letter which
-you wrote to the New York banker Leon...?</p>
-
-<p class='pindent'>SCHACHT: Leon Fraser.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, at the time you sent that letter
-to Switzerland, there was a diplomatic representative of the United
-States in Berlin, was there not?</p>
-
-<p class='pindent'>SCHACHT: Yes.
-<span class='pageno' title='31' id='Page_31'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you knew he had a pouch communication
-at least once a week and usually once a day with
-Washington?</p>
-
-<p class='pindent'>SCHACHT: Yes, I did not know it, but I assumed it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And, if you wanted to communicate
-with the Government of the United States or with an official of the
-United States, you might have communicated through the regular
-channels?</p>
-
-<p class='pindent'>SCHACHT: I did not desire to communicate with the American
-Government or with an American official. I merely desired to
-re-establish my connection with a friend who had invited me in
-January to come to the United States, and I made reference to this
-previous correspondence between him and me in January.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: That disposes of the Fraser matter
-then.</p>
-
-<p class='pindent'>Now, Dr. Schacht, while you were Minister without Portfolio,
-aggressive wars were instituted, according to your testimony, against
-Poland, against Denmark and Norway in April of 1940, against
-Holland and Belgium in May of 1940; in June there was the French
-armistice and surrender; in September of 1940 there was the German-Japanese-Italian-Tripartite
-Pact; in April of 1941 there was
-an attack on Yugoslavia and Greece, which you say was aggressive;
-in June of 1941 there was the invasion of Soviet Russia, which you
-say was aggressive; on 7 December 1941 Japan attacked Pearl
-Harbor, and after the attack declared war on the United States;
-on 8 December 1941 the United States declared war on Japan, but
-not on Germany; on 11 December 1941, Germany and Italy declared
-war on the United States; and all of these things happened in the
-foreign field and you kept your position as Minister without Portfolio
-under the Hitler Government, did you not?</p>
-
-<p class='pindent'>SCHACHT: Mr. Justice...</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Did you not and is that not a fact?</p>
-
-<p class='pindent'>SCHACHT: Yes, and I wish to add something to this. From
-dozens of witnesses who have testified here, and from myself, you
-have heard again and again that it was impossible unilaterally to
-retire from this office because, if I was put in as a minister by the
-head of a government, I could also be retired only with his signature.
-You have also been told that at various times I attempted to rid
-myself of this ministerial office. Besides the witnesses’ testimony
-from countless others, including Americans, to the effect that it was
-well known that Hitler did not permit anyone to retire from office
-without his permission. And now you charge me with having
-remained. I did not remain for my pleasure, but I remained because
-<span class='pageno' title='32' id='Page_32'></span>
-I could not have retired from the Ministry without making a big
-row. And almost constantly, I should say, I tried to have this row
-until finally in January 1943 I succeeded; and I was able to disappear
-from office, not without danger to my life.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, I will deal with your explanation
-later. I am now getting the facts.</p>
-
-<p class='pindent'>You did not have an open break with Hitler, so that you were
-not entirely out of office until after the German offensive broke
-down in Russia and the German armies were in retreat and until
-after the Allies had landed in Africa, did you?</p>
-
-<p class='pindent'>SCHACHT: The letter by which I brought about the last successful
-row is dated 30 November 1942. The row and its success
-dates from 21 January 1943, because Hitler and Göring and whoever
-else participated in discussing it, needed 7 weeks to make up
-their minds about the consequence of my letter.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Then by your letter it plainly shows
-that you thought the ship was sinking, was it not; that means that
-the war was lost?</p>
-
-<p class='pindent'>SCHACHT: My oral and written declarations from former times
-have already shown this. I have spoken here also about this. I have
-testified on the letter to Ribbentrop and Funk; I have presented a
-number of facts here which prove that I never believed in the
-possibility of a German victory. And my disappearance from office
-has nothing whatsoever to do with all these questions.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, meanwhile, while you were
-remaining as Minister without Portfolio because you thought it
-might be dangerous to resign, you were encouraging the generals
-in the army to commit treason against the head of the State, were
-you not?</p>
-
-<p class='pindent'>SCHACHT: Yes, and I should like now to make an additional
-statement to this. It was not because of threatening danger to my
-life that I could not resign earlier. For I was not afraid of endangering
-my life because I was used to that ever since 1937,
-having constantly been exposed to the arbitrariness of the Party
-and its heads.</p>
-
-<p class='pindent'>Your question as to whether I tried to turn a number of generals
-to high treason, I answer in the affirmative.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you also tried to get assassins to
-assassinate Hitler, did you not?</p>
-
-<p class='pindent'>SCHACHT: In 1938 when I made my first attempt, I was not
-thinking as yet of an assassination of Hitler. However, I must admit
-that later I said if it could not be done any other way, we would
-have to kill the man, if possible.
-<span class='pageno' title='33' id='Page_33'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Did you say, “We will have to kill
-him,” or did you say, “Somebody else will have to kill him,”
-Dr. Schacht?</p>
-
-<p class='pindent'>SCHACHT: If I had had the opportunity I would have killed
-him, I myself. I beg you therefore not to summon me before a German
-court for attempted murder because in that sense I am, of
-course, guilty.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, now, whatever your activities,
-they were never sufficiently open so that the foreign files in France,
-which you say were searched by the Gestapo, had an inkling of it,
-were they?</p>
-
-<p class='pindent'>SCHACHT: Yes, I could not announce this matter in advance
-in the newspapers.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And the Gestapo, with all its searching
-of you, never was in a position to put you under arrest until after
-the 20 July attack on Hitler’s life?</p>
-
-<p class='pindent'>SCHACHT: They could have put me under arrest much earlier
-than that if they had been a little smarter; but that seems to be
-a strange attribute of any police force.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And it was not until 1943 that the
-Hitler regime dismissed you? Until that time apparently they
-believed that you were doing them more good than harm?</p>
-
-<p class='pindent'>SCHACHT: I do not know what they believed at that time,
-hence I ask you not to question me about that. You will have to
-ask somebody from the regime; you still have enough people here.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You have now contended that you
-knew about the plot of 20 July on Hitler’s life?</p>
-
-<p class='pindent'>SCHACHT: I knew about it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: You knew that Gisevius says you did
-not know about it?</p>
-
-<p class='pindent'>SCHACHT: I already stated yesterday that I was informed not
-only of Goerdeler’s efforts but that I was thoroughly informed by
-General Lindemann, and the evidence of Colonel Gronau has been
-read here. I also stated that I did not inform my friends about this,
-because there was a mutual agreement between us that we should
-not tell anyone anything which might bring him into an embarrassing
-situation in case he were tortured by the Gestapo.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Do you recall that Gisevius said that
-there were only three civilians that knew about that plot which
-was carefully kept within military personnel?</p>
-
-<p class='pindent'>SCHACHT: You see that even Gisevius was not informed on
-every detail. Naturally, he cannot testify to more than what
-he knew.
-<span class='pageno' title='34' id='Page_34'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And so, Dr. Schacht, we are to weigh
-your testimony in the light of the fact that you preferred, over a long
-period of time, a course of sabotage of your government’s policy by
-treason against the head of the State, rather than open resignation
-from his cabinet?</p>
-
-<p class='pindent'>SCHACHT: You constantly refer to my resignation. I have
-told you and proven that no resignation was possible. Consequently
-your conclusion is wrong.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: All right! Now let us see. In your
-interrogation on 16 October 1945, Exhibit USA-636, some questions
-were asked you about the generals of the Army, and I ask you if
-you were not asked these questions and if you did not give these
-answers:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘I say, suppose you were Chief of the General
-Staff and Hitler decided to attack Austria, would you say
-you had the right to withdraw?’</p>
-
-<p>“Answer: ‘I would have said, “Withdraw me, Sir.” ’</p>
-
-<p>“Question: ‘You would have said that?’</p>
-
-<p>“Answer: ‘Yes.’</p>
-
-<p>“Question: ‘So you take the position that any official could
-at any time withdraw if he thought that the moral obligation
-was such that he felt he could not go on?’</p>
-
-<p>“Answer: ‘Quite.’</p>
-
-<p>“Question: ‘In other words, you feel that the members of the
-General Staff of the Wehrmacht who were responsible for
-carrying into execution Hitler’s plan are equally guilty
-with him?’</p>
-
-<p>“Answer: ‘That is a very hard question you put to me, Sir,
-and I answer, “yes”.’ ”</p>
-
-</div>
-
-<p class='pindent'>You gave those answers, did you not? Did you give those
-answers?</p>
-
-<p class='pindent'>SCHACHT: Yes, and I should like to give an explanation of
-this, if the Tribunal permits it. If Hitler ever had given me
-an immoral order, I should have refused to execute it. That is
-what I said about the generals also, and I uphold this statement
-which you have just read.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: I am through with him, Your Honor,
-except that I would like to note the exhibit numbers. The petition
-to Hindenburg referred to yesterday is 3901-PS, and will become
-Exhibit USA-837. The Von Blomberg interrogation of October
-1945 is Exhibit USA-838.</p>
-
-<p class='pindent'>DR. HANS LATERNSER: (Counsel for General Staff and High
-Command of the German Armed Forces): Mr. President, I request
-<span class='pageno' title='35' id='Page_35'></span>
-that the statement of the Defendant Schacht insofar as it was cited
-and becomes part of the minutes be stricken from the record. The
-question, as I understood it, was whether he considered the General
-Staff to be just as guilty as Hitler. This question was answered in
-the affirmative by the Defendant Schacht in this examination. The
-question and the answer—the question to begin with is inadmissible
-and likewise the answer because a witness cannot pass judgment
-on this. That is the task of the Court. And for this reason
-I request that this testimony be stricken from the record.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: May it please the Tribunal, I do not,
-of course, offer this opinion of Schacht’s as evidence against the
-General Staff or against any individual soldier on trial. The
-evidence, I think, was as to the credibility of Schacht and as to
-his position. I do not think that his opinion regarding the guilt of
-anybody else would be evidence against that other person; I think
-that his opinion on this matter is evidence against himself in the
-matter of credibility.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, Dr. Dix.</p>
-
-<p class='pindent'>DR. RUDOLF DIX (Counsel for Defendant Schacht): The question
-by Justice Jackson was not whether Schacht considered the generals
-guilty, but the question was whether it was correct that Schacht,
-in an interrogation previous to the Trial, had given certain answers
-to certain questions. In other words, it was a question about an
-actual occurrence which took place in the past and not a question
-about an opinion or a judgment which he was to give here. As
-Schacht’s counsel, I am not interested in this passage being stricken
-from the record, except to the extent that these words remain:
-“I, Schacht, would never have executed an immoral order and an
-immoral demand by Hitler.” So far as the rest of this answer of
-Schacht is concerned I, as his defense counsel, declare that it is a
-matter of indifference to me.</p>
-
-<p class='pindent'>DR. LATERNSER: Mr. President, after the declaration of Justice
-Jackson, I withdraw my objection.</p>
-
-<p class='pindent'>MAJOR GENERAL G. A. ALEXANDROV (Assistant Prosecutor
-for the U.S.S.R.): Mr. President, may I begin my cross-examination?</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Defendant Schacht, when answering the
-questions put to you by your counsel, you informed us of the
-circumstances under which you first became acquainted with
-Hitler and Göring. You even remembered a detail such as the
-pea soup with lard which was served for supper at Göring’s house.</p>
-
-<p class='pindent'>What I am interested in now are some other particulars, rather
-more relevant to the case, of your relations with Hitler and Göring.
-<span class='pageno' title='36' id='Page_36'></span>
-Tell me, on whose initiative did your first meeting with Hitler
-and Göring take place?</p>
-
-<p class='pindent'>SCHACHT: I have already stated that my friend, Bank Director
-Von Stauss, invited me to an evening in his home so that I might
-meet Göring there. The meeting with Hitler then took place when
-Göring asked me to come to his home—that is, Göring’s home—to
-meet Hitler.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: For what reasons did you, at that time,
-accept the invitation to meet Hitler and Göring?</p>
-
-<p class='pindent'>SCHACHT: The National Socialist Party at that time was one
-of the strongest parties in the Reichstag with 108 seats, and the
-National Socialist movement throughout the country was extremely
-lively. Consequently, I was more or less interested in making the
-acquaintance of the leading men of this movement whom up to
-then I did not know at all.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: But you declared that you were invited
-by Göring himself. Why did Göring especially invite you?</p>
-
-<p class='pindent'>SCHACHT: Please ask Herr Göring that.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Did you not ask him yourself?</p>
-
-<p class='pindent'>SCHACHT: Herr Göring wished me to meet Hitler, or Hitler
-to meet me.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: What for? With what aim in mind?</p>
-
-<p class='pindent'>SCHACHT: That you must ask Herr Göring.</p>
-
-<p class='pindent'>GEN, ALEXANDROV: Do you not think that Hitler and Göring
-intended—and not unsuccessfully at that—to inveigle you into participating
-in the fascist movement, knowing that in Germany you
-were an economist and financier of repute who shared their views?</p>
-
-<p class='pindent'>SCHACHT: I was uninformed about the intentions of these two
-gentlemen at that time. However, I can imagine that it was just
-as much a matter of interest for these gentlemen to meet Herr
-Schacht as it was for me to meet Herr Hitler and Herr Göring.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Then it was a matter of purely personal
-interest; or were other considerations involved, of a political
-nature? You yourself understood that your participation in the
-fascist movement would be of advantage to Hitler, inasmuch as
-you were a well-known man in your own country?</p>
-
-<p class='pindent'>SCHACHT: As far as I was concerned, I was only interested in
-seeing what kind of people they were. What motives these two
-gentlemen had are unknown to me, as I have already stated. My
-collaboration in the fascist movement was entirely out of the
-question, and it was not given...</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Tell me, please...
-<span class='pageno' title='37' id='Page_37'></span></p>
-
-<p class='pindent'>SCHACHT: Please let me finish. My collaboration was not given
-before the July elections of 1932. As I have stated here, the
-acquaintance was made in January 1931, which was 1½ years
-before these elections. Throughout these 1½ years no collaboration
-took place.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Tell me, was your acquaintance with
-Hitler and Göring exclusively limited to these meetings, or had
-you already met them before Hitler came into power?</p>
-
-<p class='pindent'>SCHACHT: Until July 1932 I saw Hitler and Göring, each of
-them, perhaps once, twice, or three times—I cannot recall that in
-these 1½ years. But in any case there is no question of any
-frequent meetings.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Then, how do you explain your letter
-to Hitler of 29 August 1932 in which you offered your services
-to Hitler? You remember this letter?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: How do you explain it?</p>
-
-<p class='pindent'>SCHACHT: I have spoken about this repeatedly. Will you be
-so kind as to read it in the record?</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Please repeat it once more, briefly.</p>
-
-<p class='pindent'>THE PRESIDENT: If he has been over it once, that is sufficient.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: When, and by whom were you first
-invited to participate in the future Hitlerite Government and
-promised the post of President of the Reichsbank?</p>
-
-<p class='pindent'>SCHACHT: The President of the Reichsbank did not hold a
-position in the government, but was a high official outside the
-government. The first time that there was any talk in my presence
-about this post was on 30 January 1933, when I accidentally ran
-into Göring in the lobby of the Kaiserhof Hotel, and he said to
-me, “Ah, there comes our future President of the Reichsbank.”</p>
-
-<p class='pindent'>GEN. ALEXANDROV: When answering the questions of your
-counsel, you declared that the fascist theory of race supremacy was
-sheer nonsense, that the fascist ideology was no ideology at all,
-that you were opposed to the solution of the Lebensraum problem
-by the seizure of new territories, that you were opposed to the
-Leadership Principle within the Fascist Party and even made a
-speech on this subject in the Academy of German Law, and that
-you were opposed to the fascist policy of exterminating the Jews.</p>
-
-<p class='pindent'>Is this right? Did you say this when answering the questions
-put by your counsel?</p>
-
-<p class='pindent'>SCHACHT: Yes, we both heard it here.
-<span class='pageno' title='38' id='Page_38'></span></p>
-
-<p class='pindent'>GEN. ALEXANDROV: Well, then tell me, what led you to
-fascism and to co-operation with Hitler?</p>
-
-<p class='pindent'>SCHACHT: Nothing at all led me to fascism; I have never been
-a fascist.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Then what induced you to co-operate
-with Hitler since you had adopted a negative attitude toward his
-theories and the theories of German fascism?</p>
-
-<p class='pindent'>THE PRESIDENT: General Alexandrov, he has told us what
-he says led him to co-operate with Hitler. I think you must have
-heard him.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: But it did, in fact, take place?</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] In reply to a question by your
-counsel as to why you did not emigrate, you stated that you did not
-wish to be a simple martyr. Tell me, did you not know the fate
-which befell Germany’s outstanding personalities, who held democratic
-and progressive ideas when Hitler came to power? Do you
-know that they were all exiled or sent to concentration camps?</p>
-
-<p class='pindent'>SCHACHT: You are confusing things here. I did not answer
-that I did not want to be a martyr to the question of whether I
-wanted to emigrate; but I said, “Emigrants—that is, voluntary
-emigrants—never served their country,” and I did not want to
-save my own life, but I wanted to continue to work for the welfare
-of my country.</p>
-
-<p class='pindent'>The martyr point was in connection with a question following,
-as to whether I expected any good to have resulted for my country
-if I had died as a martyr. To that I replied, “Martyrs serve their
-country only if their sacrifice becomes known.”</p>
-
-<p class='pindent'>GEN. ALEXANDROV: You related it somewhat differently. I
-shall, nevertheless, repeat my question.</p>
-
-<p class='pindent'>THE PRESIDENT: I would be very grateful if you would repeat
-this question.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Do you know the fate which befell the
-foremost men of Germany, men who held progressive and democratic
-ideas when Hitler came to power? You know that all these
-people were either exiled or sent to concentration camps?</p>
-
-<p class='pindent'>SCHACHT: I expressly stated here that when I spoke of emigrants
-I meant those who were in exile, who did not leave the
-country under compulsion but left voluntarily—those are the ones
-I was speaking about. The individual fates of the others are not
-known to me. If you ask me about individual persons, I will tell
-you regarding each one of these people, whether I know his
-fate or not.
-<span class='pageno' title='39' id='Page_39'></span></p>
-
-<p class='pindent'>GEN. ALEXANDROV: The fate of these great men is universally
-known. You, one of the few outstanding statesmen in democratic
-Germany, co-operated with Hitler. Do you admit this?</p>
-
-<p class='pindent'>SCHACHT: No.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: You testified—and I am obliged to refer
-once again to the same question—that the entry in the Goebbels
-diary of 21 November 1932 was false. Once again I remind
-you of this entry which Goebbels wrote, and I quote:</p>
-
-<div class='blockquote'>
-
-<p>“In a conversation with Dr. Schacht I found that he fully
-reflects our viewpoint. He is one of the few who fully
-agrees with the Führer’s position.”</p>
-
-</div>
-
-<p class='pindent'>Do you continue to say that this entry does not conform to
-reality?</p>
-
-<p class='pindent'>This is the question which I am asking you.</p>
-
-<p class='pindent'>SCHACHT: I have never claimed that this entry was false. I
-only claimed that Goebbels got this impression and he was in error
-about it.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: But according to your statement this
-entry does not conform to reality, to your attitude toward Hitler’s
-regime. Is that the case or not?</p>
-
-<p class='pindent'>SCHACHT: In the general way in which Goebbels represents it
-there, it is wrong; it is not correct.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Why did you not lodge a protest? After
-all, Goebbels’ diary, including this entry, was published.</p>
-
-<p class='pindent'>SCHACHT: If I would have protested against all the inaccuracies
-which were printed about me, I would never have come
-to my senses.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: But do you not see, this is not exactly
-an ordinary excerpt from Goebbels’ diary—and he was rather an
-outstanding statesman in fascist Germany—for he describes your
-political views; and if you were not in agreement with him it
-would have been appropriate for you, in some way or other, to
-take a stand against it.</p>
-
-<p class='pindent'>SCHACHT: Permit me to say something to this. Either you
-ask me—at any rate I should not like to have here a two-sided
-argument if it is only one-sided. I say that the diary of Goebbels
-is an unusually common piece of writing.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: The witness, Dr. Franz Reuter, your
-biographer and close friend, in his written affidavits of 6 February
-1946, presented to the Tribunal by your counsel as Document
-Schacht-35, testified to the following: “Schacht joined Hitler in the
-early thirties and helped him to power...”
-<span class='pageno' title='40' id='Page_40'></span></p>
-
-<p class='pindent'>Do you consider these affidavits of the witness Dr. Franz Reuter
-as untrue, or do you confirm them?</p>
-
-<p class='pindent'>SCHACHT: I consider them wrong.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: How far did you personally participate
-to help bring Hitler to power? I continue this question: Under
-what circumstances and for what purpose did you, in February
-1933, organize a meeting between Hitler and the industrialists? This
-subject has already been mentioned before.</p>
-
-<p class='pindent'>SCHACHT: I did not help Hitler to come to power in any way.
-All this has been discussed here at great length. In February 1933
-Hitler had already been in power quite some time. As to finances
-and the industrial meetings of February 1933, that has profusely
-been gone into.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: What particular role did you play in
-this conference?</p>
-
-<p class='pindent'>SCHACHT: This, too, has been discussed in detail. Please read
-about it in the record.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: I have already familiarized myself with
-the reports but you have not explained events sufficiently clearly.
-In order to shed some more light on the question I shall refer to
-Defendant Funk’s testimony of 4 June 1945. This is Document
-Number 2828-PS. I quote Defendant Funk’s testimony:</p>
-
-<div class='blockquote'>
-
-<p>“I was at the meeting. Money was not demanded by Göring
-but by Schacht. Hitler left the room, then Schacht made a
-speech asking for money for the election. I was only there
-as an impartial observer, since I enjoyed a close friendship
-with the industrialists.”</p>
-
-</div>
-
-<p class='pindent'>Does this testimony of the Defendant Funk represent the truth?</p>
-
-<p class='pindent'>SCHACHT: Herr Funk is in error. Document D-203 has been
-presented here to the Court by the Prosecution...</p>
-
-<p class='pindent'>GEN. ALEXANDROV: But...</p>
-
-<p class='pindent'>SCHACHT: Please do not interrupt me. The Prosecution has
-submitted this document, and this document shows that Göring
-directed the request for financial aid and not I.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: In this connection Defendant Funk
-declared that this speech was made by you and not by Göring. I
-ask you now, which statement represents the truth?</p>
-
-<p class='pindent'>SCHACHT: I have just told you that Herr Funk is in error
-and that the evidence of the Prosecution is correct.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Then what part did you play in connection
-with this conference?
-<span class='pageno' title='41' id='Page_41'></span></p>
-
-<p class='pindent'>SCHACHT: This, too, I have already stated in detail, I am...</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal has already heard a long
-cross-examination and it does not desire to hear the same facts
-or matters gone over again. Will you tell the Tribunal whether
-you have any points which the Soviet Union are particularly
-interested in, which have not been dealt with in cross-examination?</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Mr. President, in his statements the
-Defendant Schacht did not reply in sufficient detail, nor were his
-answers sufficiently clear. I am therefore obliged, in certain
-instances, to refer to these questions again. It is, in particular, not
-clear to us what part the Defendant Schacht played in this meeting
-of the industrialists. It appears to me that Defendant Schacht did
-not give a sufficiently clear or well-defined reply to the question
-which I had asked him. As for the other questions, they are few
-in number and I imagine that after the recess I can try and finish
-with them in about 30 or 40 minutes. All these questions are of
-interest to us since they enable us to determine the guilt of the
-Defendant Schacht.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well. The Tribunal is not prepared
-to listen to questions which have already been put.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Perhaps now you will find it desirable
-to declare a recess, in order to continue the cross-examination after
-the recess.</p>
-
-<p class='pindent'>THE PRESIDENT: No, General Alexandrov, the cross-examination
-will continue up to the recess.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Do you admit that, while acting as
-President of the Reichsbank and as Minister of Economics and
-Plenipotentiary for War Economy, you played a decisive part in
-preparing the rearmament of Germany and consequently, in
-preparing for a war of aggression?</p>
-
-<p class='pindent'>SCHACHT: No, I categorically deny that.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: You were Plenipotentiary for War
-Economy?</p>
-
-<p class='pindent'>SCHACHT: Well, we have spoken about that here ten times
-already.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: I did not hear it from your own lips,
-not once.</p>
-
-<p class='pindent'>THE PRESIDENT: He has admitted throughout—and, of course,
-it is obvious—that he was Plenipotentiary for War Economy; but
-what you put to him was, whether he as Plenipotentiary for War
-Economy took part in rearmament for aggressive war, and he has
-said over and over again that that was not his object, that his
-<span class='pageno' title='42' id='Page_42'></span>
-object was to gain equality for Germany. He said so, and we have
-got to consider whether that is true. But that he said it is perfectly
-clear.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: In my subsequent questions it will be
-quite clear why I touch precisely on this question.</p>
-
-<p class='pindent'>How long did you occupy the post of Plenipotentiary for War
-Economy?</p>
-
-<p class='pindent'>SCHACHT: I have just stated that I do not understand the
-question—for what duration? All this has certainly been stated
-here already.</p>
-
-<p class='pindent'>THE PRESIDENT: We have got the date when he became
-Plenipotentiary for War Economy and the date when he ceased
-to be.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: I should like to remind you of the duties
-imposed on you as Plenipotentiary by the Reich Defense Act of
-21 May 1935. I shall quote a brief excerpt from Section 2 of this
-law, entitled “Mobilization”:</p>
-
-<div class='blockquote'>
-
-<p>“Point 1: For the purpose of directing the entire war
-economy the Führer and Reich Chancellor will appoint a
-Plenipotentiary for War Economy.</p>
-
-<p>“Point 2: It will be the duty of the Plenipotentiary for War
-Economy to utilize all economic possibilities in the interest
-of the war and to safeguard the economic well-being of the
-German people.</p>
-
-<p>“Point 3: Subordinate to him will be: the Reich Minister of
-Economics, the Reich Minister for Food and Agriculture, the
-Reich Labor Minister, the Chief Reich Forester, and all other
-Reich officials directly subordinate to the Führer and Reich
-Chancellor.</p>
-
-<p>“Further, he shall be responsible for the financing of the
-war within the sphere of the Reich Finance Ministry and
-the Reichsbank.</p>
-
-<p>“Point 4: The Plenipotentiary for War Economy shall have
-the right to enact public laws within his official jurisdiction
-which may differ from existing laws.”</p>
-
-</div>
-
-<p class='pindent'>You admit that this law gave you extraordinary powers in the
-sphere of war economy?</p>
-
-<p class='pindent'>SCHACHT: This document is before the Court and I assume
-that you have read it correctly.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: I am not asking you whether I have
-read this document correctly; I am asking you whether you admit
-that by this law you were given extraordinary powers in the
-sphere of the war economy? Do you admit that?
-<span class='pageno' title='43' id='Page_43'></span></p>
-
-<p class='pindent'>SCHACHT: I had exactly the full powers which are described
-in the law.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Do you admit that these were not
-ordinary powers, but quite extraordinary powers?</p>
-
-<p class='pindent'>SCHACHT: No, I will not admit this at all.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: In other words, you considered that the
-Reich Defense Law of 21 May 1935 was just an ordinary law?</p>
-
-<p class='pindent'>SCHACHT: It was simply an ordinary law.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: And you also considered the functions
-imposed on you by this law as Plenipotentiary for War Economy
-ordinary functions?</p>
-
-<p class='pindent'>SCHACHT: As very common regulations which are customary
-with every general staff.</p>
-
-<p class='pindent'>THE PRESIDENT: The Court will adjourn now.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='44' id='Page_44'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>THE PRESIDENT: Yes, General Alexandrov.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: Mr. President, taking into consideration
-the Tribunal’s desire, as well as the fact that Mr. Jackson has
-already questioned Schacht in detail, and having read the minutes
-of this morning’s session, it has been possible for me to shorten
-considerably the number of questions in my examination. I have
-only two to put to Defendant Schacht.</p>
-
-<p class='pindent'>Defendant Schacht, on 21 May 1935 the Reich Government made
-a decision with regard to the Reich Defense Council. The decision
-was as follows, citing Point 1:</p>
-
-<div class='blockquote'>
-
-<p>“It is the will of the Führer and Reich Chancellor that the
-Plenipotentiary General for War Economy shall take over
-this responsible directorate (Leitung), and is, as with the
-Reich War Minister, holder of the executive power, independent
-and responsible for his own sphere of activity to the
-Führer and Reich Chancellor.”</p>
-
-</div>
-
-<p class='pindent'>Do you admit that you carried through actively this decision
-of the Reich Government; and that you took an active part in
-Germany’s economic preparations for aggressive wars?</p>
-
-<p class='pindent'>SCHACHT: No, Mr. Prosecutor, I definitely do not admit that.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: On the 4th of March 1935, in your speech
-at the Spring Fair in Leipzig, you said the following, citing Exhibit
-Number USA-627 (Document Number EC-415):</p>
-
-<div class='blockquote'>
-
-<p>“My so-called foreign friends are doing neither me nor the
-cause a service, nor a service to themselves, when they try
-to bring me into conflict with the impossible, so they say,
-National Socialist economic theories, and present me, so to
-speak, as the guardian of economic reason. I can assure you
-that everything I say and do is with the full consent of the
-Führer, and I shall neither do nor say anything which he
-has not approved. Therefore, the guardian of economic reason
-is not I but the Führer.”</p>
-
-</div>
-
-<p class='pindent'>Do you confirm this speech you made at the Spring Fair in
-Leipzig?</p>
-
-<p class='pindent'>SCHACHT: I admit it and would like to make a statement.</p>
-
-<p class='pindent'>I have said repeatedly, first, that my foreign friends, as far as I
-had foreign friends, did not do me a service when they said publicly
-that I was an adversary of Hitler, because that made my position
-extremely dangerous. Secondly, I said in that speech I would not
-do anything which would not be according to my conviction, and
-that Hitler did everything I suggested to him, that is, that it was
-<span class='pageno' title='45' id='Page_45'></span>
-his opinion also. If I had said anything to the contrary, that would
-have been expressed. I was in complete accord with him as long as
-his policies agreed with mine; afterwards I was not, and left.</p>
-
-<p class='pindent'>GEN. ALEXANDROV: I have no more questions, Your Honor.</p>
-
-<p class='pindent'>THE PRESIDENT: Do you wish to re-examine, Dr. Dix?</p>
-
-<p class='pindent'>DR. DIX: I will put only a few questions which arose from the
-cross-examination.</p>
-
-<p class='pindent'>During the cross-examination, the New Plan was again dealt
-with without Dr. Schacht’s having had an opportunity of explaining
-it and of stating what role, if any, that plan had in the economy
-of rearmament and who was the originator, the responsible originator
-of the New Plan. Therefore, may I put this question to
-Dr. Schacht now?</p>
-
-<p class='pindent'>SCHACHT: The New Plan was a logical consequence of the
-economic development which followed the Treaty of Versailles.
-I mention again only briefly that by the removal of German property
-abroad, the entire organization for German foreign trade
-was taken away and therefore great difficulties arose for German
-exports.</p>
-
-<p class='pindent'>Without those exports, however, payment of reparations, or
-such, was out of the question. Nevertheless, all the great powers,
-particularly those who were competing with Germany on the world
-market, resorted to raising their tariffs in order to exclude German
-merchandise from their markets or to make it more difficult for
-Germany to sell her goods, so that it became more and more of a
-problem to develop German exports.</p>
-
-<p class='pindent'>When Germany, in spite of this, tried by lower prices, at the
-cost of lower wages to maintain or to increase her export trade, the
-other powers resorted to other means to meet German competition.
-I recall the various devaluations of foreign currencies which were
-made, again impeding the competition of German products. When
-even that did not suffice, the system of quotas was invented; that
-is, the amount of German goods which were imported into a
-country could not go beyond a certain quota; that was prohibited.
-Such quotas for German imports were established by Holland,
-France, and other nations; so here also German export was made
-increasingly difficult.</p>
-
-<p class='pindent'>All these measures to hinder German export led to the situation
-that German nationals also could no longer pay even private debts
-abroad. As you have heard here, for many years I had warned
-against incurring these debts. I was not listened to. It will be of
-interest to you to state here briefly that Germany, against my
-advice, had within five years contracted as large a foreign debt
-<span class='pageno' title='46' id='Page_46'></span>
-as the United States had throughout the 40 years before the first
-World War.</p>
-
-<p class='pindent'>Germany was a highly-developed industrial nation and did not
-need foreign money, and the United States at that time was going
-in more for colonial development and could make good use of
-foreign capital.</p>
-
-<p class='pindent'>We now hit the bottom. When we were no longer able to pay
-our interest abroad, some countries resorted to the method of no
-longer paying German exporters the proceeds from the German
-exports, but confiscated these funds, and out of this paid themselves
-the interest on our debts abroad; that is, effecting a settlement, so
-to speak. That was the so-called “clearing system.” The private
-claims were confiscated in order to meet the demands of foreign
-creditors.</p>
-
-<p class='pindent'>To meet this development, I looked for a way out to continue
-German exports. I set out a very simple principle: “I will buy only
-from those who buy from me.” Therefore, I looked around for
-countries which were prepared to cover their needs in Germany,
-and I prepared to buy my merchandise there.</p>
-
-<p class='pindent'>That was the New Plan.</p>
-
-<p class='pindent'>THE PRESIDENT: I do not know what we have to do with this,
-Dr. Dix.</p>
-
-<p class='pindent'>DR. DIX: Well, to make a long story short, the New Plan had
-nothing to do with the intention to rearm, let alone with any
-aggressive intentions.</p>
-
-<p class='pindent'>SCHACHT: Absolutely nothing.</p>
-
-<p class='pindent'>DR. DIX: In this connection, can you give an estimate as to
-what percentage of German economic production was armament
-production?</p>
-
-<p class='pindent'>SCHACHT: That question has been put to me in previous interrogations
-and at that time I was not able to answer it, because
-I could not recall what amount Germany expended on her armament.
-Now, from the testimony of Field Marshal Keitel, we have
-heard here that armament expenditure during these years when
-the Reichsbank was still co-operating, 1934-35, 1935-36, 1936-37
-and so on, amounted respectively to 5,000 million Reichsmark,
-7,000 million Reichsmark and 9,000 million Reichsmark; that is
-the estimate of experts. The production of the entire German
-economy during these years could be estimated approximately at
-50-60,000 million Reichsmark. If I compare that with the armament
-expenditure, which has been stated here by a witness, then we find
-that armament expenditure amounted to about 10 to 15 percent of
-the entire German economy during the years when I had anything
-to do with it.
-<span class='pageno' title='47' id='Page_47'></span></p>
-
-<p class='pindent'>DR. DIX: Then, in the course of the cross-examination, there
-came up the question of your willingness or unwillingness to give up
-the office of Plenipotentiary for War Economy, and in order to prove
-your statement that General Von Blomberg did not wish you to give
-up that office, you referred to a document which has been submitted
-by the Prosecution. I am referring to Document EC-244, and it
-is a letter from the Reichswehr Minister, Von Blomberg, to Hitler,
-of 22 February 1937. It has already been read, so there is no need to
-do so now. May I only point out that in the last paragraph Blomberg
-expressed the desire that the Führer would direct or get the
-Reichsbank president to remain in office, so that covers the statement
-made by Schacht. Furthermore, in the course of cross-examination
-by Mr. Justice Jackson, mention was made of your
-credibility concerning the statement on your colonial aspirations;
-and from the point of view of colonial policy without mastery of
-the sea—Germany had not the mastery of the sea—can Germany
-have any colonial problems? That was the question and answer;
-and in that connection I would like to ask you: Did Germany
-have colonies before 1914?</p>
-
-<p class='pindent'>SCHACHT: Yes.</p>
-
-<p class='pindent'>DR. DIX: Before 1914, or let us say between 1884 and 1914, that
-is, the time when Germany had colonial possessions, did Germany
-have mastery of the sea, especially as compared with Great Britain?</p>
-
-<p class='pindent'>SCHACHT: No, in no way.</p>
-
-<p class='pindent'>DR. DIX: That covers it. Then there is another problem from
-the point of view of the credibility of your statements: Mention has
-been made of the ethical conflicts concerning your oath to Hitler,
-as head of the State, as you say, and the intentions which you
-have revealed to overthrow Hitler, even to kill him. Do you not
-know of many cases in history where persons holding high office
-in a state attempted to overthrow the head of the state to whom
-they had sworn allegiance?</p>
-
-<p class='pindent'>SCHACHT: I believe you find these examples in the history
-of all nations.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Dix, we are not concerned with past
-history, are we? You do not think the question of whether there
-are historical instances is a legitimate question to put to this
-witness?</p>
-
-<p class='pindent'>DR. DIX: Then I will not pursue that point any further; it is
-argumentation and maybe I can use it later in my final pleadings.</p>
-
-<p class='pindent'>Now, returning to the question of colonies, is it not correct
-that, apart from your personal colonial aspirations, Germany, the
-Reich Government, had prepared officially for the acquisition of her
-<span class='pageno' title='48' id='Page_48'></span>
-colonies and later their administration; and was not there a colonial
-policy department until 1942 or 1943 or thereabouts?</p>
-
-<p class='pindent'>SCHACHT: Well, it is set out explicitly in the Party program
-that the colonial demands are part of the Party program. Of course,
-the Foreign Office also concerned itself with it and I believe also
-in the Party there was a colonial policy department.</p>
-
-<p class='pindent'>DR. DIX: Under Ritter Von Epp?</p>
-
-<p class='pindent'>SCHACHT: Yes, under Ritter Von Epp.</p>
-
-<p class='pindent'>DR. DIX: Then concerning the question of the mefo bills, I only
-want to summarize: Did you mean to imply that the mefo bills
-were to serve as a brake on rearmament, because the signature
-of the Reich to these bills, that is of the Reich Government, was
-binding for their repayment?</p>
-
-<p class='pindent'>SCHACHT: You see, I said very clearly that the limitation of
-the mefo bills to 5 years, and making them mature in 5 years,
-would automatically put a brake on armament.</p>
-
-<p class='pindent'>DR. DIX: Furthermore, Mr. Justice Jackson dealt with the
-point that the name of Schacht, when he retained office as Minister
-without Portfolio, had a propaganda value in favor of the Nazi
-regime abroad and therefore served the aggressive intentions and
-their execution. In this connection and in order to shorten the
-presentation of my documents, may I read from my document book,
-Exhibit 37(a), Document Schacht-37(a); that is, the English text
-is on Page 157 and the German on Page 149. On Page 5 of that
-long affidavit Huelse states:</p>
-
-<div class='blockquote'>
-
-<p>“The foreign press drew from the dismissal”—that is, the
-dismissal as Reichsbank President in 1939—“the correct
-conclusions and interpreted it as a warning signal. In this
-connection in repeated conversations, even at the end of
-1938, and in agreement with Dr. Schacht, I spoke with
-representatives of foreign issuing banks, whom I had met at
-board meetings of the Bank for International Settlement,
-and I informed them that the resignation of Schacht and
-individual members of the Reichsbank Directorate meant that
-things in Germany were following a dangerous path.”</p>
-
-</div>
-
-<p class='pindent'>Furthermore, the Prosecutor for the Soviet Union has accused
-Dr. Schacht, because in the biography of Reuter it is stated expressly
-that Schacht assisted the regime during the stage of the struggle
-for power. At any rate, that is the substance. That is correct as
-a quotation from Reuter’s book, but there is something else. I
-believe we still have to submit Exhibit 35 (Document Schacht-35),
-Page 133 of the English text and 125 of the German, and there we
-<span class='pageno' title='49' id='Page_49'></span>
-find on the second page of that long affidavit the following sentences,
-which limit the authenticity of that biography and prove
-it to be a biased piece of writing. Reuter says in this affidavit, and
-I quote:</p>
-
-<div class='blockquote'>
-
-<p>“I had a biography of Dr. Schacht published twice, first at
-the end of 1933 by the Publishing House R. Kittler in Berlin,
-and at the end of 1936 by the German Publishing Institute
-in Stuttgart. Besides its being a factual presentation of his
-life and his work, it also served the purpose of shielding
-him from his attackers. Therefore the principles of purely
-objective historical research are not applicable to this publication,
-because defensive views required by the situation at
-the time has to be taken into consideration.”</p>
-
-</div>
-
-<p class='pindent'>This must be known and read before one can estimate the
-evidential value of that biography.</p>
-
-<p class='pindent'>And that concludes my questions.</p>
-
-<p class='pindent'>THE PRESIDENT: The defendant can then retire.</p>
-
-<p class='pindent'>DR. DIX: I now call the witness Vocke with Your Lordship’s
-permission.</p>
-
-<p class='pindent'>[<span class='it'>The witness Vocke took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name?</p>
-
-<p class='pindent'>WILHELM VOCKE (Witness): Wilhelm Vocke.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath in German.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>DR. DIX: Herr Vocke, you were a member of the Directorate of
-the Reichsbank. When did you enter the Reichsbank Directorate,
-and when did you resign from it?</p>
-
-<p class='pindent'>VOCKE: Reich President Ebert appointed me a member of the
-Reichsbank Directorate in 1919, and Hitler dismissed me from
-office on 1 February 1939. Therefore, I was for about 20 years a
-member of the Reichsbank Directorate, and for 10 of these years I
-was under Schacht.</p>
-
-<p class='pindent'>DR. DIX: Excuse me, but I must ask you, were you a member of
-the Party?</p>
-
-<p class='pindent'>VOCKE: No.</p>
-
-<p class='pindent'>DR. DIX: Were you a member of the SA?</p>
-
-<p class='pindent'>VOCKE: No.
-<span class='pageno' title='50' id='Page_50'></span></p>
-
-<p class='pindent'>DR. DIX: Were you a member of the SS?</p>
-
-<p class='pindent'>VOCKE: No.</p>
-
-<p class='pindent'>DR. DIX: Were you a sponsoring member of the SA or SS?</p>
-
-<p class='pindent'>VOCKE: No.</p>
-
-<p class='pindent'>DR. DIX: You had no connection with the Party?</p>
-
-<p class='pindent'>VOCKE: No.</p>
-
-<p class='pindent'>DR. DIX: When did you meet Schacht?</p>
-
-<p class='pindent'>VOCKE: In 1915. I merely made his acquaintance then, but it
-was not until he became Reichsbank Kommissar and Reichsbank
-President, that I came to know him better.</p>
-
-<p class='pindent'>DR. DIX: I come now to the period of the first Reichsbank
-presidency of Schacht, that is, the year 1923. At that time what was
-the attitude of the Reichsbank Directorate to the candidature of
-Schacht as Reichsbank President?</p>
-
-<p class='pindent'>VOCKE: A disapproving attitude.</p>
-
-<p class='pindent'>DR. DIX: And for what reason?</p>
-
-<p class='pindent'>VOCKE: We wanted Helferich as candidate for the presidency
-of the Reichsbank, because Helferich, in close co-operation with the
-Reichsbank, had created the Rentenmark and stabilization of
-currency.</p>
-
-<p class='pindent'>But as reason for our disapproval of Schacht, we mentioned an
-incident contained in Schacht’s dossier which referred to his activity
-under Herr Von Jung in 1915. According to this, Schacht, who had
-come from the Dresdner Bank, had rendered assistance to the
-Dresdner Bank which Von Jung did not consider quite correct, and
-that was the reason for Schacht’s dismissal at that time.</p>
-
-<p class='pindent'>The Reich Government, however, did not heed the criticism
-which we made against Schacht, and as Minister Severing told me
-recently, he followed the proverb, “It is not the worst fruit which
-is eaten by worms,” and Schacht was appointed President.</p>
-
-<p class='pindent'>DR. DIX: So that Schacht came to you as President, and he
-must have known that the Directorate did not want him, or at
-any rate wanted somebody else. Therefore, I assume the question
-is in order as to what the relations were among that group, that
-is, the Reichsbank Directorate and the new President.</p>
-
-<p class='pindent'>VOCKE: Schacht took up his office in January 1924. He called
-us all to a meeting in which he spoke very frankly about the
-situation, and this was the substance of what he said: Well, you
-disapproved of me for President because I stole silver spoons; but
-now I am your President, and I hope that we will work together,
-and we will get to see eye to eye—that was the expression used by
-<span class='pageno' title='51' id='Page_51'></span>
-Schacht—however, if one or another of you feels that he cannot
-work with me, well, then he will have to take the consequences,
-and I will gladly assist him to find another position.</p>
-
-<p class='pindent'>Our relations with Schacht soon became good and we worked
-together successfully. It was very good to work with Schacht. We
-quickly recognized that he was an unrivalled expert in his and our
-branch, and also in other respects his conduct was beyond reproach.
-He was clean in his dealings and there was no nepotism. Neither
-did he bring with him any men whom he wanted to push. Also he
-was a man who at all times tolerated controversy and differing
-opinions—he even welcomed them. He had no use for colleagues
-who were “yes men.”</p>
-
-<p class='pindent'>THE PRESIDENT: There is neither any charge nor any issue
-about this.</p>
-
-<p class='pindent'>DR. DIX: That is quite correct, Your Lordship, but I thought it
-would be helpful to touch upon these things. But we are now at
-the end, and will come to the Reichsbank presidency from 1933 on.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] After his short period of retirement
-Schacht again became President of the Reichsbank in 1933. Did you
-have any conversations with him about his relations to Hitler and
-to the Party?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>DR. DIX: Would you like to describe to the Tribunal the kind
-of statements Schacht made to you?</p>
-
-<p class='pindent'>VOCKE: First, I would like to mention two conversations which
-I remember almost word for word. During the period when Schacht
-was not in office, that is about three years, I hardly ever saw him,
-maybe three or four times at occasions at the Wilhelmstift. He never
-visited me, nor did I visit him, except once, when Schacht came
-into the bank—maybe he had some business there—and visited me
-in my office. We at once...</p>
-
-<p class='pindent'>DR. DIX: When was that?</p>
-
-<p class='pindent'>VOCKE: That must have been in 1932, a comparatively short
-time before the seizure of power. We immediately began to speak
-about political questions, about Hitler and Schacht’s relations to
-Hitler. I used that opportunity to warn Schacht seriously against
-Hitler and the Nazis. Schacht said to me: “Herr Vocke, one must
-give this man or these people a chance. If they do no good, they will
-disappear. They will be cleared out in the same way as their
-predecessors.”</p>
-
-<p class='pindent'>I told Schacht: “Yes, but it may be that the harm done to the
-German people in the meantime will be so great that it can never
-be repaired.”
-<span class='pageno' title='52' id='Page_52'></span></p>
-
-<p class='pindent'>Schacht did not take that very seriously, and with some light
-remark, such as: You are an old pessimist, or something like that,
-he left.</p>
-
-<p class='pindent'>The second conversation about which I want to report took
-place shortly after Schacht’s re-entry into the bank. It was probably
-in March 1933, or the beginning of April. Schacht at that time
-showed a kind of ostentatious enthusiasm, and I talked to him about
-his relation to the Party. I assumed that Schacht was a member
-of the Party. I told him that I had no intention of becoming a
-member of the Party, and Schacht said to me: “You do not have to.
-You are not supposed to. What do you think? I would not even
-dream of becoming a member of the Party. Can you imagine me
-bending under the Party yoke, accepting the Party discipline? And
-then, think of it, when I speak to Hitler I should click my heels
-and say, ‘Mein Führer,’ or when I write to him address him as
-‘Mein Führer.’ That is quite out of the question for me. I am and
-remain a free man.”</p>
-
-<p class='pindent'>That conversation took place and those words were spoken
-by Schacht at a time when he was at the apex of a rapprochement
-with Hitler, and many a time I have thought about it, whether it
-was true, and remained true, that Schacht was a free man.</p>
-
-<p class='pindent'>As things turned out, after a few years Schacht was forced to
-realize to his sorrow that he had lost a great deal of his freedom,
-that he could not change the course of the armaments financing
-scheme, upon which he had embarked, when he wished to do so; that
-it had become a chain in the hands of Hitler and that it would take
-years of filing and tugging for it to break.</p>
-
-<p class='pindent'>But, in spite of that, his words were true inasmuch as they
-reflected the inner attitude of Schacht towards Hitler. Schacht never
-was a blind follower. It was incompatible with his character, to
-sign himself away to somebody, to sell himself and follow with
-blind devotion.</p>
-
-<p class='pindent'>If one should seek to characterize Schacht’s attitude to Hitler
-thus: My Führer, you command, I follow; and if the Führer
-ordered him to prepare an armament program: I will finance an
-armament program, and it is for the Führer to decide to what
-use it shall be put, whether for war or peace—that would be
-incompatible with Schacht’s attitude and character. He was not
-a man who thought along subaltern lines or who would throw
-away his liberty; in that Schacht differed fundamentally from a
-great many men in leading political and military positions in
-Germany.</p>
-
-<p class='pindent'>Schacht’s attitude, as I came to know it from his character and
-from his statements, could be explained somewhat as follows:
-Schacht admired this man’s tremendous dynamic force directed
-<span class='pageno' title='53' id='Page_53'></span>
-towards national aims, and he took account of this man, hoping to
-use him as a tool for his own plans, for Schacht’s plans towards
-a peaceful political and economic reconstruction and strengthening
-of Germany. That is what Schacht thought and believed, and I
-take that from many statements made by Schacht...</p>
-
-<p class='pindent'>DR. DIX: That, I think, answers the question fully. Now the
-Prosecution accuses Schacht and alleges that Hitler picked out
-Schacht to finance armament for an aggressive war. You, Herr
-Vocke, were a member of the Reichsbank Directorate and you worked
-with him during all those years. Therefore, I ask you to tell the
-Tribunal whether anything transpired in the course of conversations,
-or whether you noticed anything about Schacht’s activities
-and work which would justify such a reproach.</p>
-
-<p class='pindent'>VOCKE: No. Schacht often expressed the view that only a
-peaceful development could restore Germany and not once did I
-hear him say anything which might suggest that he knew anything
-about the warlike intentions of Hitler. I have searched my memory
-and I recall three or four incidents which answer that question
-quite clearly. I should like to mention them in this connection.</p>
-
-<p class='pindent'>The first was the 420 million gold mark credit which was repaid
-in 1933. Luther, when the Reichsbank cover disintegrated in the
-crisis...</p>
-
-<p class='pindent'>DR. DIX: May I interrupt for the information of the Tribunal:
-Luther was Schacht’s predecessor.</p>
-
-<p class='pindent'>VOCKE: ...in 1931 when the cover for the issue of notes had
-to be cut down, Luther in his despair sent me to England in order
-to acquire a large credit in gold from the Bank of England which
-would restore confidence in the Reichsbank. Governor Norman
-was quite prepared to help me, but he said that it would be necessary
-for that purpose to approach also the Federal Reserve Bank
-of New York, the Bank of France, and the International Bank in
-Basel. That was done and the credit amounted to 420 million gold
-marks, but the inclusion of the Bank of France created political
-difficulties which delayed the credit for about 10 or 12 days.</p>
-
-<p class='pindent'>When I returned to Berlin I was shocked to hear that the
-greater part of the credit had already been used up. The gold
-was torn from our hands, and I told Luther: The credit has lost
-its usefulness and we must repay it immediately. Our honor is our
-last asset. The banks which have helped us shall not lose a single
-pfennig.</p>
-
-<p class='pindent'>Luther did not have sufficient understanding for that, and he
-said in so many words: What one has, one holds. We do not know
-for what purpose we may still have urgent need of the gold. And
-so the credit was extended and dragged out over years.
-<span class='pageno' title='54' id='Page_54'></span></p>
-
-<p class='pindent'>When Schacht came to the bank in 1933, I told myself that
-Schacht would understand me, and he did understand me immediately.
-He agreed with me and repaid that credit without
-hesitation. It never entered his head for what other purpose one
-might use that enormous sum of gold, and I say here that if Schacht
-had known of any plans for a war, he would have been a fool
-to pay back 420 million gold marks.</p>
-
-<p class='pindent'>As to the second incident, I cannot give the exact date, but I
-believe it was in 1936. The Reichsbank received a letter from the
-Army Command or the General Staff marked “Top Secret,” with
-the request to remove the gold reserves of the Reichsbank, the
-securities and bank note reserves from the frontier regions of
-Germany to a zone in the interior. The reasons given were the
-following: In the event of a threat to attack Germany on two
-fronts, the Army Command had decided to evacuate the frontier
-areas and to confine itself to a central zone which could be defended
-under all circumstances. I still remember from the map which was
-attached to the letter that the line of defense in the East...</p>
-
-<p class='pindent'>THE PRESIDENT: It seems to the Tribunal that this is very
-remote from any question we have to decide.</p>
-
-<p class='pindent'>DR. DIX: Your Lordship, that map which the witness wants to
-describe shows clearly and beyond doubt that the attitude of the
-German High Command in 1936 was a defensive attitude and one
-which accepted the greatest strategic disadvantages, and this was
-communicated to the Reichsbank under the presidency of Schacht.
-We can see from that communication that nobody at that time even
-thought of aggressive intentions of the Army Command.</p>
-
-<p class='pindent'>THE PRESIDENT: At what time?</p>
-
-<p class='pindent'>DR. DIX: 1936, I understood him to say that. Perhaps it is better
-that he should give you the date.</p>
-
-<p class='pindent'>VOCKE: I cannot say exactly what the date was, but it must
-have been about 1936, in my estimation.</p>
-
-<p class='pindent'>DR. DIX: I believe that it is rather relevant. May the witness
-continue?</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>VOCKE: The line of defense in the East went from Hof straight
-up to Stettin; I cannot remember so well where the western line
-was drawn, but Baden and the Rhineland were outside of it.</p>
-
-<p class='pindent'>The Reichsbank was shocked to hear that and about the threat
-of a two-front attack on Germany and the tremendous sacrifice
-of German territory. It was also shocked at the idea that the Reichsbank,
-in the event of an occupation of these regions by the enemy,
-would have to leave these occupied territories without any financial
-<span class='pageno' title='55' id='Page_55'></span>
-support. Therefore we refused the last-mentioned request, but, as
-far as the gold was concerned, we placed it in Berlin, Munich,
-Nuremberg, and so on.</p>
-
-<p class='pindent'>We could no longer have any doubt, however, after this top
-secret document, about the defensive character of our armaments
-and preparations.</p>
-
-<p class='pindent'>I come to a third incident. That was in 1937. At that time, when
-the economy was already racing ahead and more and more money
-was being put up, Schacht asked for the support of the German
-professors of economy and called them together to persuade them to
-work along his lines, that is, to try to check this trend. At that
-meeting one of those present asked Schacht the question: “What will
-happen if war breaks out?” Schacht got up and said: “Gentlemen,
-then we are lost. Then everything is over with us. I ask you to
-drop this subject. We cannot worry about it now.”</p>
-
-<p class='pindent'>Now I come to the fourth incident, which also leaves no doubt
-about Schacht’s attitude or the completeness of his information.
-That was a conversation immediately after the outbreak of the
-war. In the first few days Schacht, Huelse, Dreyse, Schniewind
-and I met for a confidential talk. The first thing Schacht said was:
-“Gentlemen, this is a fraud such as the world has never seen. The
-Poles have never received the German offer. The newspapers are
-lying in order to lull the German people to sleep. The Poles have
-been attacked. Henderson did not even receive the offer, but only
-a short excerpt from the note was given to him verbally. If at any
-time at the outbreak of a war, the question of guilt was clear, then
-it is so in this case. That is a crime the like of which cannot be
-imagined.”</p>
-
-<p class='pindent'>Then Schacht continued: “What madness to start a war with a
-military power like Poland, which is led by the best French general
-staff officers. Our armament is no good. It has been made by quacks.
-The money has been wasted without point or plan.”</p>
-
-<p class='pindent'>To the retort: “But we have an air force which can make itself
-felt,” Schacht said: “The air force does not decide the outcome of a
-war, the ground forces do. We have no heavy guns, no tanks; in
-three weeks the German armies in Poland will break down, and
-then think of the coalition which still faces us.”</p>
-
-<p class='pindent'>Those were Schacht’s words and they made a deep impression
-on me; for me they are a definite and clear answer to the question
-which Dr. Dix put to me.</p>
-
-<p class='pindent'>DR. DIX: Now, in the course of those years from 1933 to 1939
-did Schacht ever speak to you about alleged or surmised war plans
-of Hitler?</p>
-
-<p class='pindent'>VOCKE: No, never.
-<span class='pageno' title='56' id='Page_56'></span></p>
-
-<p class='pindent'>DR. DIX: What was Schacht’s basic attitude to the idea of a
-war; did he ever mention that to you?</p>
-
-<p class='pindent'>VOCKE: Yes, of course, fairly often. Schacht always emphasized
-that war destroys and ruins both the victor and the vanquished,
-and, in his and our field, he pointed to the example of the victorious
-powers whose economy and currency had been devaluated and
-partly even crippled. England had to devaluate her currency; in
-France there was a complete breakdown of the financial system,
-not to speak of other powers such as Belgium, Poland, Romania,
-and Czechoslovakia.</p>
-
-<p class='pindent'>DR. DIX: Schacht made these statements?</p>
-
-<p class='pindent'>VOCKE: Yes, he did, and quite frequently. Schacht went into
-detail and was very definite about the situation in neutral countries.
-Schacht said again and again: There will be conflicts and
-war again, but for Germany there is only one policy, absolute neutrality.
-And he quoted the examples of Switzerland, Sweden, and
-so on, who by their neutral attitude had grown rich and more
-powerful and become creditor nations. Schacht again and again
-emphasized that very strongly.</p>
-
-<p class='pindent'>DR. DIX: In that connection you will understand my question.
-How can you explain then, or rather, how did Schacht explain to
-you the fact that he was financing armament at all?</p>
-
-<p class='pindent'>VOCKE: Schacht believed at that time that a certain quantity
-of armaments, such as every country in the world possessed, was
-also necessary for Germany for political...</p>
-
-<p class='pindent'>DR. DIX: May I interrupt you. I want you to state only the
-things which Schacht told you; not your opinions about what Schacht
-may have thought, but only what Schacht actually said to you.</p>
-
-<p class='pindent'>VOCKE: Yes. Schacht said a foreign policy without armament
-was impossible in the long run. Schacht also said that neutrality,
-which he demanded for Germany in case of conflict between the
-big powers, must be an armed neutrality. Schacht considered armaments
-necessary, because otherwise Germany would always be
-defenseless in the midst of armed nations. He was not thinking
-of definite attack from any side, but he said that in every country
-there was a militarist party which might come to power today or
-tomorrow, and a completely helpless Germany, surrounded by
-other nations, was unthinkable. It was even a danger to peace
-because it was an incentive to attack her one day. Finally, however,
-and principally Schacht saw in armaments the only means of
-revitalizing and starting up German economy as a whole. Barracks
-would have to be built; the building industry, which is the backbone
-of economy, must be revitalized. Only in that way, he hoped, could
-unemployment be tackled.
-<span class='pageno' title='57' id='Page_57'></span></p>
-
-<p class='pindent'>DR. DIX: Now, events led to the militarization of the Rhineland,
-the reintroduction of compulsory military service. Did you have
-conversations with Schacht in which he said that if this policy of
-Hitler was pursued it might lead to a war, at least to an armed
-intervention by other nations which did not approve of such
-policies? Were there any such conversations between you and
-Schacht?</p>
-
-<p class='pindent'>VOCKE: Not in the sense of your question. Schacht did speak to
-me about the incidents when the Rhineland was reoccupied, that is
-to say, he explained to me how at that time Hitler, as soon as
-France adopted a somewhat menacing attitude, was resolved to
-withdraw his occupation forces—Hitler had climbed down—and
-how he was only prevented in this by Herr Von Neurath, who said
-to him: “I was against that step, but now that you have done it,
-it will have to stand.” What Schacht told me at that time about
-Hitler’s attitude was that Hitler would do anything rather than
-have a war. Schacht also felt this, as he told me, when he mentioned
-the friendship with Poland, the renunciation of his claim to Alsace-Lorraine,
-and, in particular, Hitler’s policy during the first years,
-all of which was a peaceful policy. Only later did he begin to have
-misgivings as regards foreign policy.</p>
-
-<p class='pindent'>DR. DIX: What were Schacht’s principles and ideas in foreign
-policy and how did these line up with his attitude to Hitler’s
-foreign policy?</p>
-
-<p class='pindent'>VOCKE: He definitely disapproved, especially, of course, since
-Ribbentrop had gained influence in foreign politics; Schacht saw in
-him the most incapable and irresponsible of Hitler’s advisers. But
-already before that there were serious differences of opinion
-between Schacht and Hitler on foreign policy.</p>
-
-<p class='pindent'>For instance, as regards Russia: Already from 1928-29 onwards
-Schacht had built up a large trade with Russia by long term
-credits which helped the economy of both countries. He has often
-been attacked on account of that, but he said: “I know what I am
-doing. I also know that the Russians will pay punctually and
-without bargaining. They have always done it.” Schacht was very
-angry and unhappy when Hitler’s tirades of abuse spoiled the
-relations with Russia and brought this extensive trade to an end.</p>
-
-<p class='pindent'>Also, with regard to China, Schacht was convinced of the importance
-of trade with China and was just about to develop it on a
-large scale, when Hitler, by showing preference to Japan and
-recalling the German advisers to Chiang Kai-Shek, again destroyed
-all Schacht’s plans. Schacht saw that this was a fatal mistake and
-said that Japan would never be able nor willing to compensate us
-for the loss of trade with China.
-<span class='pageno' title='58' id='Page_58'></span></p>
-
-<p class='pindent'>Also Schacht always advocated close co-operation with the United
-States, with England, and with France. Schacht admired Roosevelt
-and was proud of the fact that Roosevelt, through the diplomat
-Cockerill, kept in constant touch with him. Schacht was convinced
-of the necessity of remaining on the best terms with England and
-France and for that very reason he disapproved of Ribbentrop
-being sent to London and actively opposed this plan.</p>
-
-<p class='pindent'>Schacht was against Hitler’s policy towards Italy. He knew that
-Mussolini did not want to have anything to do with us, and he
-considered him the most unreliable and the weakest partner.</p>
-
-<p class='pindent'>With regard to Austria, I know only that Schacht thought highly
-of Dollfuss and was horrified and shocked when he heard of his
-murder. Also after the occupation of Austria, he disapproved of
-much that happened there.</p>
-
-<p class='pindent'>May I, in this connection, say a word about Schacht’s colonial
-policy, which was a sort of hobby of Schacht’s, and about which he
-once gave a lecture? I can best illustrate Schacht’s views by telling
-you about the orders which he gave me. Schacht’s idea was to
-make an arrangement with England, France, <span class='it'>et cetera</span>, whereby
-these powers should purchase part of the Portuguese colony of
-Angola and transfer it to Germany, who would not exercise any
-sovereign rights, but would exploit it economically; and he had
-experts’ opinions...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Dix, the Tribunal thinks that this is
-being given in far too great length.</p>
-
-<p class='pindent'>DR. DIX: Well, we can leave out the individual examples. The
-late Field Marshal Von Blomberg made a statement to the effect
-that the Reichsbank received every year from the Reichswehr
-Ministry a written communication about the state of the armaments.
-Do you, who were a member of the Directorate, know anything
-about this communication?</p>
-
-<p class='pindent'>VOCKE: No, I have never heard anything about it.</p>
-
-<p class='pindent'>DR. DIX: From the whole of your experience in the Reichsbank
-and your experience with Schacht’s attitude to his colleagues, do you
-consider it possible that Schacht personally received that information,
-but did not pass it on to any of his colleagues in the
-Reichsbank Directorate?</p>
-
-<p class='pindent'>VOCKE: It may be, but I consider it highly improbable.</p>
-
-<p class='pindent'>DR. DIX: Now, when did Schacht start to try to stop the financing
-of armaments and thereby check rearmament; and, if he did
-try, and if you can affirm it, what were his reasons?</p>
-
-<p class='pindent'>VOCKE: Schacht made the first attempts to limit armaments, I
-believe, about 1936, when economy was running at top speed and
-<span class='pageno' title='59' id='Page_59'></span>
-further armament seemed an endless spiral. The Reichsbank was
-blocked and, I believe, in 1936, Schacht himself started making
-serious attempts to put an end to armaments.</p>
-
-<p class='pindent'>DR. DIX: And do you know from your own experience what
-these attempts were?</p>
-
-<p class='pindent'>VOCKE: These attempts continued throughout the following
-years: First, Schacht tried to influence Hitler and that proved to
-be in vain. His influence decreased as soon as he made any such
-attempt. He tried to find allies in the civic ministries, and also
-among the generals. He also tried to win over Göring, and he
-thought he had won him over, but it did not work. Schacht then
-put up a fight and at last he succeeded in stopping the Reichsbank
-credits for armaments. That was achieved at the beginning of
-March 1938. But that did not mean that he discontinued his efforts
-to stop rearmament itself, and he continued to use every means,
-even sabotage.</p>
-
-<p class='pindent'>In 1938 he issued a loan at a time when he knew that the
-previous loan had not yet been absorbed—when the banks were
-still full of it; and he made the amount of the new loan so big
-that it was doomed to failure. We waited eagerly to see whether
-our calculations were correct. We were happy when the failure
-became obvious and Schacht informed Hitler.</p>
-
-<p class='pindent'>Another way in which he tried to sabotage armaments was
-when the industries which applied for loans to expand their factories
-were prohibited from doing so by Schacht, and thus were
-prevented from expanding. The termination of the Reichsbank
-credit did not only mean that the Reichsbank could no longer
-finance armaments, but it dealt a serious blow to armament itself.
-This was shown in 1938, when financing became extremely difficult
-in all fields and, upon Schacht’s resignation, immediately reverted
-to the direct credits of the issuing bank, which was the only means
-of maintaining elastic credit, perpetual credit, so to speak, which
-Hitler needed and could never have received from Schacht.</p>
-
-<p class='pindent'>I know that from my personal recollection, because I protested
-against that law which was put to me and which Hitler issued after
-Schacht’s dismissal. I said to the Vice President: I am not going to
-have anything to do with it.</p>
-
-<p class='pindent'>Thereupon, I was immediately dismissed ten days after the
-dismissal of Schacht.</p>
-
-<p class='pindent'>DR. DIX: Well, Herr Vocke, for an outsider the motive for
-stopping the financing of armaments might have been purely economic.
-Have you any grounds, have you any experience which
-shows that Schacht was now also afraid of war, and wanted to
-prevent a war by this stoppage of credit?
-<span class='pageno' title='60' id='Page_60'></span></p>
-
-<p class='pindent'>VOCKE: Yes. At any rate, in 1938 the feeling that this tremendous
-armaments program which had no limits would lead to war
-became stronger and stronger, especially after the Munich Agreement.
-In the meantime Schacht had realized, and I think the Fritsch
-affair had made it very clear to him, that Hitler was the enemy,
-and that there was only one thing to do; that was to fight against
-Hitler’s armament program and warmongering by every possible
-means. These means, of course, were only financial, such as the
-sabotage, <span class='it'>et cetera</span>, as I have already described. The final resort
-was the memorandum by which Schacht forced his resignation.</p>
-
-<p class='pindent'>DR. DIX: We will speak later about that. May I ask you
-another question? The Tribunal knows about the method of financing
-this credit, namely, by mefo bills, so you need not say anything
-about that. What I want to ask you is now, in your opinion as a
-lawyer, could the financing of armaments by these mefo bills be
-reconciled with banking law?</p>
-
-<p class='pindent'>VOCKE: The mefo bills and the construction of that transaction
-had, of course, been legally examined beforehand; and the point
-of their legality had been raised with us, and the question as to
-whether these bills could be brought under banking law had been
-answered in the affirmative. The more serious question, however,
-was whether these bills fulfilled the normal requirements which
-an issuing bank should demand of its reserves. To that question,
-of course, the answer is definitely “no.”</p>
-
-<p class='pindent'>If one asks, why did not the bank buy good commercial bills
-instead of mefo bills, the answer is that at that time there had
-been no good commercial bills on the market for years—that is,
-since the collapse due to the economic crisis. Already under Brüning
-schemes for assisting and restoring economy and credit had been
-drawn up, all of which followed similar lines, that is, they were
-sanctioned according to their nature as normal credits along the
-lines of a semipublic loan; for the Bank was faced with the alternative
-of standing by helplessly and seeing what would happen to
-the economy or of helping the Government as best it could to
-restore and support the economy. All issuing banks in other countries
-were faced with the same alternative and reacted in the same
-manner. Thus the armaments bills, which, economically speaking,
-were nothing more than the former unemployment bills, had to
-serve the same purpose. From the point of view of currency policy
-the Reichsbank’s reserves of old bills, which had been frozen by
-the depression, were again made good.</p>
-
-<p class='pindent'>All the regulations under banking law, the traditional regulations
-concerning banking and bills policy, had only one aim,
-namely, to avoid losses.
-<span class='pageno' title='61' id='Page_61'></span></p>
-
-<p class='pindent'>DR. DIX: I believe, Herr Vocke, it will be sufficient for the
-Tribunal if you could confirm that in the end the legal experts of
-the Reichsbank pronounced the mefo bills to be legal. The reasons
-for this, if Your Lordship agrees, we can omit.</p>
-
-<p class='pindent'>Now we come to the memorandum which you have already
-mentioned. I want you to describe to the Tribunal the reasons
-which caused the Reichsbank Directorate, with Schacht at the head,
-to submit that memorandum to Hitler, and what the tactical purposes
-were which the Directorate, and therefore Schacht, hoped to
-achieve by that memorandum.</p>
-
-<p class='pindent'>VOCKE: If we had been able to speak frankly, of course, we
-would have said: You must stop armaments. But the Reichsbank
-itself could not do this. Instead, we had to limit ourselves to the
-question of our responsibility for the currency. Therefore, the
-Reichsbank memorandum dealt with the question of currency. It
-said: If the financing of armaments is continued, German currency
-will be ruined and there will be inflation in Germany.</p>
-
-<p class='pindent'>The memorandum also spoke of limitless credits, of unrestrained
-expansion of credits, and unrestrained expenditure. By expenditure
-we meant armaments. That was quite clear.</p>
-
-<p class='pindent'>THE PRESIDENT: We have all seen the memorandum, have
-we not?</p>
-
-<p class='pindent'>DR. DIX: He is not speaking about the contents of the memorandum,
-but of the reasons, the tactical reasons.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] You understand, Herr Vocke, the
-Tribunal knows the text of the memorandum, so please confine
-yourself to what I have asked you.</p>
-
-<p class='pindent'>VOCKE: The memorandum had to deal with the question of
-currency, but at the same time, we made quite clear what we
-wanted: Limitation of foreign policy. That shows clearly what we
-wanted: Limitation of expenditure, limitation of foreign policy, of
-foreign policy aims. We pointed out that expenditure had reached
-a point beyond which we could not go, and that a stop must be
-put to it. In other words, the expenditure policy, that is the armaments
-program must be checked.</p>
-
-<p class='pindent'>DR. DIX: Now tell us, did you anticipate the effect that that
-memorandum would have on Hitler? What did you expect, tactically?</p>
-
-<p class='pindent'>VOCKE: Either the memorandum would result in a halt of
-this intolerable expenditure which had brought us to ruin—for at
-the end of 1938 there was no more money available, instead there
-was a cash deficit of nearly 1,000 million. That had to be faced,
-and the Minister of Finance was on our side. If this was not
-<span class='pageno' title='62' id='Page_62'></span>
-recognized, then the smash would come and we would have to be
-released. There was no other alternative. We took the unusual
-step of getting the whole Directorate to sign this document.</p>
-
-<p class='pindent'>DR. DIX: That, in my experience, is quite unusual, because
-generally an official document of the Reichsbank is signed by the
-President or his deputy, is it not?</p>
-
-<p class='pindent'>VOCKE: That is true. We wanted to stress that the entire
-Directorate unanimously approved this important document which
-was to put an end to armaments.</p>
-
-<p class='pindent'>DR. DIX: That, Witness, is clear. Have you any reason for
-believing that Hitler recognized that fact?</p>
-
-<p class='pindent'>VOCKE: Yes, Hitler said something to the effect that that would
-be “mutiny.” I think that is the word they use in the Army. I
-have never been a soldier, but I think that when a complaint is
-signed by several soldiers, it is looked upon as mutiny. Hitler had
-the same ideas.</p>
-
-<p class='pindent'>DR. DIX: Yes, something like that does exist. But you were
-not present there. Who told you about that expression “mutiny”?</p>
-
-<p class='pindent'>VOCKE: I cannot remember that any more. I believe it was
-Herr Berger of the Finance Ministry. But I cannot say exactly.</p>
-
-<p class='pindent'>DR. DIX: So there was talk about this expression in ministerial
-circles?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>DR. DIX: Now, that memorandum also contained a compliment
-to Hitler, a reference to his success in foreign policy.</p>
-
-<p class='pindent'>VOCKE: Yes, Schacht had adopted the habit of using flattery
-in his dealings with Hitler. The greater an opponent of the Hitler
-regime Schacht became, the more he made use of this flattery.
-Therefore, in that memorandum, at any rate at the beginning
-where he spoke of Hitler’s successes, he also used those tactics.</p>
-
-<p class='pindent'>DR. DIX: And what was the consequence of that memorandum?
-Please tell us briefly.</p>
-
-<p class='pindent'>VOCKE: The result was that first Schacht was dismissed, then
-Kreide and Huelse, then I, Erhard, and Lessing. The result, however,
-was that they knew abroad what things had come to in Germany.
-My colleague Huelse had made unequivocal statements in Basel,
-and said that if we should be dismissed, then our friends would
-know to what pass things had come.</p>
-
-<p class='pindent'>DR. DIX: Did Herr Huelse tell you that?</p>
-
-<p class='pindent'>VOCKE: Yes, Huelse told me that.
-<span class='pageno' title='63' id='Page_63'></span></p>
-
-<p class='pindent'>DR. DIX: Your Lordship, shall we make a short pause here?
-I have not much more, but I still have the documentary evidence.</p>
-
-<p class='pindent'>THE PRESIDENT: How much longer do you think you will
-take before you finish?</p>
-
-<p class='pindent'>DR. DIX: It is very short and then the documentary evidence
-is also very short. Shall I continue?</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>DR. DIX: Now, Witness, you have described to the Tribunal
-how that dismissal of Schacht and yourself came about. Why did
-Schacht not take that step before? Did he talk to you about it?</p>
-
-<p class='pindent'>VOCKE: No. Throughout the years 1936 and 1937 we could not
-make up our minds. At first there was still hope that Hitler would
-steer a reasonable course as a statesman. Finally, in 1938, we reached
-a crisis, particularly in connection with the Munich Agreement and
-then after the Munich Agreement. Then, indeed, there was real
-anxiety that things would lead to war, and we then saw that we
-had to force the decision.</p>
-
-<p class='pindent'>However, one has to consider the following: As a bank we
-could not bring up political or military arguments or demands
-which were not within our competence. The danger of inflation,
-which we had stressed in that memorandum, did not show until
-1938, when the note circulation during the last ten months had
-increased enormously—more than throughout the five preceding
-years.</p>
-
-<p class='pindent'>DR. DIX: So that it was not until that year that, let us say,
-a pretext, a means, was found to take that leap?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>DR. DIX: Now I will end with a general question. The high
-intelligence of Dr. Schacht is not disputed—that he was disappointed
-in Hitler and deceived by him, he says himself. You yourself, with
-your knowledge of Schacht’s personality must probably have had
-your own ideas as to how this mistake on the part of Schacht
-could be explained, how he could have been so deceived. Therefore,
-if the Tribunal permits, I should be grateful if you could give us
-your personal impressions about it, but...</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Your Honor, may I make an objection?
-I do not understand how the operations of Dr. Schacht’s mind can
-be explained by someone else. I have had no objection to any facts
-which this witness has known. We have even let him detail here
-<span class='pageno' title='64' id='Page_64'></span>
-at great length private conversations. However, speculation on
-Schacht’s mental operations, it seems to me, is beyond the pale of
-probative evidence.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Dix, as I think I have said before, you
-cannot give by one witness the thoughts of another man; you can
-only give his acts and his statements.</p>
-
-<p class='pindent'>DR. DIX: Yes, Your Lordship. When I put the question, I said
-“if the Tribunal permits.” I, too, was aware of the question of
-admissibility...</p>
-
-<p class='pindent'>THE PRESIDENT: You have the answer now: The Tribunal
-does not allow it.</p>
-
-<p class='pindent'>DR. DIX: Then we will leave that question. May I ask Your
-Lordship this? Of course, I can still put questions about the treatment
-of the Jews by Schacht. I personally think that this chapter
-has been dealt with so exhaustively that it is not necessary for
-this witness to give us more examples of the attitude of Schacht.
-I would only ask to be permitted to put the same question concerning
-the Freemasons, because nothing has been stated about that.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Do you know anything about the treatment
-of Freemasons or the attitude of Schacht to Freemasons?</p>
-
-<p class='pindent'>VOCKE: Yes. The Party demanded that the Freemasons should
-be eliminated from the Civil Service. Schacht said: “I refuse to let
-anybody tell me what to do. Everybody knows that I myself am a
-Freemason; how can I take action against officials simply because
-they belong to the Order of Freemasons?” And as long as Schacht
-was in office he kept Freemasons in office and promoted them.</p>
-
-<p class='pindent'>DR. DIX: Now, one last question. Do you know whether Schacht
-ever received any gifts or had any economic advantages during
-Hitler’s time beyond his regular income as an official?</p>
-
-<p class='pindent'>VOCKE: No; that was quite out of the question for Schacht.
-Besides, he was never offered gifts. In all his dealings, as far as
-money was concerned, he was absolutely clean and incorruptible.
-I can give examples. For instance, when he left in 1930 he reduced
-his pension to less than half the pension of the vice president or of
-any board member. He said: “These people have devoted their whole
-life to the bank, whereas I have given only a few years incidental
-service.” I could give more examples of Schacht’s absolute correctness
-in that respect.</p>
-
-<p class='pindent'>DR. DIX: I believe, if the Tribunal does not wish so, it will not
-be necessary to give further examples. That brings me to the end
-of my interrogation of this witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Does any other counsel for the defense
-wish to ask any questions?
-<span class='pageno' title='65' id='Page_65'></span></p>
-
-<p class='pindent'>DR. GUSTAV STEINBAUER (Counsel for Defendant Seyss-Inquart):
-Witness, do you remember the financial-political measures
-on the occasion of the annexation of Austria in March 1938; that
-is to say, in general terms?</p>
-
-<p class='pindent'>At that time two laws were issued, both of 17 March 1938, one
-concerning the conversion of schillings into marks, and the other
-for the taking over of the Austrian National Bank by the Reichsbank.</p>
-
-<p class='pindent'>Dr. Schacht, as a witness, stated yesterday that on 11 March he
-was asked what exchange rate he would consider correct in the event
-of an entry into Austria, and he answered that question by saying
-that according to the latest market rate two schillings for one
-Reichsmark would be correct.</p>
-
-<p class='pindent'>After the Anschluss, my client, Dr. Seyss-Inquart, objected to
-the under-valuation of the schilling, and he succeeded in getting the
-schilling converted at 1.50 to the Reichsmark. Is that correct?</p>
-
-<p class='pindent'>VOCKE: Before the entry into Austria I had not heard of any
-ratio being fixed by the Reichsbank Directorate. They were entrusted
-with that question only after the entry into Austria, and as experts
-and bankers they proposed a ratio which was in accordance with
-the conditions; and only a slight modification was made for the
-exchange. It was for the Government to make concessions, if it
-wanted to win over the Austrian population or make it favorably
-inclined.</p>
-
-<p class='pindent'>DR. STEINBAUER: The second law deals with the Austrian
-National Bank. The witness Dr. Schacht has said today that the
-Austrian National Bank was not liquidated, but—as he expressed
-himself—amalgamated. I have looked up that law and it states
-expressly in Paragraph 2 that the Austrian National Bank was to
-be liquidated. That is Document Number 2313-PS. Now I ask you,
-Witness, do you know anything about it? Was the Austrian National
-Bank left in function as an issuing bank, or was it liquidated?</p>
-
-<p class='pindent'>VOCKE: The right to issue notes in Austria, of course, went to
-the Reichsbank, which, as far as I know, took over the Austrian
-National Bank in Vienna and carried it on. I do not remember any
-details. My colleague Kesnick took care of that.</p>
-
-<p class='pindent'>DR. STEINBAUER: But maybe you will remember if I quote
-from the official reports of the Austrian National Bank that the
-gold reserve of the Austrian National Bank in March 1933 amounted
-to 243 million schillings in gold and the foreign currency reserve
-to 174 million schillings, which means that roughly over 400 million
-schillings in gold were taken over by the Reichsbank from the
-Austrian National Bank.
-<span class='pageno' title='66' id='Page_66'></span></p>
-
-<p class='pindent'>VOCKE: I do not recall these facts any more; but if it was
-done, it was done by law, by the Government.</p>
-
-<p class='pindent'>DR. STEINBAUER: Yes. I have that law of 17 March. I just
-wanted to correct a mistake which Herr Schacht must have made
-today unintentionally. The law he himself signed says “shall be
-liquidated.” I have no other questions.</p>
-
-<p class='pindent'>DR. LATERNSER: Witness, you said earlier that the fundamental
-difference between Dr. Schacht and the high military leaders
-was that he remained a free man in his attitude to the regime.
-I want to ask you now, since that statement seems to imply an
-opinion of the high military leaders: Which of the high military
-leaders do you know personally?</p>
-
-<p class='pindent'>VOCKE: Not a single one.</p>
-
-<p class='pindent'>DR. LATERNSER: Then would you maintain that opinion?</p>
-
-<p class='pindent'>VOCKE: In our circle of the Reichsbank Herr Keitel and other
-gentlemen were considered too servile and too acquiescent toward
-Hitler.</p>
-
-<p class='pindent'>DR. LATERNSER: But since you had no personal acquaintance
-with these people do you think that you can express a somewhat
-critical opinion on them, as you have done?</p>
-
-<p class='pindent'>VOCKE: Yes, I think so.</p>
-
-<p class='pindent'>DR. LATERNSER: I have no further questions.</p>
-
-<p class='pindent'>THE PRESIDENT: Do any of the other counsel wish to cross-examine?</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Witness, when you met Dr. Schacht
-first, as I understood it, it was on the occasion of an official visit
-which you paid to Von Lumm in Brussels?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: During the first years of the first
-World War?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Schacht then held some position on
-Von Lumm’s staff?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: What was his position, Schacht’s?</p>
-
-<p class='pindent'>VOCKE: I cannot say that. He was just one of the staff. How
-I came to meet him was that on one occasion when I was sent to
-Brussels to discuss something with Von Lumm, the latter took the
-opportunity to introduce his collaborators and among them was
-Schacht. We were merely introduced.
-<span class='pageno' title='67' id='Page_67'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And what was Von Lumm’s position?
-What was he doing in Brussels?</p>
-
-<p class='pindent'>VOCKE: He was Commissioner for Banking with the General
-Command.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: General Command of the German
-Army?</p>
-
-<p class='pindent'>VOCKE: Commissioner for the Banks with the Occupation Army.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Named by Germany.</p>
-
-<p class='pindent'>VOCKE: Without doubt.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, he was a German, not a Belgian?</p>
-
-<p class='pindent'>VOCKE: Yes, he was a German.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, some time after that Schacht
-was dismissed by Von Lumm, was he not?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you had a discussion with Von
-Lumm about that and also you had one with Schacht about it, did
-you not? Tell me whether you had the visit...</p>
-
-<p class='pindent'>VOCKE: I read the official reports in Berlin about the dismissal
-of Schacht. I was working in the Reich Office of the Interior. I only
-spoke about these things with Schacht when he became Reichsbank
-President and he spoke to me about it one day.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, before Schacht went on the
-staff of Von Lumm, he was director of the Dresdner Bank.</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And the dismissal was because Schacht
-had delivered to that bank a considerable amount of Belgian francs.</p>
-
-<p class='pindent'>VOCKE: Yes. I do not know how large that amount was.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: But it was considerable.</p>
-
-<p class='pindent'>VOCKE: Maybe.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And that, Von Lumm thought, gave
-to the Dresdner Bank an advantage which was incompatible with
-Schacht’s duties as a public official?</p>
-
-<p class='pindent'>VOCKE: That, at any rate, was Von Lumm’s view. He took a
-very serious view, which Schacht, not being a civil servant, could
-not quite appreciate.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And Von Lumm called a meeting and
-reproached Schacht?</p>
-
-<p class='pindent'>VOCKE: Yes.
-<span class='pageno' title='68' id='Page_68'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Schacht then gave an answer to Von
-Lumm which Von Lumm considered was not sincere, but was
-merely a lie?</p>
-
-<p class='pindent'>VOCKE: Yes. That was Von Lumm’s point of view.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, that is what Von Lumm told
-you about?</p>
-
-<p class='pindent'>VOCKE: That was in the written report which I have read.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, when you came to talk to
-Schacht about it and about his answer to Von Lumm, Schacht told
-you that it was perhaps not quite an open answer, but not a lie?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: However, having heard both sides of
-it, you along with all of the other directors of the Reichsbank were
-opposed to Schacht’s appointment as President, as you have testified.</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you took the view, along with all
-the other directors, that the behavior of Dr. Schacht in the Belgian
-bank affair was not quite fair and not quite correct?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, when Dr. Schacht came back to
-the Reichsbank under the Nazi regime, as I understand it, there was
-a good deal of resentment and reserve against him on the part of
-the Reichsbank Directorate, because he “in our eyes then was a Nazi.
-He was in close touch with Hitler and kept some things secret from
-us, his colleagues.” That is correct, is it not?</p>
-
-<p class='pindent'>VOCKE: I could not say that. It is true there was a feeling
-against Schacht. As I explained before, because we had assumed,
-and I had assumed—though we were wrong about it—that he was
-a Nazi. It is possible that Schacht did keep things secret from us,
-but at any rate I do not know whether he did, or what those things
-were.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, did you not say in a statement
-that he was in close touch with Hitler and kept some things secret
-from “us, his colleagues”?</p>
-
-<p class='pindent'>VOCKE: I do not know whether he kept things secret from us.
-It is possible, but I could not prove it.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Is it not true that years later, when
-already some fatal moments were reached in the currency system,
-circulation, price and wages system, “rumors came to our ears
-through semiofficial channels that Dr. Schacht had given Hitler the
-promise to finance armaments”? Did you not say that?
-<span class='pageno' title='69' id='Page_69'></span></p>
-
-<p class='pindent'>VOCKE: That Schacht had given the promise to Hitler? Well, in
-certain circles there were rumors of that nature. Whether it is true
-I could not say.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, you felt after the Munich Agreement
-and after Hitler’s speech at Saarbrücken that that destroyed
-all hopes of peace, did you not?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And from that date, together with
-Pilseck, you did all in your power to persuade Schacht that a decision
-had to be forced?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Dr. Schacht agreed with you, but
-hesitated to take the decisive step?</p>
-
-<p class='pindent'>VOCKE: Yes. He said—Schacht was not against it in principle,
-but he wanted to decide himself when our memorandum should be
-submitted, and as this memorandum was to be signed by all of us,
-and each one of us wanted to make corrections, the handing in of
-this memorandum was delayed from October until 7 January.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: The agreement was prepared by you
-and Pilseck?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you approached Dr. Schacht again
-and again on it?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And he kept the draft all this time
-and told you that he was in doubt about the best moment to bring
-it before Hitler?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And it was not until Hitler refused to
-see him at Berchtesgaden that he finally sent him the memorandum?</p>
-
-<p class='pindent'>VOCKE: That I do not know. I have heard here for the first
-time that Hitler refused to receive Schacht at Berchtesgaden. It may
-be. I only heard that Schacht was at Berchtesgaden, and after his
-return, according to my recollection, he talked about his meeting
-with Hitler and that now the moment had come to send him the
-memorandum.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Well, your memorandum is the only
-source of my information, and according to my translation it says:
-“Finally, in December 1938, he resolved to sign it after a last attempt
-to speak with Hitler in Berchtesgaden.”</p>
-
-<p class='pindent'>VOCKE: Yes.
-<span class='pageno' title='70' id='Page_70'></span></p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: At that time, there was something of
-a financial crisis.</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Considerable difficulty, inflation was
-just around the corner, as you might say.</p>
-
-<p class='pindent'>VOCKE: The Government was confronted with the 3,000 million
-mefo bills which were about to fall due and which had to be
-covered, and the Minister of Finance had a cash deficit of 1,000 million.
-The Minister of Finance came to see us and asked us to tide it
-over, because otherwise he could not pay the salaries on 1 January.
-We refused. We did not give him a single pfennig. We told him that
-the best thing that could happen would be that bankruptcy should
-become manifest in order to show how impossible it was to continue
-this system and this policy. He then received money from private
-banks.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you and Huelse, particularly
-Huelse, had long warned against this course of the Reichsbank, is
-that not true?</p>
-
-<p class='pindent'>VOCKE: No, that is not true.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Had not you and Huelse, long before
-this, warned that this mefo business would end up in trouble?</p>
-
-<p class='pindent'>VOCKE: Of course, the Reichsbank had for years fought against
-the mefo bills, which were to mature in March 1938, and from then
-on the Reichsbank did not give any more armament credits.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: Now, after his dismissal from the
-Reichsbank, you very frequently discussed matters with Schacht and
-you found that he had turned very bitter against the Government.
-Is that not true?</p>
-
-<p class='pindent'>VOCKE: I did not have frequent meetings with Schacht. We met
-every few months in the beginning and then, when Schacht went to
-Guehlen, our meetings stopped; I saw him there only once or twice.
-But it was not only after his dismissal that Schacht became a bitter
-enemy of Hitler, but he had been that during the whole of 1938.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: And you said, “I think in his heart he
-hoped he would be called after Hitler’s defeat to help build a new
-and better order of things in Germany”?</p>
-
-<p class='pindent'>VOCKE: Certainly. Schacht spoke to me in Guehlen about the
-men who would have to come after Hitler had been finally overthrown,
-and in conversation we mentioned the ministers who then
-could save Germany from despair, and Schacht was certain that he
-also would be called in to assist.</p>
-
-<p class='pindent'>MR. JUSTICE JACKSON: No further questions, Your Honor.
-<span class='pageno' title='71' id='Page_71'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Do any of the other Prosecution Counsel want
-to cross-examine?</p>
-
-<p class='pindent'>DR. DIX: Herr Vocke, in reply to the questions of Mr. Justice
-Jackson, you have explained the attitude and the statement of Herr
-Von Lumm about the incident in Brussels. You also told the Tribunal
-about the statement by Minister Severing, which he made about that
-incident not so long ago.</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>DR. DIX: Did you not also speak to the President of the Supreme
-Court of the Reich, Simons, who was at that time in the Foreign
-Office and knew the case very well? Did you not speak to him about
-that case?</p>
-
-<p class='pindent'>VOCKE: Yes, I spoke to him and Ministerial Director Lewald.
-At that time I was a young assistant judge.</p>
-
-<p class='pindent'>DR. DIX: You will have to tell the Tribunal who Lewald was.</p>
-
-<p class='pindent'>VOCKE: It is correct that I spoke to Simons, who later became
-President of the Supreme Court of the Reich, and to His Excellency
-Lewald, who later became Undersecretary of State in the Reich
-Office of the Interior, about these matters which came officially to
-my knowledge in my capacity as expert in the Reich Office of the
-Interior.</p>
-
-<p class='pindent'>Both gentlemen smiled at the self-important attitude of Von
-Lumm who made mountains out of mole hills, and also at the
-misfortune of Herr Schacht. They smiled benevolently and saw the
-whole thing as a tremendous exaggeration.</p>
-
-<p class='pindent'>DR. DIX: Thank you, that is enough. I have no further questions.</p>
-
-<p class='pindent'>However, if the Tribunal will permit me, I should like to point
-out that Schacht mentioned here that on 2 January 1939 he spoke at
-great length to Hitler, in Berchtesgaden. I do not know whether I
-am confusing that with a statement made by a witness or with a
-statement made by him. I just wanted to point it out. If he were
-still sitting here as a witness, he could tell us about it.</p>
-
-<p class='pindent'>Your Lordship, I bring that up because it was stated by Mr.
-Justice Jackson that Hitler did not receive Schacht in Berchtesgaden
-and that that was the cause of Schacht’s decision to forward that
-memorandum. I only mention, as this witness here cannot know it,
-that Schacht did speak to Hitler. If he did not say so this morning
-or yesterday, he will say it at any time.</p>
-
-<p class='pindent'>I cannot remember now. Sometimes one confuses private information
-with what one has heard in the courtroom.</p>
-
-<p class='pindent'>THE PRESIDENT: Put the microphone where the Defendant
-Schacht can speak from there and ask him the question.
-<span class='pageno' title='72' id='Page_72'></span></p>
-
-<p class='pindent'>[<span class='it'>The microphone was placed before the defendant.</span>]</p>
-
-<p class='pindent'>DR. DIX: Dr. Schacht, you have witnessed the cross-examination.
-Would you like to tell the Tribunal what happened?</p>
-
-<p class='pindent'>SCHACHT: When I spoke here I said that I had a long conversation
-on 2 January 1939 with Hitler at Berchtesgaden on the
-Obersalzberg, and that after that conversation, in which the
-suggestion was put to me to create an inflation, I considered that the
-time had come to take that step which the Reichsbank afterwards
-took, to dissociate itself from Hitler and his methods.</p>
-
-<p class='pindent'>[<span class='it'>The microphone was returned to the witness.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: There is one question I want to ask you,
-Witness. Did the Defendant Schacht ever tell you that he had been
-appointed Plenipotentiary General for War Economy?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: When?</p>
-
-<p class='pindent'>VOCKE: Well, I believe he was appointed to that office in 1935.
-I believe that is the date. I could not say for certain.</p>
-
-<p class='pindent'>THE PRESIDENT: I did not ask you when he was appointed. I
-asked you when he told you.</p>
-
-<p class='pindent'>VOCKE: I cannot recall that because we had nothing to do with
-these things. I only know that either in 1935 or 1936—I believe it
-was 1935—he received such an appointment.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes. The question I asked you was: Did the
-Defendant Schacht ever tell you that he had been appointed?</p>
-
-<p class='pindent'>VOCKE: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: When did he tell you?</p>
-
-<p class='pindent'>VOCKE: I think in 1935.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness can retire.</p>
-
-<p class='pindent'>DR. DIX: May I put one last question to this witness?</p>
-
-<p class='pindent'>Witness, did you have any idea of the importance of that office?</p>
-
-<p class='pindent'>VOCKE: No. I never heard that Schacht had done anything in
-that function except that he had special letter headings for this.
-His activity in the Reichsbank continued in the same way as
-previously, without his selecting a staff for that office, and without—at
-least as far as my knowledge goes—his using the premises
-and facilities of the Reichsbank for this new office.</p>
-
-<p class='pindent'>DR. DIX: Have you any knowledge as to whether he had a
-separate office or a separate staff for carrying on his activity as
-Plenipotentiary?</p>
-
-<p class='pindent'>VOCKE: You mean commissioner general for armaments?
-<span class='pageno' title='73' id='Page_73'></span></p>
-
-<p class='pindent'>DR. DIX: Plenipotentiary for War Economy.</p>
-
-<p class='pindent'>VOCKE: No, he had no separate office, and as I have said before,
-as far as I know he never had a staff.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness can retire.</p>
-
-<p class='pindent'>[<span class='it'>The witness left the stand.</span>]</p>
-
-<p class='pindent'>DR. DIX: May I begin with my documents? I can make the
-presentation of documents very brief and I am sure that I will
-conclude it before the end of the session, because I had an opportunity
-to submit a large portion of my documents during the interrogation
-of witnesses. May I make the general request that judicial
-notice be taken of everything I have not read and everything I do
-not propose to read. In this connection, I should like to point out that
-the entire contents of my document book have, with one exception,
-either been submitted or will be submitted now as exhibits. The
-exception, the document which has not been submitted, is Exhibit
-Number 32. That is the frequently mentioned article of the <span class='it'>Basler
-Nachrichten</span> of 14 January 1946, which, for the reasons mentioned
-yesterday, has not been and will not be submitted by me.</p>
-
-<p class='pindent'>I come now to Volume I of my document book, to the exhibits
-which have not yet been submitted; that is, first Exhibit Number 5
-(Document Schacht-5) Adolf Hitler’s Reichstag speech of 23 May
-1933. That exhibit was read by Schacht in the course of his interrogation
-and is now being submitted.</p>
-
-<p class='pindent'>I further submit Exhibit Number 23 (Document Schacht-23), the
-letter from Schacht to Hermann Göring, of 3 November 1942.
-Although that letter has been submitted by the Prosecution, we
-submit it again, and for the following reasons: In the copy which
-was submitted by the Prosecution, the date and the year were left
-out and, of course, as it has been translated literally, also in our
-copy. However, a confirmatory note by Professor Kraus based on
-the testimony given by Schacht has enabled us to make a note on
-it to the effect that it must be the letter of 3 November 1942, because
-it was that letter which caused the dismissal in January 1943. It is
-only submitted in order to make it easier for the Tribunal to ascertain
-the date. That was Exhibit Number 23.</p>
-
-<p class='pindent'>Then I wish to submit Exhibit Number 27 (Document Schacht-27).
-I am not going to read it; I only ask that judicial notice be taken
-of it. That is the address given by Dr. Schacht at the celebration
-meeting of the Reich Economic Chamber in January 1937.</p>
-
-<p class='pindent'>Then I submit Exhibit Number 29 (Document Schacht-29),
-excerpts from the book by Gisevius, which we want to put into
-evidence, and I ask you to take judicial notice. I will not read
-anything.
-<span class='pageno' title='74' id='Page_74'></span></p>
-
-<p class='pindent'>Exhibit Number 33 (Document Number Schacht-33) in my document
-book is a letter from a certain Morton, a former citizen of
-Frankfurt-on-Main, who emigrated to England, a man who was
-highly respected in Frankfurt. The letter is directed to the Treasury
-Solicitor in England and we have received it here from the Prosecution.
-I also ask that judicial notice be taken of its contents and
-want to read only one sentence on the last page. I quote:</p>
-
-<div class='blockquote'>
-
-<p>“I last heard from Schacht indirectly. Lord Norman who was
-then Mr. Montague Norman, Governor of the Bank of England,
-told me confidentially in 1939 shortly before the outbreak
-of the war, that he had just come back from Basel
-where he had seen Schacht who sent me his greetings. Lord
-Norman also told me that Schacht, who had returned to
-Germany from Basel, was in great personal danger as he was
-very much in disgrace with the Nazis.”</p>
-
-</div>
-
-<p class='pindent'>That concludes Volume I of my document book and I pass on to
-Volume II, which begins with the affidavits. I must go through the
-individual affidavits, but I shall not read any.</p>
-
-<p class='pindent'>The first is Exhibit Number 34 (Document Schacht-34), which has
-frequently been quoted, the affidavit of the banker and Swedish
-Consul General, Dr. Otto Schniewind, who is at present in Munich.
-It is a very instructive and very exhaustive affidavit and in order
-to save time—there are 18 pages which would take up a lot of
-time—I will confine myself to what I have read from this affidavit;
-I ask the Tribunal to take judicial notice of the remainder. It has
-already been submitted.</p>
-
-<p class='pindent'>However, I still have to submit Exhibit Number 35 (Document
-Schacht-35), which has not yet been submitted. I beg your pardon,
-but it has been submitted before. It is the affidavit of Dr. Franz
-Reuter. I submitted it when I spoke here about the biased nature of
-this biography. I ask you to take judicial notice of the rest of this
-affidavit.</p>
-
-<p class='pindent'>The next Exhibit Number 36 (Document Schacht-36) is an affidavit
-by Oberregierungsrat Dr. Von Scherpenberg, formerly Embassy
-Counsellor at the Embassy in London, afterwards departmental
-chief at the Foreign Office and now at the Ministry of
-Justice in Munich, the son-in-law of Dr. Schacht. I have read a
-passage and I ask that judicial notice be taken of the unread
-portion.</p>
-
-<p class='pindent'>The next is Exhibit Number-37(a) (Document Schacht-37(a)). It
-has been submitted. Here also a passage on Page 154 of the German
-text has been read, about the warning signal given abroad when
-Schacht resigned as Reichsbank President. I ask that judicial notice
-be taken of the remainder.
-<span class='pageno' title='75' id='Page_75'></span></p>
-
-<p class='pindent'>The next affidavit is by the same gentleman, who was also a
-colleague of Dr. Schacht in the Reichsbank Directorate at the same
-time as the witness Vocke, whom we have just heard. I submit it.
-There is no need to read anything. I only ask you to take judicial
-notice of its contents.</p>
-
-<p class='pindent'>The next affidavit, Exhibit Number-37(c) (Document Schacht-37(c))
-is by the same gentleman and has already been submitted. I ask
-you to take judicial notice of its contents. There is no need to read
-anything.</p>
-
-<p class='pindent'>The next is Exhibit Number 38 (Document Schacht-38), an affidavit
-by General Thomas. It has not been submitted yet, and I
-submit it now and ask to be permitted to read one passage, beginning
-on the first page; that is Page 172 of the English text and
-Page 164 of the German text:</p>
-
-<div class='blockquote'>
-
-<p>“Question: Schacht claims to have influenced Blomberg to
-delay rearmament. Can you give any information on this
-matter? When was it?</p>
-
-<p>“Answer: I was Chief of the Army Economic Staff, that is
-the Army Economic and Armament Office at the High Command
-of the Wehrmacht (OKW) from 1934 to the time of my
-dismissal in January 1943. In this capacity I had connection
-with the Reich Minister of Economics and Reich Bank President
-Hjalmar Schacht. Up till 1936 Schacht undoubtedly
-promoted rearmament by making available the necessary
-means. From 1936 on he used every opportunity to influence
-Blomberg to reduce the tempo and extent of rearmament.
-His reasons were as follows:</p>
-
-<p>“1. Risk to the currency.</p>
-
-<p>“2. Insufficient production of consumer goods.</p>
-
-<p>“3. The danger to the foreign policy, which Schacht saw in
-excessive armament of Germany.</p>
-
-<p>“Concerning the last point he frequently spoke to Blomberg
-and me and said that on no account must rearmament be
-allowed to lead to a new war. These were also the reasons
-which led him to hold out to Blomberg in 1936 and again in
-1937 the threat that he would resign. On both of these
-occasions I was delegated by Blomberg to dissuade Schacht
-from carrying out his threat to resign. I was present during
-the conference between Blomberg and Schacht in 1937.”</p>
-
-</div>
-
-<p class='pindent'>I ask you to take judicial notice of the remainder of that affidavit
-by General Thomas.</p>
-
-<p class='pindent'>The next Exhibit is Number 39 (Document Schacht-39); parts of
-it have been read, that is to say, the part Schacht played in the
-incident of the 20th of July together with General Lindemann; it is
-<span class='pageno' title='76' id='Page_76'></span>
-the affidavit by Colonel Gronau. I ask the Tribunal to take judicial
-notice of the remainder.</p>
-
-<p class='pindent'>The same applies to the next Exhibit Number 40 (Document
-Schacht-40). That is a sworn statement, also by a colleague of
-Schacht in the Ministry of Economics, Kammerdirektor Asmus, now
-in retirement. I have also read parts of this already, namely, the
-passages concerning the happenings at the time of the dismissal as
-Minister of Economics; and I ask you to take judicial notice of the
-remainder.</p>
-
-<p class='pindent'>Then we come to Exhibit Number 41 (Document Schacht-41),
-which is the affidavit by State Secretary Carl Christian Schmid, also
-in retirement. I have not yet read anything and I ask to be permitted
-to read two passages.</p>
-
-<p class='pindent'>The first one is on Page 182 of the German text; Page 190 of the
-English text:</p>
-
-<div class='blockquote'>
-
-<p>“When the Brüning Cabinet, which had been arranged by
-General Von Schleicher...”—That is not legible. I think that
-should be different, but it is not legible.—“When that was
-torpedoed by Schleicher himself, Schacht considered the early
-appointment of Hitler as head of the Government to be
-unavoidable. He pointed out that the great mass of the German
-people said ‘Yes’ to National Socialism, and that the Left
-as well as the Center had come to a state of complete passive
-resignation. The short life of the transition cabinets of Papen
-and Schleicher was clear to him from the very beginning.</p>
-
-<p>“Schacht decisively advocated the co-operation in National
-Socialism of men experienced in their respective fields,
-without acceptance of its program as a whole, which he
-always referred to ironically, later frequently calling it
-‘a really bestial ideology’ in conversation with me; but he
-held that the influencing of developments from important
-inner power positions was an absolute patriotic duty, and he
-strongly condemned emigration and the resort to easy armchair
-criticism.”</p>
-
-</div>
-
-<p class='pindent'>And then on Page 184 of the German text, 192 of the English
-text, two very short passages:</p>
-
-<div class='blockquote'>
-
-<p>“I recall numerous talks with Dr. Schacht in which he stated
-that war was an economic impossibility and simply a crazy
-idea, as, for instance, when he was in Mülheim at the house
-of Dr. Fritz Thyssen, who was closely associated with Göring
-and Hitler before 1933 but was in strong opposition from 1934
-on and also opposed any idea of war as madness.”</p>
-
-</div>
-
-<p class='pindent'>And, then, further down on the same page, only one sentence:</p>
-
-<div class='blockquote'>
-
-<p>“When Schacht spoke to me he used to refer ironically to the
-Himmler-Rosenberg Lebensraum plans against Russia as an
-<span class='pageno' title='77' id='Page_77'></span>
-example of the mad presumption of extremist Party circles.
-Schacht’s special fad was an understanding with England,”</p>
-
-</div>
-
-<p class='noindent'>and so on; and I ask you to take judicial notice of the remainder of
-the document.</p>
-
-<p class='pindent'>The same applies to the whole of Exhibit Number 42 (Document
-Schacht-42), an affidavit by the director of the Upper Silesian Coke
-Works, Berckemeyer.</p>
-
-<p class='pindent'>I come now to Exhibit Number 43 (Document Schacht-43). That
-has already been submitted and read in part. It is the correspondence
-between the publisher of Ambassador Dodd’s Diary and Sir Nevile
-Henderson. I ask you to take judicial notice of the part not yet
-read, and whatever comes after Exhibit 43 has been submitted. I
-ask you to take judicial notice of its contents, and I forego the
-reading of it.</p>
-
-<p class='pindent'>That brings me to the end of my presentation in the case of
-Schacht.</p>
-
-<p class='pindent'>THE PRESIDENT: Now the Tribunal will continue the case
-against the Defendant Funk.</p>
-
-<p class='pindent'>DR. FRITZ SAUTER (Counsel for Defendant Funk): Mr. President,
-with your permission I call first the Defendant Dr. Funk
-himself to the witness box.</p>
-
-<p class='pindent'>[<span class='it'>The Defendant Funk took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name, please?</p>
-
-<p class='pindent'>WALTER FUNK (Defendant): Walter Emanuel Funk.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The defendant repeated the oath in German.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, may I begin with one observation:
-The Defendant Funk has been a sick man for many years now, and
-before he came into the prison he had been in hospital for some
-time. He was supposed to undergo an operation, which, however,
-due to conditions at the time, could not be carried out. He still is
-under medical treatment. In consideration of that fact, and because
-the defendant is extremely anxious to conclude his own interrogation
-as soon as possible, I shall put only those questions to the
-defendant which are absolutely necessary to give you a clear picture
-about his person and his activities.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Witness, when were you born?
-<span class='pageno' title='78' id='Page_78'></span></p>
-
-<p class='pindent'>FUNK: On 18 August 1890.</p>
-
-<p class='pindent'>DR. SAUTER: So you are now 56?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: First, I want to put to you the most important
-particulars of your life, and to simplify matters you may answer
-only with “yes” or “no.”</p>
-
-<p class='pindent'>You are 56 years old. You were born in East Prussia?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: You come from a merchant’s family in Königsberg?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Then you studied in Berlin at the university, law
-and political science, literature and music. You also come from a
-family which has produced a number of artists.</p>
-
-<p class='pindent'>FUNK; Yes.</p>
-
-<p class='pindent'>DR. SAUTER: During the World War you were first in the Infantry,
-and in 1916, because of a bladder ailment, you became unfit
-for service?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Then you became an editor with several large
-newspapers, and you told me that for a long time you could not
-make up your mind whether to become a musician or a journalist.
-Then you decided for the latter, and in 1922, I believe, you became
-editor in chief of the <span class='it'>Berliner Börsenzeitung</span>. Is all that correct?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Now perhaps you will tell us what were the
-political tendencies of that paper on which you worked for about
-ten years as editor in chief?</p>
-
-<p class='pindent'>FUNK: The tendency of the paper was somewhere between the
-Center and the Right. The newspaper was not tied to any party.
-It was owned by an old Berlin family of publishers.</p>
-
-<p class='pindent'>DR. SAUTER: What was the attitude of that paper to the Jewish
-question before you took on the editorship and during the time
-when you were editor in chief?</p>
-
-<p class='pindent'>FUNK: Absolutely neutral. It did not deal in any way with the
-Jewish question.</p>
-
-<p class='pindent'>DR. SAUTER: From an affidavit by Dr. Schacht, I have seen that
-at that time—that is to say, during the twenties—you moved in
-circles which were also frequented by Jews, and where economic
-and political matters, such as gold currency, <span class='it'>et cetera</span>, were often
-discussed. Is that correct?
-<span class='pageno' title='79' id='Page_79'></span></p>
-
-<p class='pindent'>FUNK: I do not know anything about that.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Schacht has asserted that in an affidavit of
-7 July 1945 (Document Number 3936-PS).</p>
-
-<p class='pindent'>FUNK: I had a lot to do with Jews. That was in the nature of
-my profession. Every day at the stock exchange I was together with
-4,000 Jews.</p>
-
-<p class='pindent'>DR. SAUTER: Then in 1931 you resigned your post as editor
-in chief?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: What were the reasons for that?</p>
-
-<p class='pindent'>FUNK: I was convinced that the National Socialist Party would
-come to power in the Government, and I felt called upon to make
-my own political and economic opinions heard in the Party.</p>
-
-<p class='pindent'>DR. SAUTER: Would you like to explain a little more in detail
-what kind of opinions you had, Dr. Funk, especially concerning the
-clashes between parties, between classes at that time?</p>
-
-<p class='pindent'>FUNK: The German nation at that time was in sore distress,
-spiritually as well as materially. The people were torn by Party
-and class struggle. The Government, or rather the governments,
-had no authority. The parliamentary system was played out, and I
-myself, for 10 or 12 years before that, had protested and fought
-publicly against the burden of the Versailles reparations, because
-I was convinced that those reparations were the chief cause of the
-economic bankruptcy of Germany. I, myself, have fought all my
-life for private enterprise, because I was convinced that the idea of
-private enterprise is indissolubly bound up with the idea of the
-efficiency and worth of individual human beings. I have fought for
-the free initiative of the entrepreneur, free competition, and, at that
-time in particular, for putting an end to the mad class struggle, and
-for the establishment of a social community on the basis of the
-industrial community.</p>
-
-<p class='pindent'>All those were ideas to which I found a ready response in my
-conversations, particularly, with Gregor Strasser.</p>
-
-<p class='pindent'>DR. SAUTER: Who was Gregor Strasser, would you tell the
-Tribunal briefly?</p>
-
-<p class='pindent'>FUNK: Gregor Strasser at that time was leader of the Reich
-Organization Office of the National Socialist Party and was generally
-considered to be the second man after Adolf Hitler. I have...</p>
-
-<p class='pindent'>THE PRESIDENT: This is the time to break off.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 4 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='80' id='Page_80'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-FIRST DAY</span><br/> Saturday, 4 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The defendant resumed the stand.</span>]</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, may I continue the examination
-of the Defendant Funk?</p>
-
-<p class='pindent'>Dr. Funk, yesterday you gave us a brief account of your life,
-told us that you are 56 years of age, that you have been married
-for 25 years, that you were editor of the <span class='it'>Berliner Börsenzeitung</span>
-for 10 years; and in conclusion you told us yesterday what your
-convictions were regarding the future development of Germany.</p>
-
-<p class='pindent'>Perhaps you can again tell us something of your viewpoint,
-since you were interrupted by the recess yesterday and since your
-health was in such a poor state yesterday evening that you could
-scarcely remember what you had told the Court. Well, what were
-your views on Germany’s economic prospects at the time when you
-entered the Party? Perhaps you can go over it briefly again.</p>
-
-<p class='pindent'>FUNK: At that time Germany was in the midst of a very difficult
-economic crisis. This crisis was caused chiefly by the reparations,
-the way in which these reparations had to be paid, and by
-the inability of the governments then in office to master the
-economic problems. The most disastrous feature of the reparations
-policy was that German mark credits in immense sums were transferred
-to foreign countries without receiving any equivalent in
-return. As a result there was a tremendous surplus and over-pressure
-of Reichsmark abroad. It led to inflation in Germany and
-the countries with stable currencies bought Germany out. German
-industry incurred heavy debts and consequently came temporarily
-under foreign control; German agriculture became indebted. The
-middle classes, who were the chief representatives of German
-culture, were impoverished. Every third German family was
-unemployed, and the Government itself had neither the power nor
-the courage to master these economic problems. And these
-problems could not be solved by means of economic measures
-alone. The first essential was the presence of a government possessing
-full authority and responsibility; and then the development
-of a unified political will among the people.
-<span class='pageno' title='81' id='Page_81'></span></p>
-
-<p class='pindent'>The National Socialists at that time captured 40 percent of the
-seats in the Reichstag; the people streamed to this Party in ever-increasing
-millions, especially the young people who were animated
-by idealism. The fascinating personality of the Führer acted
-as a giant magnet. The economic program of the Party itself was
-vague; and in my opinion it was drawn up mainly with an eye
-for propaganda purposes. There were lively arguments about it
-in Party circles with which I came in contact in 1931.</p>
-
-<p class='pindent'>At that time, therefore, I decided to give up my position as
-editor of a paper with a large circulation among the middle classes
-and to start on my own by editing an economic and political news
-service which went to the most diverse sections of economy, to
-leading Party circles as well as to economically interested parties
-siding with the German National Party, the People’s Party, and
-even the Democrats.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, you said before, approximately, that
-according to the opinion you expressed in 1931, only a government
-with full authority and full responsibility, that is, only a
-strong state and a unified political will, could lead Germany out
-of the crisis of that time, which was, of course, merely a part of
-the world crisis. Did you at that time ever reflect as to whether
-the Leadership Principle which was later developed to an increasing
-extent—whether this Leadership Principle could be made to
-harmonize with your ideas of economic policy? Or, putting it
-negatively, did you at that time anticipate great wrongs as a result
-of this Leadership Principle?</p>
-
-<p class='pindent'>What can you say on this point?</p>
-
-<p class='pindent'>FUNK: As to a principle of government, well, that is, a Leadership
-Principle, one can never say <span class='it'>a priori</span> whether it is good or
-bad. It depends on existing circumstances and, above all, on those
-who do the governing. The democratic-parliamentary principle had
-not been successful in Germany. Germany had no parliamentary
-and democratic tradition, such as other countries had. Conditions,
-finally, were such that when the government made decisions, the
-few votes of the economic party were decisive; and these were
-mostly bought. Therefore, another principle had to be made the
-dominant one; and in an authoritarian government, if those who
-bear the authority and the responsibility are good, then the government
-also is good. The Leadership Principle meant, in my opinion,
-that the best men and the best man should rule and that authority
-would then be exercised from above downwards and responsibility
-from below upwards. And in conversations with Hitler and other
-leading personalities of the Party in 1931 and, as I said, from the
-faith and enthusiasm which the German people brought to this
-political movement, I formed the opinion that this Party would
-<span class='pageno' title='82' id='Page_82'></span>
-have to come into power and that through it alone salvation could
-come. I, myself, wanted to put my own economic ideas into practice
-in this Party.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, you have just been speaking of the personality
-of Hitler. Through whom did you meet Hitler?—that is,
-who were persons in the Party by whom you were first won over
-to the Party?</p>
-
-<p class='pindent'>FUNK: Chiefly, Gregor Strasser, as I said yesterday, who arranged
-my first meeting with Hitler. Not until much later, in Berlin,
-did I meet Hermann Göring. Apart from them I had very few
-acquaintances in the Party at that time and played no role in it
-myself.</p>
-
-<p class='pindent'>DR. SAUTER: When you met Hitler what impression did he
-make on you at that time? I should like to say beforehand, you
-were at that time—1931, I think—a mature man of over forty.
-What impression did you have at that time of Hitler’s personality
-and aims, <span class='it'>et cetera</span>?</p>
-
-<p class='pindent'>FUNK: My first conversation with Adolf Hitler was very
-reserved. That was not surprising as I came from a world which
-was entirely strange to him. I immediately received the impression
-of an exceptional personality. He grasped all problems with
-lightning speed and knew how to present them very impressively,
-with great fluency and highly expressive gestures. He had the habit
-of then becoming absorbed in the problems, in long monologues, so
-to speak, in this way lifting the problems to a higher sphere. At
-that time I explained to him my economic ideas and told him
-especially that I upheld the idea of private property, which for me
-was the fundamental tenet of my economic policy and which was
-inseparable from the concept of the varying potentialities of human
-beings. He, himself, heartily concurred with me and said that his
-theory of economics was also based on selectivity, that is, the principle
-of individual productivity and the creative personality; and
-he was very glad that I wanted to work on those lines in the Party
-and to arrange contacts and support for him in the economic field—which
-I actually did. In the meantime, however, my relations with
-the Führer became no closer then, because he said to me himself,
-“I cannot, at present, commit myself to an economic policy; and the
-views expressed by my economic theorists, such as Herr Gottfried
-Feder, are not necessarily my own.”</p>
-
-<p class='pindent'>The economic policy section which existed at that time was
-directed by a Dr. Wagner.</p>
-
-<p class='pindent'>DR. SAUTER: The economic policy section of what? Of the Reich
-Party Directorate?
-<span class='pageno' title='83' id='Page_83'></span></p>
-
-<p class='pindent'>FUNK: The economic policy section of the Reich Party Directorate
-was directed by a certain Dr. Wagner. I was not invited to
-political talks. A close connection with the Führer—or a closer connection
-with the Führer—I really had only in the year 1933 and
-the first half of 1934, when, as press chief of the Reich Government,
-I reported to him regularly. At that time it once even happened
-that he suddenly interrupted the press conference, went into the
-music room with me, and made me play the piano for him.</p>
-
-<p class='pindent'>Then our relations became a little cooler again, and when I
-became Minister of Economics the Führer kept me more and more
-at a distance—whether he had special reasons for this, as Lammers
-testified here, I do not know. During my office as Minister, I was
-called in by the Führer for consultations perhaps four times—five
-at the most. But he really did not need me because his economic
-directives were given to the Reich Marshal, the responsible head of
-economic affairs, and later, from 1942 on, to Speer, since armament
-dominated the entire economy; and, as I said, I had close connections
-with him only in 1933 and in the first half of 1934 until the
-death of Reich President Von Hindenburg.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, you have got a long way ahead. We
-would like to return now to 1931 or 1932, to the time when you
-entered the Party. When was that?</p>
-
-<p class='pindent'>FUNK: In the summer of 1931.</p>
-
-<p class='pindent'>DR. SAUTER: The summer of 1931. You have already told the
-Court that you did not object to the Leadership Principle for the
-reasons you have stated.</p>
-
-<p class='pindent'>FUNK: No, on the contrary, the Leadership Principle was absolutely
-necessary.</p>
-
-<p class='pindent'>DR. SAUTER: On the contrary, you considered the Leadership
-Principle necessary for the period of emergency that then obtained.
-Now, I would be interested in knowing: There were other points
-of view, of course, also represented in the Party program which
-worked out unfavorably later on and have, in the course of this
-Trial, been used extensively against the defendants. I point out one
-example, for instance, the slogan of “Lebensraum”; you have heard
-it again and again during this Trial. The Defendant Dr. Schacht
-dealt with this problem also. Perhaps you can give us briefly your
-own position on this problem and on this question?</p>
-
-<p class='pindent'>FUNK: The problem of living (Lebensproblem) is no slogan; and
-the problem of living was really a problem for the German people
-at that time. By “Lebensproblem”...</p>
-
-<p class='pindent'>DR. SAUTER: You mean “Lebensraum”?
-<span class='pageno' title='84' id='Page_84'></span></p>
-
-<p class='pindent'>FUNK: ...or “Lebensraum”—I did not mean the conquest of
-foreign countries at that time; the thought of war was just as
-strange to me as it was probably to most other Germans. By
-“Lebensraum” I meant the opening up of the world for the vital
-interests of Germany, that is, the participation of the German
-people in the profitable utilization of the world’s goods of which
-there was a superabundance.</p>
-
-<p class='pindent'>Whether that was to be done by colonies, or concessions, or
-international trade agreements, I did not trouble to find out at
-that time.</p>
-
-<p class='pindent'>The expansion of Germany in the world economy before the
-first World War was the decisive factor which determined me to
-become an economic journalist. The participation of Germany in
-the Rumanian petroleum industry, the concession of the Bagdad
-Railway, the growing German influence in South America, in China,
-generally in the Far East—all this inspired me very much. At that
-time already I became acquainted with such men as Franz Günther
-of the Discount Bank, Arthur Von Gwinner of the Deutsche Bank,
-Karl Helferich, the big Hamburg importer, Witthöft, and many
-other German economic pioneers, and started on my profession with
-all the enthusiasm of the young journalist.</p>
-
-<p class='pindent'>“Lebensraum” was thus for me at that time the fulfilling of these
-economic claims, that is, Germany’s participation in the world’s
-goods and the abolition of the restraints which hemmed us in on
-all sides. It was sheer nonsense that Germany on her part should
-have to pay reparations and debts while the creditor nations on
-their part refused to accept payment in the only form possible, that
-is, payment in goods and products.</p>
-
-<p class='pindent'>That period marked the beginning of a great wave of protective
-tariffs in the world. I recall the American economic policy at that
-time; I recall the Ottawa agreements, and this mistaken economic
-policy led to a world economic crisis in 1929 and 1930 by which
-Germany also was badly hit.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, have you finished? [<span class='it'>The defendant nodded
-assent.</span>]</p>
-
-<p class='pindent'>Dr. Funk, the Prosecution in their trial brief have contended
-that you participated in the formulation of the Nazi program. What
-can you tell us about that?</p>
-
-<p class='pindent'>FUNK: I do not know what the Prosecution understands by Nazi
-program.</p>
-
-<p class='pindent'>DR. SAUTER: I think—the Party program.</p>
-
-<p class='pindent'>FUNK: That is quite impossible. The Party program, as far as
-I know, was formulated in 1921. At that time I did not know anything
-about National Socialism or of Adolf Hitler.
-<span class='pageno' title='85' id='Page_85'></span></p>
-
-<p class='pindent'>DR. SAUTER: Witness, the Prosecution has further accused you
-of setting up the so-called reconstruction program, the economic
-reconstruction program of 1932, that is, a program for the rehabilitation
-of German economic life. Is it correct that you established
-this economic reconstruction program?</p>
-
-<p class='pindent'>FUNK: In 1932 I compiled for a speech by Gregor Strasser some
-points for an economic program which Strasser himself marked as
-originating from me. He passed these on to the various Party
-offices as instructions and propaganda matter.</p>
-
-<p class='pindent'>This economic reconstruction program, which in the words of
-the Prosecution was to become the economic bible for the Party
-organizers, is, I believe, in no way revolutionary or even sensational;
-and it could, I believe, be adopted and accepted by every
-democratic government. I believe it is pointed out in a book from
-which the Prosecution has taken various bits of information.</p>
-
-<p class='pindent'>DR. SAUTER: Perhaps it is printed, Witness, in the book by
-Dr. Paul Oestreich which has been repeatedly quoted. This book
-contains your biography under the title, <span class='it'>Walter Funk, A Life for
-Economy</span>, and has been used by the Prosecution under Document
-3505-PS, Exhibit USA-653.</p>
-
-<p class='pindent'>Dr. Funk, I have the text of this program before me.</p>
-
-<p class='pindent'>FUNK: Please read it.</p>
-
-<p class='pindent'>DR. SAUTER: The whole program covers half a page only and
-in the main sets forth really nothing which might be considered as
-characteristic of National Socialist trends of thought?</p>
-
-<p class='pindent'>FUNK: Well, at that time I was not yet a National Socialist or,
-at least, but quite a young member of the Party.</p>
-
-<p class='pindent'>DR. SAUTER: This economic reconstruction program must be
-actually read in order to convince oneself how little it contains of
-the characteristic National Socialist demands. This is a program
-which Funk says might be accepted by almost any liberal or democratic
-or other bourgeois party. The program is called, “Direct
-creation of employment through new State and private investments.”
-That is the first demand. Then productive providing of
-credit by the Reichsbank but no inflation, rather the re-establishment
-of a sound currency and a sound financial and credit economy
-to promote production.</p>
-
-<p class='pindent'>General lowering of rates of interests paying attention to individual
-conditions of the economy. Creation of a foreign trade office
-and a central foreign exchange office. Reorganization of economic
-relations with foreign countries, giving preference to the vital
-necessities of the domestic market but with special attention to the
-export trade absolutely necessary for Germany. Restoration of
-<span class='pageno' title='86' id='Page_86'></span>
-sound public finances, including public insurances. Abolishment
-of the untenable methods of balancing the budget. State protection
-for agriculture. Reorganization of the system of house and
-land ownership in accordance with the principles of productivity
-and national health. Expansion of the German raw material basis,
-the establishment of new national industries and trades, organization
-of manufactories on the basis of technical innovations. That
-is all, which is comprised in this so-called economic reconstruction
-program.</p>
-
-<p class='pindent'>FUNK: This program was to be, as the Prosecution has said, the
-official Party dogma on economic matters. I would have been glad
-if the Party had professed these principles. In later years I had
-great difficulties with these various Party offices in connection
-with my basic attitude on economic policy. I was always considered,
-even in Party circles, as a liberal and an outsider...</p>
-
-<p class='pindent'>DR. SAUTER: A liberal?</p>
-
-<p class='pindent'>FUNK: Yes. I combated all tendencies towards collectivism;
-and, for this reason, I constantly came into conflict with the Labor
-Front. I was supported, especially in my views regarding private
-property, by Reich Marshal Hermann Göring. Even during the war,
-he had parts of the Hermann Göring Works denationalized at my
-suggestion. I was an opponent of a nationalized economy because
-a nationalized economy will always produce only average results.
-Nationalized economy means sterile economy. An economy which
-is without keen competition and individual rivalry will remain
-stagnant and will achieve but average results. The Führer had,
-formerly, always agreed enthusiastically with these principles of
-mine. And it was a great disappointment to me when finally, in
-the last years, the Führer turned so sharply against the bourgeois
-world for that meant practically that the whole of my life’s work
-had failed.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, the Tribunal thinks he might get
-on to something more important than his view on state economy
-and private enterprise.</p>
-
-<p class='pindent'>DR. SAUTER: Yes, Mr. President.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Dr. Funk, you know that it was
-precisely on account of the big problem of unemployment at the
-time that Hitler was able to grasp power. What plans did you
-have for the elimination of unemployment, since you knew that
-just that very promise...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, we have heard nearly all the
-defendants on the conditions which obtained in Germany at that
-time. And there is no charge against these defendants for German
-economy between the years 1933 and 1939.
-<span class='pageno' title='87' id='Page_87'></span></p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I wanted to ask the Defendant
-Dr. Funk just how he thought that unemployment could be abolished;
-for from the testimony of other defendants, I gathered that
-they planned to eliminate it by other means, such as rearmament,
-and so forth. As far as I know, this was not so in his case; and
-I think that in judging the Defendant Funk, the question of how
-he proposed to handle the elimination of unemployment, whether
-by rearmament or by some other means, is of some importance. I
-do not think it will take much time, Mr. President. The Defendant
-Funk, I am sure, will be very brief.</p>
-
-<p class='pindent'>Perhaps he can...</p>
-
-<p class='pindent'>THE PRESIDENT: He can answer that in a sentence, I should
-think.</p>
-
-<p class='pindent'>DR. SAUTER: Herr Funk, be as brief as possible.</p>
-
-<p class='pindent'>FUNK: If I am to answer this in one sentence, I can say only
-that at that time I envisioned the elimination of unemployment
-by a very precise plan, but at any rate without rearmament, without
-armament...</p>
-
-<p class='pindent'>DR. SAUTER: But, instead?</p>
-
-<p class='pindent'>FUNK: By methods which I would have to explain. But in any
-event, armament never came into question then...</p>
-
-<p class='pindent'>DR. SAUTER: But—can you perhaps tell us in a few telling
-words?</p>
-
-<p class='pindent'>FUNK: First of all, opportunities to work were offered everywhere
-so to speak. It was imperative to set up a large-scale road-building
-program in Germany; it was necessary to revitalize the
-engine industry, especially the automobile industry, which, of
-course, had to be appropriately protected. An extensive house
-building program was needed; hundreds of thousands of houses
-were required...</p>
-
-<p class='pindent'>DR. SAUTER: In short...</p>
-
-<p class='pindent'>FUNK: Agriculture lacked mechanization and motorization.</p>
-
-<p class='pindent'>I should like to give here, however, only two figures, two ratios,
-which throw light on the whole situation. Up to the war two-thirds
-of Germany’s total production went to private consumption
-and only one-third for public needs. Up to that point, therefore,
-the armament industry did not play a decisive role.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, now we will turn to another chapter.</p>
-
-<p class='pindent'>You will remember that the Prosecution contended in their trial
-brief that the evidence against you was largely circumstantial. I
-assume, therefore, that it was based upon your offices rather than
-<span class='pageno' title='88' id='Page_88'></span>
-your actions. For this reason I should be interested to know which
-Party offices you held during the period which followed.</p>
-
-<p class='pindent'>FUNK: Only once, in the year 1932...</p>
-
-<p class='pindent'>DR. SAUTER: That is to say in the Party—not government
-offices.</p>
-
-<p class='pindent'>FUNK: I understand. Only in the year 1932, and then for only
-a few months, did I receive Party assignments, because Gregor
-Strasser wanted to set up for me an office of my own, for private
-economy. This office, however, was dissolved a few months later
-when he himself resigned from the Party and from his offices.
-Then in December 1932 I was instructed to take charge of a committee
-for economic policy.</p>
-
-<p class='pindent'>DR. SAUTER: In December 1932?</p>
-
-<p class='pindent'>FUNK: Yes. And in February 1933, that is, 2 months afterwards,
-I gave up this office again. Both assignments were unimportant
-and never really got going in the short time they lasted.
-All the gentlemen in the dock who were in leading positions in the
-Party at that time can confirm this. I never had any other Party
-office; so that after 1933 I received no further assignments from
-the Party and no Party office either.</p>
-
-<p class='pindent'>DR. SAUTER: Then this so-called Office for Private Economy
-(Amt für Privatwirtschaft), if I understood you correctly, existed
-for just a few months in the year 1932 but did not actually function.
-And in December 1932 you were made head of the other
-office, the Committee for Economic Policy as it was called. Then
-a month later, in January 1933...</p>
-
-<p class='pindent'>FUNK: February 1933.</p>
-
-<p class='pindent'>DR. SAUTER: February 1933, shortly after the seizure of power,
-you gave up this so-called office. Is that correct?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Now for your connection with the Party. Were
-you a member of any organization of the Party—SA, SS, or any
-other section of the Party?</p>
-
-<p class='pindent'>FUNK: I never belonged to any organization of the Party,
-neither SA nor SS, nor any other organization; and as I have
-already said, I did not belong to the Leadership Corps.</p>
-
-<p class='pindent'>DR. SAUTER: You did not belong to the Leadership Corps?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>DR. SAUTER: You know, Dr. Funk, that the Party functionaries,
-that is, the Party veterans, and so forth, met annually in November
-at Munich. You have yourself seen a film showing this anniversary
-meeting.
-<span class='pageno' title='89' id='Page_89'></span></p>
-
-<p class='pindent'>Were you ever invited to these gatherings on 8 and 9 November?</p>
-
-<p class='pindent'>FUNK: I do not know whether I received invitations; it is possible.
-But I have never been at such a gathering, for these meetings
-were specially intended for old Party members and the Party
-veterans, in commemoration of the March on the Feldherrnhalle.
-I never participated in these gatherings, as I was averse to attending
-large gatherings. During all this time I attended a Party rally
-only once, just visiting one or two functions. Mass gatherings
-always caused me physical pain.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, did you receive the Golden Party Badge,
-after you became Minister for Economics?</p>
-
-<p class='pindent'>FUNK: No; I received that when I was still press chief of the
-Reich government.</p>
-
-<p class='pindent'>DR. SAUTER: You did not get it as Minister?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>DR. SAUTER: How long were you a National Socialist deputy
-of the Reichstag?</p>
-
-<p class='pindent'>FUNK: For just a few months.</p>
-
-<p class='pindent'>DR. SAUTER: From when to when?</p>
-
-<p class='pindent'>FUNK: From July 1932 to February 1933. I did not get another
-seat, because the Chairman of the Party, the chairman of the
-parliamentary group, Dr. Frick, informed me that, by a directive
-of the Führer, only the old Party members would receive mandates;
-and I had received a state position in the meantime.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, in regard to the laws which are
-of particular importance in this Trial, such as the Enabling Act,
-which practically eliminated the Reichstag; the law forbidding
-political parties; or the law for the unity of Party and State—in
-respect to all these laws, which were in preparation for later
-developments, were you still a member of the Reichstag at that
-time or had you already ceased to be one?</p>
-
-<p class='pindent'>FUNK: I was no longer a Reichstag deputy. But even so, I
-considered these laws necessary.</p>
-
-<p class='pindent'>DR. SAUTER: That is another question. But you were no
-longer a Reichstag deputy?</p>
-
-<p class='pindent'>FUNK: No; and I was not a member of the Cabinet, either.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, we have frequently seen and heard
-of an affidavit by the American Consul General, Messersmith,
-dated 28 August 1945, Document 1760-PS. He says in the passage
-which concerns you:
-<span class='pageno' title='90' id='Page_90'></span></p>
-
-<div class='blockquote'>
-
-<p>“He had been the editor of one of the leading financial
-journals in Berlin before the Nazis came in and had very
-little open Nazi sympathy when they did come in.”</p>
-
-</div>
-
-<p class='noindent'>He goes on to say:</p>
-
-<div class='blockquote'>
-
-<p>“...later he became an ardent Nazi and one of their most
-effective instruments because of his undoubted capacities
-in various fields.”</p>
-
-</div>
-
-<p class='pindent'>That is what the American Consul General, Messersmith, says
-about you. I should like to remind you of another passage from
-the book by Dr. Oestreich, which I have already mentioned and
-which has the title <span class='it'>Walter Funk, A Life for Economy</span>. That is
-3505-PS, which has already been used and submitted in these
-proceedings.</p>
-
-<p class='pindent'>In this book the author says that the assignments given to
-you by the Party, even if they covered a period of a few months
-only, might be regarded as particularly important.</p>
-
-<p class='pindent'>What can you tell us about these two quotations?</p>
-
-<p class='pindent'>FUNK: I have already stated that I declared myself for the
-Party and took up my Party work with enthusiasm. I was never
-attached to the propaganda organization, as has been asserted by
-Mr. Messersmith. I cannot remember that I ever knew Mr. Messersmith
-at all; nor do I remember discussing Austria with him,
-which he also asserts.</p>
-
-<p class='pindent'>DR. SAUTER: Nor the Anschluss of Austria to Germany?</p>
-
-<p class='pindent'>FUNK: I cannot remember that, although of course I considered
-the union of Germany and Austria necessary; but I do
-not recall discussing it with Mr. Messersmith.</p>
-
-<p class='pindent'>As far as Dr. Paul Oestreich’s book is concerned, I am sorry
-that the Prosecution has used this book as a source of information.
-Mistakes have arisen which could have been avoided and which
-I would not have to refute here now. Oestreich was a man who
-was quite outside the Party.</p>
-
-<p class='pindent'>DR. SAUTER: What was he?</p>
-
-<p class='pindent'>FUNK: He owned a German newspaper in Chile, and for
-some years he was political editor of the <span class='it'>Berliner Börsenzeitung</span>.</p>
-
-<p class='pindent'>DR. SAUTER: Political editor?</p>
-
-<p class='pindent'>FUNK: First of all, he naturally wanted to secure a market
-for his book; and for that reason he exaggerated the importance
-of my position in the Party. He may have thought that in this
-way he would do me a particular favor. In any case, as things
-have been described there, they are not correctly stated.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, in Document Number 3563-PS, submitted
-by the Prosecution, there is a statement to the effect that
-<span class='pageno' title='91' id='Page_91'></span>
-you, Dr. Funk, were described in several publications as Hitler’s
-adviser on economic policy; and in another passage you are
-said to be Hitler’s “Wirtschaftsbeauftragter” (Economic Plenipotentiary).
-Was this a Party office, or what precisely was meant
-by this term? What functions is it supposed to indicate?</p>
-
-<p class='pindent'>FUNK: It was neither a Party office nor a Party title. The
-press frequently called me so on account of my activity on behalf
-of the Party in 1932, and it was obviously adopted by writers
-from the newspapers. But it was neither an office nor a title.
-It is really nonsense to consider my activities at that time so
-important; for if they had actually been of importance, I should
-certainly have retained these offices when the Party came to power.</p>
-
-<p class='pindent'>The Reich Minister for Food and Agriculture was also a Reichsleiter;
-State Secretary Reinhardt, of the Finance Ministry, was
-the head of the Department for Financial Policy in the Reich
-Party Directorate (Reichsleitung), <span class='it'>et cetera</span>. But there never was
-a “Reichsleiter für die Wirtschaft.” When the Party came to power
-I left the Reichstag and all Party organizations.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, a Reich Economic Council of the
-Party—I repeat the term: Reich Economic Council of the Party—has
-been mentioned once or twice in the course of this Trial.
-What do you know about your part in this Party organization
-and about the duties and domain of this Party organization?</p>
-
-<p class='pindent'>FUNK: I had to think for a long time before I could remember
-this group at all, especially as neither Hess, Rosenberg, nor Frank
-remembered anything of the kind. But I remember dimly that
-Gottfried Feder had a Circle of people whom he used to call in
-for consultation and to which he gave the rather pompous name
-of “Reich Economic Council of the Party.” After the seizure of
-power this group ceased to exist. I never attended any of its
-sessions, and I was very much surprised to learn from the Indictment
-that I was supposed to have been the deputy chairman of
-this group. This group was of no importance whatsoever.</p>
-
-<p class='pindent'>DR. SAUTER: You mentioned Gottfried Feder.</p>
-
-<p class='pindent'>FUNK: He was responsible for the economic program and
-tenets of the Party from its establishment until it came to power.</p>
-
-<p class='pindent'>DR. SAUTER: So he was the economic theorist of the Party
-from its foundation until it came to power?</p>
-
-<p class='pindent'>FUNK: Yes. Dr. Wagner and Keppler overshadowed him later
-on. Keppler was always given the title of Economic Adviser to
-the Führer in public.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, if I understood you correctly, the persons
-whom you mentioned just now are those whom you consider
-as the economic advisers of Hitler?
-<span class='pageno' title='92' id='Page_92'></span></p>
-
-<p class='pindent'>FUNK: No, that is wrong.</p>
-
-<p class='pindent'>DR. SAUTER: Well?</p>
-
-<p class='pindent'>FUNK: Hitler did not allow anyone to advise him, especially
-on economic matters. These were merely the men who dealt
-with problems of economic policy in the Party leadership, both
-before and after my time.</p>
-
-<p class='pindent'>DR. SAUTER: Also from the publicity angle, like Gottfried
-Feder?</p>
-
-<p class='pindent'>FUNK: He did a good deal of writing; he treated the problem
-of the lowering of the rate of interest, for example, in great detail.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, those were your real or supposed
-Party offices. Now I turn to your State offices. After the seizure
-of power—that is, at the end of January 1933—you became press
-chief under the Reich Government. In March 1933, when the Propaganda
-Ministry was created, that being a State Ministry, you
-became State Secretary in this Propaganda Ministry under
-Minister Goebbels. How did that come about?</p>
-
-<p class='pindent'>FUNK: May I give a short summary of these matters?</p>
-
-<p class='pindent'>DR. SAUTER: One moment...</p>
-
-<p class='pindent'>FUNK: It would go much faster than asking each question
-separately.</p>
-
-<p class='pindent'>DR. SAUTER: Then I would ask you to consider at the same
-time the question of why you entered the Propaganda Ministry
-and were made press chief of the Reich Government, although
-you were usually always occupied with economic questions.</p>
-
-<p class='pindent'>FUNK: The Reich Marshal has already stated in his testimony;
-firstly, that he never knew that I had been active in the Party
-at all before 1933, and secondly, that, as he himself rightly
-believed, my appointment as press chief of the Reich Government
-came as a complete surprise. On 29 January 1933 the Führer
-told me that he had no one among the old Party members who
-was intimately acquainted with the press and that he, therefore,
-wanted to ask me to take over the position of press chief, especially
-as this appointment involved regular reports to the Reich President.
-The Reich President knew me and, as I may mention again
-later on, very much liked me. I was often a guest at his home
-and was on friendly terms with his family.</p>
-
-<p class='pindent'>DR. SAUTER: That is, Hindenburg?</p>
-
-<p class='pindent'>FUNK: Yes, Hindenburg.</p>
-
-<p class='pindent'>These were the reasons which prompted Hitler to make me
-press chief of the Reich Government. The press chief of the Reich
-<span class='pageno' title='93' id='Page_93'></span>
-Government was also a ministerial director in the Reich Chancellery,
-and I did not like the idea of suddenly becoming a civil
-servant, for I never had any ambitions in that direction. But I
-accepted the appointment, influenced by the general enthusiasm
-of that period and in obedience to the Führer’s summons.</p>
-
-<p class='pindent'>I gave regular press reports to him, in the presence of
-Lammers. These conferences went on for a year and a half only,
-until the death of the Reich President, after which they stopped.
-The Führer issued instructions to the press through the Reich press
-chief of the Party, Dr. Dietrich, who was later also made a State
-Secretary in the Propaganda Ministry.</p>
-
-<p class='pindent'>When the Propaganda Ministry was founded the Führer asked
-me to organize this ministry, so that Goebbels would not have
-to deal with problems of administration, organization, and finance.
-Then the Press Department of the Reich Government, of which I
-had so far been in charge, was incorporated in the Propaganda
-Ministry and placed under the direct control of Goebbels. It also
-had its own special chief.</p>
-
-<p class='pindent'>From that time on—that is, after only 6 weeks activity as press
-chief of the Reich Government—my activities regarding the information
-and instruction of the press were at an end. From then
-on this was done by Goebbels himself, who generally drew a
-sharp line between the political and administrative tasks of the
-Ministry. He brought with him his old collaborators from the
-propaganda leadership of the Party to look after propaganda.</p>
-
-<p class='pindent'>My services were not required for political propaganda.
-Goebbels took care of it through the Party organ, of which I was
-not a member. I had, for instance, as Chairman of the Supervisory
-Council, to be responsible for the finances of the German
-Broadcasting Corporation—a matter of a hundred million—but I
-never broadcasted propaganda speeches. Nor did I speak at any
-of the big State or Party rallies. Naturally, I fully appreciated
-the importance of propaganda for state leadership and admired
-the truly gifted manner in which Goebbels conducted his propaganda;
-but I myself played no part in active propaganda.</p>
-
-<p class='pindent'>DR. SAUTER: Then, if I understood you correctly, your functions
-in the Propaganda Ministry, which was, of course, a state
-ministry, were of a purely administrative and organizational
-nature; and you left the actual propaganda to the Minister,
-Dr. Goebbels, and the people he brought into the Ministry from
-the Party propaganda instrument. Is that correct?</p>
-
-<p class='pindent'>FUNK: Yes. Goebbels naturally claimed the exclusive right
-to dispose of all propaganda material. I did not appear beside
-him in the field of propaganda at all; and other considerable
-restrictions were imposed on my position as State Secretary by
-<span class='pageno' title='94' id='Page_94'></span>
-the fact that many assignments, looked after in other ministries
-by the State Secretary, were in this case taken care of by
-Goebbels’ expert, Hahnke, who was later made State Secretary
-and Gauleiter.</p>
-
-<p class='pindent'>DR. SAUTER: Hahnke?</p>
-
-<p class='pindent'>FUNK: Yes. I do not believe that during the entire period of
-my activity in the Propaganda Ministry I signed even three times
-as Goebbels’ deputy. One of these signatures has been nailed
-down by the Prosecution. It is a signature appended to an order
-for the execution of a directive and fixing the date on which it
-is to come into force.</p>
-
-<p class='pindent'>DR. SAUTER: What kind of directive was that?</p>
-
-<p class='pindent'>FUNK: The decree for the application of the law of the Reich
-Chamber of Culture. The Reich Cabinet decreed legislation in
-connection with the Reich Chamber of Culture. I was not a
-member of the Reich Cabinet; but as State Secretary to the Propaganda
-Ministry I was, of course, formally responsible, and
-naturally I promoted propaganda, as did everyone else who
-occupied a leading position in the official or the intellectual life
-of Germany. The entire cultural life of the nation was permeated
-with this propaganda in a measure appropriate to the overwhelming,
-fundamental significance which was rightly attached to
-propaganda in the National Socialist State.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, the Prosecution has held you responsible
-for laws decreed during your term of office as press chief
-of the Reichsregierung. I refer, for instance, to the laws submitted
-under Documents Number 2962-PS and 2963-PS. These
-are the laws well known to you and which concern the abolition
-of civil rights in Germany and the abolition of the parliamentary
-form of government. I ask you to explain, what did you have to
-do with these laws? Did you as press chief under the Reich
-Government have any influence on the contents and promulgation
-of these laws?</p>
-
-<p class='pindent'>FUNK: No. This question has already been answered in the
-negative by both the Reich Marshal and Dr. Lammers. All I had
-to do was to pass on the contents of these laws to the press,
-in accordance with instructions given to me by the Führer.</p>
-
-<p class='pindent'>DR. SAUTER: So you were surely present at the sessions of
-the Reich Cabinet...</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: And you took note of the deliberations and
-resolutions of the Reich Cabinet...</p>
-
-<p class='pindent'>FUNK: Yes.
-<span class='pageno' title='95' id='Page_95'></span></p>
-
-<p class='pindent'>DR. SAUTER: That was the reason of your presence there; but
-your sole duty—and please tell me if I am correct—was to inform
-the press, after the cabinet sessions, of the decisions made? Is
-that correct?</p>
-
-<p class='pindent'>FUNK: Yes, that is correct.</p>
-
-<p class='pindent'>DR. SAUTER: So you had no influence on the drafting or on
-the contents of the laws, nor on the voting? Is that right?</p>
-
-<p class='pindent'>FUNK: Yes, that is right. I had neither a seat nor a vote in
-the Cabinet.</p>
-
-<p class='pindent'>DR. SAUTER: Were you responsible for the press policy of the
-Reich Government—and I stress: the Reich Government and not
-the Party?</p>
-
-<p class='pindent'>FUNK: I have already said that I received my instructions for
-the press from the Führer; that went on for 6 weeks. Then
-Dr. Goebbels took charge of press policy.</p>
-
-<p class='pindent'>DR. SAUTER: You have already said that the press reports
-to Reich President Von Hindenburg ended with his death in
-August 1934?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: And also, from the same date, your press reports
-to Hitler, who was then Reich Chancellor, is it not so?</p>
-
-<p class='pindent'>FUNK: Yes, that is correct. Reich President Hindenburg had
-died in the meantime.</p>
-
-<p class='pindent'>DR. SAUTER: And afterwards the Reich press chief, that is
-the Party official, Dr. Dietrich, tended more and more to occupy
-your place?</p>
-
-<p class='pindent'>FUNK: Yes, Dr. Dietrich was one of the Führer’s closest collaborators;
-and through him the Führer gave his instructions to
-the press.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, the book by Dr. Oestreich, 3505-PS,
-Exhibit USA-653, which we have already dealt with, contains the
-following quotation on your press policy; and I quote:</p>
-
-<div class='blockquote'>
-
-<p>“Many of the journalists who worked in Berlin and the
-provinces are grateful to Funk for the way in which he
-attended to their wishes and their complaints, especially
-during the transition period.</p>
-
-<p>“Funk is responsible for the much-quoted saying that the
-press must not be a ‘barrel-organ,’ with which he protested
-against the uniformity”—to use a German word, the one-sided
-modeling and leveling—“of the press and demanded
-individuality for it. But he also protected the press from
-efforts made by various offices to ‘grind their own ax....’ ”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='96' id='Page_96'></span></p>
-
-<p class='pindent'>Is that correct?</p>
-
-<p class='pindent'>FUNK: Yes; I probably did write that; and that was my opinion.
-So far as it lay within my power, I tried to protect the press
-from standardization and arbitrary treatment, especially at the
-hands of the government offices.</p>
-
-<p class='pindent'>DR. SAUTER: You have already said, I believe, that you took
-no part in the political direction of the Propaganda Ministry—I
-stress, the political direction of the Propaganda Ministry—or in
-the actual work of propaganda. Is that correct?</p>
-
-<p class='pindent'>FUNK: Yes, that is correct.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I turn now to a new complex.
-Do you wish to have the recess now, Your Honor?</p>
-
-<p class='pindent'>THE PRESIDENT: I think we will go straight on. We are
-going to adjourn at 12 o’clock.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, I come now to your attitude on the
-question of anti-Semitism. I do so because you are held more
-or less responsible, along with others, for the excesses committed
-against the Jews. Will you tell us on what principles your attitude
-was based?</p>
-
-<p class='pindent'>FUNK: I was never anti-Semitic on the basis of racial principles.
-At first I thought that the anti-Semitic demands of the
-Party program were a matter of propaganda. At that time the
-Jews in many respects held a dominant position in widely different
-and important fields of German life; and I myself knew many
-very wise Jews who did not think that it was in the interest of
-the Jews that they should dominate cultural life, the legal profession,
-science, and commerce to the extent that they did at the
-time...</p>
-
-<p class='pindent'>The people showed a tendency toward anti-Semitism at
-that time.</p>
-
-<p class='pindent'>The Jews had a particularly strong influence on cultural life
-and their influence seemed to me particularly dangerous in this
-sphere because tendencies which I felt to be definitely un-German
-and inartistic appeared as a result of Jewish influence, especially
-in the domain of painting and music. The law concerning the
-Reich Chamber of Culture was created, radically excluding the
-Jews from German cultural life but with the possibility of making
-exceptions. I applied these exceptions whenever I was in a position
-to do so. The law, as I have stated, was decreed by the
-Reich Cabinet, which bears the responsibility for it. I was at
-that time not a member of the Cabinet. During the period of
-my activities in the Propaganda Ministry, I did what I could
-to help the Jews and other outsiders in cultural life.
-<span class='pageno' title='97' id='Page_97'></span></p>
-
-<p class='pindent'>Everyone who knows me from my activities during that period
-can and must testify to that.</p>
-
-<p class='pindent'>DR. SAUTER: I have submitted two affidavits in my document
-book; Documents Number Funk-1 and 2. The first was made by
-the editor of the <span class='it'>Frankfurter Zeitung</span>, Albert Oeser; and the
-second by a lawyer, Dr. Roesen. I ask you to take judicial notice
-of both these documents. The first affidavit proves that the Defendant
-Funk took a great deal of trouble to protect the interests
-of the above-mentioned Albert Oeser, the editor of the <span class='it'>Frankfurter
-Zeitung</span>, and those of a number of the staff of this newspaper,
-although by doing so he was endangering his own position.
-In particular, he persisted in retaining members of the staff who
-were not of Aryan descent and who, therefore, in accordance with
-the intentions of the Party, should no longer have been employed.</p>
-
-<p class='pindent'>FUNK: It was not in accordance with the intentions of the
-Party, but in accordance with the law passed for the Chamber of
-Culture that they were no longer to be employed.</p>
-
-<p class='pindent'>DR. SAUTER: In accordance with the law passed for the
-Chamber of Culture, also.</p>
-
-<p class='pindent'>Then Document Number 2 of the document book, an affidavit
-made by Dr. Roesen, who confirms that the Defendant Funk also
-intervened, for instance, on behalf of the family of the composer,
-Dr. Richard Strauss, and his non-Aryan grandchildren and by so
-doing incurred certain personal danger. These are just a few
-examples; but the defendant can probably tell you of other cases
-in which he looked after people’s interests.</p>
-
-<p class='pindent'>THE PRESIDENT: What exhibit number are you offering
-those as?</p>
-
-<p class='pindent'>DR. SAUTER: Numbers Funk-1 and 2 in the document book. I
-have submitted the originals.</p>
-
-<p class='pindent'>THE PRESIDENT: 1 and 2?</p>
-
-<p class='pindent'>DR. SAUTER: 1 and 2.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Dr. Funk, I have just said that
-perhaps you could—quite briefly—give us some more examples
-of cases where you used your official position to protect intellectuals
-and artists, whose views had got them into difficulties.</p>
-
-<p class='pindent'>FUNK: Richard Strauss is a special case. That most remarkable
-living composer found himself in great difficulties on account of
-a libretto written by the Jew, Stefan Zweig.</p>
-
-<p class='pindent'>I succeeded in having Richard Strauss again received by the
-Führer, and the whole affair was dismissed.</p>
-
-<p class='pindent'>Dr. Wilhelm Furtwängler found himself in similar difficulties
-because he wrote an article praising the composer Hindemith;
-<span class='pageno' title='98' id='Page_98'></span>
-and composers with Jewish wives, such as Lehar, Künnecke, and
-others who were always in difficulties because of their efforts to
-evade the ban placed on the performance of their works. I always
-succeeded in getting permission for these composers to have their
-works performed.</p>
-
-<p class='pindent'>THE PRESIDENT: The defendant can say that he helped
-hundreds of Jews, but that does not really destroy the fact that
-he may have acted hostilely by signing decrees against the Jewish
-race—his helping a few Jewish friends. Anyhow, I do not think
-that it need be gone into any detail.</p>
-
-<p class='pindent'>DR. SAUTER: We are of the opinion, Mr. President, that in
-order to judge the character and personality of the defendant, it
-may be important to know whether he signed decrees which were
-in any way anti-Semitic because as an official he considered himself
-bound by his oath to carry out the law of the land, or whether
-he signed them because he himself was an anti-Semite who wished
-to persecute Jewish citizens and to deprive them of their rights,
-and for this reason only...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, the Tribunal thinks that you
-have made the point quite clearly that he helped Jewish friends,
-but it isn’t a question which need be gone into in detail.</p>
-
-<p class='pindent'>DR. SAUTER: I come now, in any case, Mr. President, to
-another point. I want to ask the defendant how his activities in
-the Propaganda Ministry developed in later years.</p>
-
-<p class='pindent'>FUNK: In exactly the same direction that I have described
-here. By degrees I came to be in charge of a large cultural
-economic concern—film companies, broadcasting corporations,
-theaters. I was director and chairman of the supervisory board
-of the Philharmonic Orchestra and on the Council of German
-Economy, which dealt collectively with the economic activities in
-the entire economic field at home and abroad with the active
-participation of the economy itself. Those were the main parts
-of my work.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, the Prosecution has submitted under
-Document Number 3501-PS an affidavit by the former Reich chief
-of the press—I believe—Max Amann, in regard to your activities
-in the Propaganda Ministry. I want to refer to this now. In that
-affidavit, we find the statement that Dr. Funk—and I quote
-literally:</p>
-
-<div class='blockquote'>
-
-<p>“...was to all intents and purposes Minister in the Propaganda
-Ministry...”—And it says further on—and I quote
-again—“Funk exercised complete control over all means of
-expression in Germany: press, theater, radio, and music.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='99' id='Page_99'></span></p>
-
-<p class='pindent'>Now, I ask you to comment on that; but you can do so quite
-briefly because I have already submitted an affidavit by Max
-Amann to the contrary to which I will refer later.</p>
-
-<p class='pindent'>FUNK: Amann knew the Ministry only from the outside; and,
-therefore, he had no exact knowledge of its internal affairs. My
-work was done in the manner I have described. It is completely
-absurd to assert that under a Minister such as Dr. Goebbels the
-Ministry could have been led by someone else who was not the
-Minister.</p>
-
-<p class='pindent'>Dr. Goebbels assumed such exclusive and all-embracing functions
-in the field of propaganda that he dwarfed everyone else.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I have submitted an affidavit by
-that same former Reichsleiter Amann, dealing with the same
-subject, in the appendix to the Funk Document Book, under Document
-Number Funk-14—that will be Exhibit Number 3—and I ask
-you to take judicial notice of this affidavit. I do not think I have
-to read it. I administered that affidavit in the presence of and
-with the co-operation of a member of the Prosecution. The essential
-part of this affidavit of 17 April 1946 is that Reichsleiter Max
-Amann also admits that Funk had nothing to do with propaganda
-as such. That is to say, he did no broadcasting and indulged in
-no propaganda speeches but was mainly concerned with the
-organization and administration of the Ministry. Now, Mr. President,
-I come to the defendant’s position as Reich Minister of
-Economics.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Dr. Funk, you were State Secretary
-in the Propaganda Ministry until 1937. At the end of November
-1937 you became Reich Minister of Economics, after your predecessor,
-Dr. Schacht, had left that post. Can you tell us with the
-necessary brevity—of course—how that change took place and why
-you were called to that post?</p>
-
-<p class='pindent'>FUNK: That took me completely by surprise, too. During a
-performance at the opera, the Führer, who was present, took me
-aside in the vestibule during an interval and told me that the
-differences between Schacht and Göring could no longer be bridged
-and that he was therefore compelled to dismiss Schacht from
-his office as Minister of Economics and was asking me to take
-over the post of Minister of Economics, as he was very well
-acquainted with my knowledge and experience in the field of
-economics. He also asked me to contact Reich Marshal Göring
-who would explain everything else.</p>
-
-<p class='pindent'>That was the only conversation which I had with the Führer
-on the subject.
-<span class='pageno' title='100' id='Page_100'></span></p>
-
-<p class='pindent'>DR. SAUTER: And then you spoke to Göring himself? Will you
-tell us about that?</p>
-
-<p class='pindent'>FUNK: Then I went to the Reich Marshal who told me that
-he had really only intended to put a state secretary in charge
-of the Reich Ministry of Economics but that later he decided that
-the extensive machinery of the Four Year Plan should be merged
-with the machinery of the Ministry of Economics. However, the
-minister would have to work in accordance with his directives
-and in particular the plenipotentiaries for the individual decisive
-branches of economy would be maintained and would receive
-their directives directly from the Delegate for the Four Year
-Plan. In order to proceed with the necessary reorganization, the
-Reich Marshal himself took over the direction of the Reich Economic
-Ministry; and in February 1938 he transferred it to me.</p>
-
-<p class='pindent'>DR. SAUTER: So Göring himself was to all intents and purposes
-the head of the Reich Ministry for Economics for a period
-of about 3 months.</p>
-
-<p class='pindent'>FUNK: The reorganization was effected under his control. The
-control of economic policy was in his hands then as well as later.</p>
-
-<p class='pindent'>The main control offices under the Four Year Plan were maintained;
-for instance, the Foreign Currency Control Office, which
-gave directives to the Reichsbank; there was the Food Control
-Office, which gave directives to the Food and Agriculture Ministry;
-the Allocation of Labor Control Office, which gave directives to
-the Labor Ministry; and also the plenipotentiaries for the separate
-branches of economics: coal, iron, chemicals, <span class='it'>et cetera</span>, which were
-under the direct control of the Delegate for the Four Year Plan.
-Some offices were also transferred in this way to the Ministry
-of Economics from the Four Year Plan, which continued to function
-quite independently. They included the Reich Office for Economic
-Development and Research, which was under the direction of
-Professor Strauch, and the Reich Office for Soil Research, directed
-by State Secretary Kempner, mentioned here in connection with
-Slovakia and Austria.</p>
-
-<p class='pindent'>I tried to restore the independence of these offices. I am still
-in ignorance of what these offices did. In any case, they thought
-themselves responsible to the Four Year Plan rather than to the
-Minister of Economy.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, the essential point of what you have
-just said seems to me to be that you received the title of minister
-but that in reality you were not a minister, but might have had
-the position of a state secretary and that your so-called Ministry
-of Economics was completely subordinated to the directives of the
-<span class='pageno' title='101' id='Page_101'></span>
-Four Year Plan—your Codefendant Göring in other words—and
-was compelled to follow these directives.</p>
-
-<p class='pindent'>Did I understand it correctly?</p>
-
-<p class='pindent'>FUNK: The latter point is correct. The Reich Marshal has clearly
-expressed and confirmed that here. But the first statement is not
-correct because formally, at least, I held the position of minister,
-which involved a gigantic administrative domain to which the Reich
-Marshal, of course, could not pay attention. The very purpose of
-the reorganization was that the Reich Marshal reserved for himself
-the direction and control of economic policy in the most important
-and decisive matters and gave me corresponding directives,
-but the execution of these was naturally in the hands of the Ministry
-and its organizations. But it is true that the position of minister,
-in the usual meaning of the term, did not exist. There was,
-so to speak, a higher ministry. But that has happened to me all
-my life. I arrived at the threshold, so to speak; but I was never
-permitted to cross it.</p>
-
-<p class='pindent'>DR. SAUTER: That is not the case as far as this Trial is concerned.</p>
-
-<p class='pindent'>Dr. Funk, the Prosecution asserts that, although you were not
-really a minister with the usual responsibility and independence of
-a minister, you, as Dr. Funk, Reich Economic Minister, still exercised
-supervision over those parts of the German economy which
-were grouped under war and armaments industry, that is, in particular,
-raw materials and manufactured materials as well as mining,
-the iron industry, power stations, handicrafts, finance and credit,
-foreign trade and foreign currency. I refer you, Dr. Funk, to the
-statements on Page 22 of the German translation of the trial brief,
-which I discussed with you several days ago.</p>
-
-<p class='pindent'>FUNK: That is formally correct. But I have already explained
-how matters really were. I had nothing to do with the armament
-industry. The armament industry was at first under the High Command
-of the Armed Forces, under the Chief of the Armament Office,
-General Thomas, who was a member of Schacht’s conspiracy, of
-which we have heard here. The Armament Minister Todt, who was
-appointed in 1940, at once took over from me the entire power
-economy; and later on I turned over all the civilian production to
-Armament Minister Speer.</p>
-
-<p class='pindent'>DR. SAUTER: What do you mean by civilian production?</p>
-
-<p class='pindent'>FUNK: Coal, chemicals, consumer, and other goods. The main
-production branches in that field already mentioned here were, as
-I said before, under the Delegate for the Four Year Plan. Thus it
-came about that the Ministry of Economics gradually became a new
-<span class='pageno' title='102' id='Page_102'></span>
-Ministry of Commerce, which dealt only with the distribution of
-consumer goods.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, perhaps we might let him go on
-for a few seconds longer; because I would then come in a second
-to the subject of the Reichsbank President.</p>
-
-<p class='pindent'>THE PRESIDENT: Certainly.</p>
-
-<p class='pindent'>DR. SAUTER: Will you please continue briefly? You stopped.
-I believe you wanted to say more about manpower, gold, and foreign
-currency—about the competent authorities there.</p>
-
-<p class='pindent'>FUNK: The Foreign Currency Control Office under the Four
-Year Plan was the competent authority for that; and the Reichsbank
-had to act in accordance with its directives—in my time,
-at least.</p>
-
-<p class='pindent'>DR. SAUTER: And the direction of foreign trade?</p>
-
-<p class='pindent'>FUNK: That was in the hands of the Foreign Office. The Minister
-for Foreign Affairs obstinately laid claim to that.</p>
-
-<p class='pindent'>DR. SAUTER: And what did the Ministry of Economics do?</p>
-
-<p class='pindent'>FUNK: The Ministry of Economics and the Reichsbank attended
-to the technical execution in this sphere, that is, the technical execution
-of clearing agreements, balances, <span class='it'>et cetera</span>.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I come now to a separate theme.
-I should like now to discuss his position as President of the Reichsbank.
-I believe it might be a good moment to adjourn.</p>
-
-<p class='pindent'>THE PRESIDENT: The Court will adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 6 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='103' id='Page_103'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-SECOND DAY</span><br/> Monday, 6 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The Defendant Funk resumed the stand.</span>]</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I will continue my questioning of
-the Defendant Dr. Funk. On Saturday we were discussing the
-appointment of Dr. Funk as Reich Minister of Economics and now
-I turn to his appointment as President of the Reichsbank.</p>
-
-<p class='pindent'>Witness, I believe it was in January 1939 when you also became
-President of the Reichsbank as successor to Dr. Schacht. How did
-that appointment come about?</p>
-
-<p class='pindent'>FUNK: I had just returned from a journey about the middle of
-January 1939. I was called to the Führer and found him in a state
-of great agitation. He told me that the Reich Minister of Finance
-had informed him that Schacht had refused the necessary financial
-credits and that consequently the Reich was in financial straits.
-The Führer told me, in great excitement, that Schacht was sabotaging
-his policies, that he would not tolerate the Reichsbank’s
-interference with his policies any longer and the gentlemen in the
-Reichsbank Directorate were utter fools if they believed that he
-would tolerate it. No government and no chief of state in the world
-could possibly make policy dependent on co-operation or non-co-operation
-of the issuing bank.</p>
-
-<p class='pindent'>The Führer further declared that from now on he himself, on
-the suggestions and demands of the Reich Minister of Finance,
-would fix all credits to be given by the Reichsbank to the Reich.
-He had given Lammers instructions to formulate a decree, together
-with the Reich Minister of Finance, by which the status of the
-Reichsbank, as established by the provisions of the Treaty of Versailles,
-would be changed, and whereby the terms for the granting
-of credits to the Reich would be determined by himself alone in
-the future.</p>
-
-<p class='pindent'>The Führer further said that he was asking me to take over the
-direction of the Reichsbank, whereupon I replied that I would be
-glad to comply with his wish, but that first of all I had to have confirmation
-from him that the conditions for stabilization of currency
-would be maintained.
-<span class='pageno' title='104' id='Page_104'></span></p>
-
-<p class='pindent'>The opinion, which was voiced here by a witness, that inflation
-would be brought about through a further grant of credits at that
-time is wrong and totally untenable. Although 12,000 millions of
-credit can have an inflationary effect, 20,000 millions of credit will
-not necessarily tend toward inflation if the state has the necessary
-authority to stabilize prices and wages and to carry out the regulation
-and administration of prices, and if the people maintain the
-proper discipline in this respect, and if, finally, the money which
-as a result of increased credits represents excess purchasing power
-is diverted through taxes or taken up through loans; then, as far
-as the currency is concerned, there is absolutely no danger.</p>
-
-<p class='pindent'>It is a fact that the Reichsmark, up to the final collapse, was
-kept on a stable basis. As far as the essentials of life are concerned,
-the purchasing power of money in Germany was secure. Of course,
-its value was limited insofar as consumers’ goods were produced
-only on a very limited scale, for almost all production was turned
-over to armaments.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, have you concluded?</p>
-
-<p class='pindent'>FUNK: Just one moment, please. I believe this is a very important
-question.</p>
-
-<p class='pindent'>In other countries as well, large credits were issued during the
-war which did not in any way cause an inflation. The national debt
-in the United States as well as in England was relatively, and in
-part even absolutely, higher than that in Germany. And in these
-countries, too, a correct financial policy overthrew the old thesis
-that a war would, of necessity, bring about the destruction of the
-monetary value.</p>
-
-<p class='pindent'>The German people, up to the very end, until the terrible collapse,
-maintained admirable discipline. Money as a function of the
-state will have its value and currency will function so long as the
-state has authority to maintain it on a stable basis, to keep the
-economy under control, and as long as the people themselves maintain
-the necessary discipline.</p>
-
-<p class='pindent'>Thus I took over this office not with the knowledge that Germany
-was now entering an inflation period but, on the contrary,
-I knew well that through maintenance of a suitable governmental
-policy the currency could be protected, and it was protected. However,
-the basic difference between Schacht’s position and my position
-lay in the fact that during Schacht’s time the Reichsbank could
-determine the granting of credits to the Reich, whereas this authority
-was taken from me, and the responsibility for domestic finances,
-therefore, was turned over to the Minister of Finance or of course
-to the Führer himself.
-<span class='pageno' title='105' id='Page_105'></span></p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, I have another question. Perhaps, despite
-your poor state of health today, you might be able to speak
-a little more loudly so that the stenographers might understand you
-more easily. Please try, and we will make this as brief as possible.</p>
-
-<p class='pindent'>Witness, then in addition to these offices of yours which we have
-discussed up to now, you finally had a further office as successor
-of Dr. Schacht, namely, that of Plenipotentiary General for Economy.
-Can you give us some details of your view in this connection
-in order to clarify your situation, your activity, and your achievements?</p>
-
-<p class='pindent'>FUNK: This of all the positions I had was the least impressive.
-As the Reich Marshal correctly stated, and as Dr. Lammers confirmed,
-it existed merely on paper. That, too, was an essential
-difference between the position which Schacht had and the one
-which I had.</p>
-
-<p class='pindent'>Schacht had been appointed Plenipotentiary General for War
-Economy. I, on the other hand, was the Plenipotentiary General
-for Economy. According to the Reich Defense Law of 1938, the
-Plenipotentiary General for Economy was to co-ordinate the civil
-economics departments in preparing for a war. But, in the meantime,
-these economic departments had been subordinated to the
-Delegate for the Four Year Plan, and I, as Plenipotentiary General
-for Economy, was also subordinate to the Delegate for the Four
-Year Plan.</p>
-
-<p class='pindent'>Consequently, there was confusion and overlapping in matters
-of competence and authority as they had been laid down formally.
-The result was a directive of the Führer just a few months after
-the beginning of the war which <span class='it'>de jure</span> and formally transferred
-the authority of the Plenipotentiary General for Economy, as far
-as the civil economic departments were concerned, to the Delegate
-for the Four Year Plan.</p>
-
-<p class='pindent'>DR. SAUTER: When was that?</p>
-
-<p class='pindent'>FUNK: That was in December of 1939. There remained only a
-formal authority to issue directives, that is, I could sign directives
-on behalf of the five civil economic departments, which, according
-to the Reich Defense Law, were subordinate to the Plenipotentiary.
-I retained authority over the Ministry of Economics and the Reichsbank,
-which I had in any case.</p>
-
-<p class='pindent'>DR. SAUTER: But you were subordinate even in these functions
-to the Delegate for the Four Year Plan; is that correct?</p>
-
-<p class='pindent'>FUNK: Yes, like all civil economic departments. Only with the
-Ministry of Economics itself did I have a closer connection.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, in August 1939, that is, immediately
-before the beginning of the Polish campaign, you in your capacity
-<span class='pageno' title='106' id='Page_106'></span>
-as Plenipotentiary General for Economy summoned the civil economic
-offices to a meeting for discussions, and Document 3324-PS
-refers to this meeting. It seems to me important that you define
-your attitude on this point also, and especially with reference to the
-fact that apparently your letter to Hitler, dated 25 August, was a
-result of this meeting. This matter is mentioned in your trial brief
-on Page 24. Will you comment on it?</p>
-
-<p class='pindent'>FUNK: In Schacht’s time there existed an office for the Plenipotentiary
-General for Economy, and a working committee was set
-up which consisted of the representatives of the various economic
-departments, as well as of the Ministry of the Interior, the Plenipotentiary
-for Administration, the OKW, and above all, of the Four
-Year Plan.</p>
-
-<p class='pindent'>When Schacht resigned, the direction of this committee and of
-the office of the Plenipotentiary for Economy was transferred to
-Dr. Posse, his former State Secretary, whereas under Schacht State
-Counsellor Wohlthat had headed the office and the committee.
-These people, of course, had constant consultations, in which they
-discussed measures necessary in the economic sphere for waging
-war. And this was the organization of the Plenipotentiary for Economy
-which I dealt with in my speech in Vienna which had been
-mentioned here. It existed alongside the Four Year Plan, and in
-the main was charged with a smooth conversion of the civilian
-economy into a war economy in the case of war, and with the
-preparation of a war economy administration.</p>
-
-<p class='pindent'>When, in August of 1939, there was a threat of war with Poland,
-I called together the chiefs of the civil economic departments, as
-well as the representatives of the Four Year Plan, and, in joint
-consultation, we worked out measures necessary for converting the
-civilian economy into a war economy in the case of a war with as
-little disturbance as possible.</p>
-
-<p class='pindent'>These were the proposals which I mentioned in my letter to the
-Führer dated 25 August 1939, at a time when the German and
-Polish Armies already faced each other in a state of complete
-mobilization.</p>
-
-<p class='pindent'>It was, of course, my duty to do everything to prevent dislocations
-of the civilian economy in the case of a war, and it was
-my duty as President of the Reichsbank to augment gold and foreign
-exchange assets of the Reichsbank as much as possible.</p>
-
-<p class='pindent'>This was necessary first of all because of the general political
-tension which existed at the time. It would also have been necessary
-if war had not broken out at all, but even if only economic
-sanctions had been imposed, as was to be expected from the general
-foreign political tension which existed at the time. And it was
-<span class='pageno' title='107' id='Page_107'></span>
-equally my duty, as Minister of Economics, to do everything to
-increase production.</p>
-
-<p class='pindent'>But I did not concern myself with the financial demands of
-the Wehrmacht, and I had nothing to do with armament problems,
-since, as I have already said, the direction of peacetime as well as
-war economy had been turned over to the Delegate for the Four
-Year Plan.</p>
-
-<p class='pindent'>The explanation for the fact that at that time I kept aloof from
-the work of that committee is the following:</p>
-
-<p class='pindent'>I personally did not believe that there would be war, and everyone
-who discussed this subject with me at that time will confirm
-this. In the months before the beginning of the war I concentrated
-my entire activity on international negotiations for bringing about
-a better international economic order, and for improving commercial
-relations between Germany and her foreign partners.</p>
-
-<p class='pindent'>At that time it was arranged that the British Ministers Hudson
-and Stanley were to visit me in Berlin. I myself was to go for
-negotiations to Paris where, in the year 1937, I had come to know
-some members of the Cabinet when I organized a great German
-cultural fête there.</p>
-
-<p class='pindent'>The subject of short-term foreign debts had again to be discussed
-and settled—the so-called moratorium. I had worked out
-new proposals for this, which were hailed with enthusiasm, especially
-in England. In June of 1939, an international financial discussion
-took place in my offices in Berlin, and leading representatives
-of the banking world from the United States, from England,
-from Holland, France, Belgium, Switzerland, and Sweden, took
-part in it.</p>
-
-<p class='pindent'>These discussions led to results which satisfied all parties. At
-the same time I carried out the exchange or transfer of Reichsbank
-assets in foreign countries. This exchange of gold shares also was
-considered very fair and satisfactory in foreign banking circles and
-the foreign press.</p>
-
-<p class='pindent'>In June of that year I went to Holland to negotiate trade agreements.
-I also participated in the customary monthly discussions of
-the International Clearing Bank at Basel as late as the beginning
-of July 1939, and despite the strong political tension which existed
-at the time I was convinced that a war would be avoided and I
-voiced this conviction in all my discussions, at home and abroad.
-And this is why during those months I was barely interested in the
-discussions and consultations on the financing of the war and the
-shape of war economy.</p>
-
-<p class='pindent'>I had, of course, given instructions to the Reichsbank to use its
-available economic assets abroad as far as possible to obtain gold
-<span class='pageno' title='108' id='Page_108'></span>
-and generally to increase our foreign assets. But in the few months
-of my activity in this sphere before the war, the success of this
-endeavor of mine was slight. Our gold assets and foreign assets, as
-they were turned over to me by Schacht, remained on the whole
-unchanged until the war.</p>
-
-<p class='pindent'>In my questionnaire to the Reichsbank Vice President, Puhl, I
-requested enlightenment on these transactions, since the Directorate
-of the Reichsbank and its managing director who, at that time, was
-Puhl, are bound to have information on this matter. The answer
-to this questionnaire, I am sorry to say, has not as yet arrived.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, you gave these details obviously to show
-that despite the political tension at the time you did not even think
-seriously of war.</p>
-
-<p class='pindent'>FUNK: Not until August 1939.</p>
-
-<p class='pindent'>DR. SAUTER: Now, in the course of these proceedings, we have
-heard about a series of discussions which Hitler had with generals
-and other personalities, and which concerned military and political
-matters. All these were discussions which we must say today stood
-in closest connection with preparations for war.</p>
-
-<p class='pindent'>At which of these discussions were you present, and what did
-you gather from them?</p>
-
-<p class='pindent'>FUNK: I was never called into political and military discussions,
-and I did not participate in any of these discussions which were
-mentioned here in connection with the charge of planning an aggressive
-war, so far as discussions with the Führer are concerned. I was
-also not informed about the contents of these discussions. And as
-far as I can remember, I was hardly ever present at the discussions
-with the Reich Marshal, when they dealt with this topic.</p>
-
-<p class='pindent'>I have been confronted here with a meeting which took place
-in October of 1938.</p>
-
-<p class='pindent'>DR. SAUTER: 14 October 1938? I can tell you the document
-number. It is 1301-PS.</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Were you present at that meeting?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>DR. SAUTER: That was the meeting...</p>
-
-<p class='pindent'>FUNK: Yes, that was the meeting in which, according to
-the indictment against me, Göring pointed out that he had been
-instructed by the Führer to increase armament to an abnormal
-extent. The Luftwaffe was to be increased fivefold, as speedily as
-possible.
-<span class='pageno' title='109' id='Page_109'></span></p>
-
-<p class='pindent'>The Prosecutor, according to the official record (Volume V, Pages
-163, 164), asserts that, in this discussion, Göring addressed me in
-the words of a man who was already at war. I was not even in
-Germany those days but in Bulgaria, and consequently I could not
-participate in this meeting.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, as proof of the fact that the Defendant
-Funk was not in Germany at the time of this discussion
-with Göring on 14 October 1938 I have submitted several documents
-in the Document Book Funk; they are extracts from the <span class='it'>Völkischer
-Beobachter</span>, Numbers 5, 6, 7, and 8 of the Funk Document Book.
-These documents are submitted chiefly because they show that in
-fact from 13 October 1938 until 15 October 1938 Funk was at Sofia
-in Bulgaria, and therefore could not have been present at the
-Göring meeting on 14 October 1938.</p>
-
-<p class='pindent'>What Funk said in Bulgaria about economic relations I need
-not read in detail. But I would like to refer especially to his
-speech of 15 October 1938, Funk Document Book Number 7, in
-which the Defendant Funk, particularly in the first paragraph,
-declared publicly that the thought of an economic union between
-the German economy and the Southeastern European economy
-was in his mind, and in which Funk quite definitely rejected
-a one-sided dependence of the economy of the southeastern states
-on the economic system of Germany.</p>
-
-<p class='pindent'>Therefore I beg the Tribunal to take judicial notice of these
-documents as evidence and in order to save time I will not go
-into them further.</p>
-
-<p class='pindent'>Witness, under Document Number PS-3562 the Prosecution has
-submitted a document dealing with a conference on 1 June 1939.
-You yourself did not attend this meeting, but according to the list
-of those present several representatives of your Ministry were there,
-as well as the representative of the Reichsbank. At this meeting
-the probable financial needs of the Reich in case of a war, the
-productive capacity of the Germany economy, and that of the
-Protectorate in case of a war were discussed. There is a marginal
-note in this record which says that the record was to be submitted
-to you. Can you state very briefly whether this was actually
-done?</p>
-
-<p class='pindent'>FUNK: No, it was not done. I have the document here. If
-this record had been submitted to me I would have affixed my
-initials “W. F.” to it. Besides, this document deals with the continuous
-discussions, which I have already mentioned, about the
-financing of the war, and the measures to be taken in the field
-of civilian economy in case of a war. The decisive measures for
-the financing were naturally prepared by the Reich Minister of
-Finance, and these measures were discussed at length in this
-<span class='pageno' title='110' id='Page_110'></span>
-conference at which the question of meeting the expenses through
-taxes was one of the chief topics. In any event, a variety of such
-discussions was carried on continuously at that time among the
-representatives of the various departments, and they took place
-in the office of the leading staff of the Plenipotentiary for Economy.
-By chance I have now found this name which earlier I could not
-remember: this was the institution—the committee—which was
-founded in the days of Schacht and was later continued.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, on 30 March 1939 you made a statement
-of your program in a speech before the Central Committee
-of the Reichsbank.</p>
-
-<p class='pindent'>I have included these excerpts from the speech which have a
-bearing on this Trial in the Funk Document Book under Number 9.
-I am coming back to this speech because it was delivered before
-the Central Committee shortly after the defendant assumed his
-office as President of the Reichsbank, and represents his program
-as President of the Reichsbank in connection with various matters
-which have played a part here.</p>
-
-<p class='pindent'>Dr. Funk, perhaps with just a few brief words you might give
-us the essential relevant points of your speech, insofar as the
-Prosecution is interested in them.</p>
-
-<p class='pindent'>FUNK: I do not believe I need do that. I briefly mentioned
-a while ago that in these months I carried on international discussions
-about the necessity for a new order in international
-economic relations, and that I also pointed out Germany’s readiness
-to play a positive part. Therefore, I do not think I need read
-anything more from this speech; it is only meant to show that
-at that time I did not work on preparations for war but endeavored
-to bring about international economic understanding, and
-that these, my efforts were recognized publicly in foreign countries,
-especially in England.</p>
-
-<p class='pindent'>DR. SAUTER: This intention to establish favorable and confident
-relations with foreign countries, that is, with their financial and
-economic circles, was, I am sure, a deciding factor in a later
-measure to which you already referred a little while ago, namely
-that compensation to foreign shareholders in the Reichsbank, who,
-I believe, existed chiefly in England, Holland, and Switzerland,
-was assessed and paid in a particularly loyal manner.</p>
-
-<p class='pindent'>FUNK: Yes, I have stated that already.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, you mentioned earlier a letter which
-you wrote to Hitler. This letter would be interesting to me insofar
-as I would like to know just why you wrote it, and why in it you
-spoke of “your proposals,” even though in the main they were
-<span class='pageno' title='111' id='Page_111'></span>
-concerned with things which did not actually originate with you.
-Perhaps you will say a few words about this letter.</p>
-
-<p class='pindent'>FUNK: The tone and contents of this letter can be explained
-from the general mood which existed everywhere in Germany at
-that time. Beyond that it is a purely personal letter to the Führer:
-In it I thanked him for his congratulations on my birthday. For
-this reason the letter is a little emphatic in its style. When I spoke
-of “my proposals,” this may be traced back to the fact that I
-had personally some time before explained to the Führer what
-measures would be necessary if a war broke out. And in the main,
-those were the measures which were adopted later as a result of
-conferences with the other economic offices, and to which I
-referred in this letter. Thus it was not quite correct for me to
-say “my proposals.” I should really have said, “The proposals
-worked out together with the other economic offices.”</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, have you concluded?</p>
-
-<p class='pindent'>FUNK: No. I would like to explain this whole letter with just
-a few words, since it is apparently one of the pillars of the Prosecution’s
-case against me.</p>
-
-<p class='pindent'>As I have said, it was the time when the two mobilized armies
-faced each other. It was the time when the entire German people
-were in a state of great excitement because of the constant provocations
-and the ill-treatment of the German population in Poland.
-I personally did not believe that we would actually have war,
-for I was of the opinion that diplomatic negotiations could again
-be successful in preventing the threat of war and indeed in avoiding
-war itself. After the Führer’s almost miraculous successes in
-foreign policy, the heart of every true German had to beat faster
-in the expectation that in the East also Germany’s wishes would
-be fulfilled; that is, that my separated home province of East
-Prussia would be reunited with the Reich, that the old German
-city of Danzig would again belong to the Reich, and that the
-problem of the Corridor would be solved.</p>
-
-<p class='pindent'>The overwhelming majority of the German people, including
-myself, did not believe that this question would end in war. We
-were rather convinced that England would be successful in exerting
-pressure on Poland so that Poland would acquiesce in the
-German demands on Danzig and the Corridor and would not bring
-on a war. The testimony of the witness Gisevius must have made
-clear to everyone in the world that England did nothing at that
-time to exert a soothing and conciliatory influence on Poland. For
-if the British Government knew that a conspiracy existed in
-Germany in which the Chief of the General Staff, the Chief of
-the OKW, the Chief of German Armament and other leading
-<span class='pageno' title='112' id='Page_112'></span>
-military personalities and generals were involved, and that an
-overthrow had been prepared for the event of war, then the British
-Government would have been foolish indeed if they had done
-anything to assuage and conciliate Poland. The British Government
-must have been convinced that if Hitler should go to war,
-a <span class='it'>coup d’état</span>, a revolution, an overthrow would take place, and
-that, in the first place, there would be no war and, secondly, that
-the hateful Hitler regime would be removed. Nobody could hope
-for more.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, we do not want to talk politics, but
-rather return to this letter of 25 August 1939. May I repeat the
-number, 699-PS. Let us at present deal only with this letter. If
-I understood you correctly, I can summarize your testimony as
-follows: This rather enthusiastic letter to Hitler was written
-because you were hopeful that Hitler would succeed in reuniting
-your home province of East Prussia with the Reich, and would
-now finally settle the Corridor problem without a war. Did I
-understand you correctly?</p>
-
-<p class='pindent'>FUNK: Yes, but at the same time I feel I must state that I
-on my part did everything to ensure that in the event of war,
-peacetime economy would without disturbance be converted into
-a war economy. But this was the only time at which, as Plenipotentiary
-for Economy, I was active at all with regard to the
-other economic departments and the fact that I referred to my
-position in this letter may be explained quite naturally, because
-I was proud that I had for once done something in this official
-position—for every man likes to be successful.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, we are still concerned with the question
-of whether you knew of Hitler’s intent to bring about a war,
-especially to wage aggressive war and to make conquests through
-aggressive wars. I would like to put to you a few questions which,
-for the sake of simplicity, you can answer with “yes” or “no”; I
-would like to know only whether your knowledge and your
-presentiment agree with the statements made by a few witnesses
-and some codefendants.</p>
-
-<p class='pindent'>For example, Reich Minister Lammers testified that you found
-it especially difficult to see Hitler at all, that an audience was
-granted you only once in a long while, and that even on one
-occasion I believe you waited for days with Lammers at headquarters
-for the promised audience, and that you had to leave
-again without having gained admittance. Is that correct?</p>
-
-<p class='pindent'>FUNK: Yes, I am sorry to say.</p>
-
-<p class='pindent'>DR. SAUTER: Now a further question: We have been confronted
-with several documents which say explicitly—I believe they are
-<span class='pageno' title='113' id='Page_113'></span>
-records of Lammers—that the Reich Minister of Economics, and at
-one time also the Reich Foreign Minister, had requested to be called
-in to these discussions, that Minister Lammers did his best to bring
-this about, but that Hitler did not allow it, that he expressly barred
-you and the Reich Foreign Minister from attending these discussions
-even though you pointed out that important matters of
-your department were being dealt with. Is that correct? Perhaps
-you can answer with just “yes” or “no.”</p>
-
-<p class='pindent'>FUNK: The meeting which you mention is concerned with the
-deployment of labor. I myself had no direct connection with that,
-and the Foreign Minister probably did not have any marked interest
-in it either. So I assume that for these reasons the Führer did not
-need me, for as I said yesterday his directives for the conduct of
-economy were given, up to the year 1942, to the Reich Marshal as
-the man responsible for that field, and after 1942 the directives were
-given to Speer, because from that date on armaments dominated
-the entire economic life, and all economic decisions, by express
-order of the Führer, had to give way to armament needs.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Lammers, in his testimony on 8 April, stated—I
-quote:</p>
-
-<div class='blockquote'>
-
-<p>“The Führer objected many times, namely against Funk.
-There were various reasons for objecting to Funk. Hitler was
-skeptically inclined toward Funk and did not want him.”</p>
-
-</div>
-
-<p class='pindent'>Thus for the testimony of the witness Dr. Lammers. Can you
-explain why Hitler was disinclined toward you?</p>
-
-<p class='pindent'>FUNK: No, only by the objective explanation that he did not
-need me.</p>
-
-<p class='pindent'>DR. SAUTER: In other words, he considered any discussions
-with you superfluous.</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, in connection with the topic of aggressive
-wars, I would be interested in the following: In the Indictment,
-on Page 30 of the German trial brief, it is set forth that you personally
-and through your official representatives, that is you personally
-as well as through the representatives who were appointed
-by you, participated in the preparation for the aggressive war
-against Russia, and as the sole proof for this Document Number
-1039-PS, Exhibit USA-146, is submitted. From this document it
-appears that you, Defendant, at the end of April 1941, allegedly
-had a discussion with Rosenberg—who was responsible for the
-Eastern Territories—about the economic questions which would
-arise if the plans for attack in the East were to be carried through.
-I ask you, Dr. Funk, to note the date of this discussion: the end of
-<span class='pageno' title='114' id='Page_114'></span>
-April 1941, just a short time before the beginning of the war against
-Russia. In order to refresh your memory I want to point out that
-at that time, that is, before the war against Russia, Rosenberg had
-already been nominated as Hitler’s plenipotentiary for the uniform
-handling of problems in the Eastern Territories. I am asking you
-now to define your position and to say whether it can be derived
-from this discussion that you participated in an aggressive war
-against Russia or its planning and preparation, and if you did
-participate, how?</p>
-
-<p class='pindent'>FUNK: I knew nothing about an aggressive war against Russia.
-I was very much surprised when I learned from Lammers that the
-Führer had made Rosenberg plenipotentiary for Eastern European
-problems. Lammers stated here that he had me advised of this
-nomination for personal reasons, because he knew that I was very
-much interested in economic relations with Russia. Indeed, our
-mutual efforts, Russia’s as well as Germany’s, had succeeded in considerably
-expanding our trade relations; for in earlier times, that
-is, before the first World War, German trade with Russia had been
-the decisive factor in the balance of German trade and had amounted
-to several thousand million gold marks.</p>
-
-<p class='pindent'>The Russians—I must say this here—furnished us grain, manganese
-ore, and oil very promptly, while our deliveries of machines
-lagged behind for the natural reason that the machines had first to
-be produced since the Russian orders were mainly for specialized
-machines. To what extent army supplies were sent to Russia, I do
-not know, as I did not deal with these.</p>
-
-<p class='pindent'>And so I was surprised by the appointment of Rosenberg. He
-called on me for a short discussion in which he told me that the
-task given to him by the Führer also included handling of economic
-problems. Thereupon I placed a ministerial director in my ministry,
-Dr. Schlotterer, at Rosenberg’s disposal to work on these problems.
-And when the Ministry for Eastern Affairs was founded, as
-far as I know, in July, Dr. Schlotterer, with some of his colleagues,
-took over the direction of the economic department in Rosenberg’s
-Ministry. And simultaneously, as far as I remember, Dr. Schlotterer
-became a member of Economic Operational Staff East. This was
-the institution of the Four Year Plan which has been mentioned
-repeatedly here during the proceedings and which dealt with all
-economic problems in the Occupied Eastern Territories.</p>
-
-<p class='pindent'>Beyond that, I had nothing to do with these matters. Naturally
-I asked Lammers as well as Rosenberg just what this signified, and
-both of them told me that the Führer was of the opinion that a war
-with Russia would become unavoidable, that along the entire Eastern
-Front the Russians had concentrated large reinforcements, that the
-discussions with Molotov, in which I had no part at all, had been
-<span class='pageno' title='115' id='Page_115'></span>
-unsatisfactory, that the Russians were making demands regarding
-the Baltic, the Balkan regions, and the Dardanelles, which could
-not be accepted by Germany, by the Führer. At any rate, this affair
-was as complete a surprise to me as to the German people, and I
-am convinced that this war was a great shock to the German people.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness spoke of July. Did he mean
-July 1940?</p>
-
-<p class='pindent'>DR. SAUTER: As far as I know, July 1941.</p>
-
-<p class='pindent'>THE PRESIDENT: You mean July 1941? That was after the war
-with Russia had begun. The witness can answer for himself, I suppose,
-can he not?</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Did you mean July 1940?</p>
-
-<p class='pindent'>FUNK: The discussion with Rosenberg was at the end of April
-or the beginning of May 1941, and the Rosenberg Ministry was
-founded in July 1941.</p>
-
-<p class='pindent'>DR. SAUTER: I now turn to a different point raised by the Prosecution.
-You are accused of having, as Reich Minister of Economics,
-committed punishable acts in connection with the criminal plan to
-persecute the Jews and to eliminate them from economic life. These
-are the happenings of November 1938. Will you therefore now
-describe your activity in this respect.</p>
-
-<p class='pindent'>FUNK: May I ask the Tribunal to give me time for a rather
-detailed account on this topic. Then the points which we will treat
-later can be dealt with much more briefly. This is the charge of
-the Prosecution which really affects me most gravely.</p>
-
-<p class='pindent'>When I took over the Ministry of Economics in February 1938,
-I very soon received demands from the Party, and especially from
-Goebbels and Ley, to eliminate the Jews from economic life, since
-they could not be tolerated. I was told that people were still buying
-in Jewish stores, and that the Party could not permit its members
-to buy in such stores; the Party also took offense at the fact that
-some high state officials, and in particular their wives, were still
-shopping in such stores. The sectional chairmen of the Labor Front
-refused to work with Jewish managers. There were constant clashes,
-I was told, and there would be no peace if the measures which had
-already been introduced here and there were not extended gradually
-to eliminate the Jews completely from economic life.</p>
-
-<p class='pindent'>The Law for the Organization of National Labor, which was
-decreed under my predecessors and which was also carried through
-by them in agreement with the German Labor Front, had assigned
-political and Party functions also to domestic economy. The plant
-manager was also responsible to the Party and above all to the
-State.
-<span class='pageno' title='116' id='Page_116'></span></p>
-
-<p class='pindent'>Some Jewish managers readily succumbed to the pressure and
-sold their businesses and enterprises to people and at prices of which
-we did not approve at all. I had made private agreements with
-individual Jewish leading men in banking, heavy industry, and the
-big stores, and had thus brought about their withdrawal from positions
-in economic life. There was no peace, and we had to try
-within a certain time and in line with certain legal decrees to force
-back and gradually eliminate Jewish influence from economic life.
-In this connection, I personally always represented the view that,
-first of all, the process should be carried out slowly, with intervals
-of time; secondly, that the Jews should be given adequate compensation,
-and thirdly, that one might leave certain economic interests
-in their hands, especially their security holdings; and I particularly
-emphasized this in the meeting with Göring which has been mentioned
-here so frequently.</p>
-
-<p class='pindent'>Now while these developments were taking shape, the terrible
-happenings of the night of 9-10 November 1938, originating in
-Munich, burst upon us and affected me personally very deeply.
-When I drove to my ministry on the morning of 10 November, I
-saw on the streets and in the windows of the stores the devastation
-which had taken place and I heard further details from my officials
-in the Ministry. I tried to reach Göring, Goebbels, and I think
-Himmler, but all were still traveling from Munich. Finally I succeeded
-in reaching Goebbels. I told him that this terror was an
-affront against me personally, that through it valuable goods which
-could not be replaced had been destroyed, and that our relations
-with foreign countries, upon which we were particularly dependent
-at this time, would now be disturbed noticeably.</p>
-
-<p class='pindent'>Goebbels told me that I personally was responsible for this state
-of affairs, that I should have eliminated the Jews from economic
-life long ago, and that the Führer would issue an order to Reich
-Marshal Göring according to which the Jews would have to be
-completely eliminated from economic life; I would receive further
-details from the Reich Marshal. This telephone conversation with
-Goebbels was confirmed by him later, and witnesses will verify this.</p>
-
-<p class='pindent'>The next day, 11 November, I was informed that there was to
-be a meeting on the 12th with Göring in his capacity as Delegate
-for the Four Year Plan, for the purpose of settling the Jewish
-problem. The Delegate for the Four Year Plan had given instructions
-to the Ministry to prepare a draft for a decree which was to
-be the basis of laws for the elimination of the Jews from economic
-life.</p>
-
-<p class='pindent'>On the 12th this meeting, which has been discussed here frequently,
-took place. There was a discussion with the Reich Marshal
-in the morning at which the Gauleiter were present. The Reich
-<span class='pageno' title='117' id='Page_117'></span>
-Marshal was highly excited; he said that he would not tolerate this
-terror and that he would hold the various Gauleiter responsible for
-what had happened in their Gaue.</p>
-
-<p class='pindent'>After this meeting I was therefore comparatively relieved, but
-at the meeting, of which the record has been read here several
-times, Goebbels very soon produced his very radical demands and
-thereby dominated the whole of the proceedings.</p>
-
-<p class='pindent'>The Reich Marshal became increasingly angry and in this mood
-he gave way to the expressions noted in the record. Incidentally,
-the record is full of gaps and very incomplete. After this meeting
-it was clear to me that now indeed the Jews would have to be
-eliminated from economic life, and that in order to protect the Jews
-from complete loss of their rights, from further terror, attacks, and
-exploitation, legal measures would have to be decreed. I made
-provisions, and so did the Minister of Finance, the Minister of the
-Interior, the Minister of Justice, and so on, for the execution of the
-original decree of the Delegate for the Four Year Plan in which
-the transfer of Jewish businesses and Jewish shares to trustees was
-stipulated. The Jews were compensated by 3 percent bonds, and
-I always saw to it that, as far as the Ministry of Economics was
-involved in this, this decision was carried out faithfully and according
-to the law and that the Jews did not suffer further injustice.
-There was at that time certainly no talk of an extermination of the
-Jews. However, a plan for the organized emigration of the Jews
-was briefly discussed at that meeting. I personally did not participate
-in any way in the terroristic, violent measures against Jews.
-I regretted them profoundly and sharply condemned them. But I
-had to authorize the measures for the execution of those laws in
-order to protect the Jews against a complete loss of rights, and to
-carry through in an orderly manner the legal stipulations which
-were made at that time.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk...</p>
-
-<p class='pindent'>THE PRESIDENT: We had better adjourn now.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>DR. SAUTER: Witness, before the intermission we last spoke of
-your activity concerning the decrees for the exclusion of Jews from
-economic life and you told us about the minutes of the session with
-Göring on 12 November 1938. That is Document Number 1816-PS.</p>
-
-<p class='pindent'>You have already mentioned that the minutes of that conference
-were poorly edited and are full of omissions, but we can see from
-these minutes that you openly and definitely exerted a restraining
-influence and that you tried to save one thing or another for the
-<span class='pageno' title='118' id='Page_118'></span>
-Jews. I see, for instance, from the minutes that during the conference
-you repeatedly maintained that the Jewish stores should be
-reopened again speedily. Is that correct?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: You also pleaded, according to the minutes, that
-the Jews should be able to keep their shares and interests. That is
-shown in a question which you put. Is that correct?</p>
-
-<p class='pindent'>FUNK: I have already said that I had thought, up to the time
-of that conference, that the Jews could keep their securities; and
-in the course of the conference I said that it was quite new to me
-that the Jews should also surrender the securities they possessed.
-Ultimately they got 3 percent government bonds in settlement, but
-they had to hand over all their shares and other interests.</p>
-
-<p class='pindent'>I was also against a ruling of that kind because the Government
-would then take over a huge number of securities and the conversion
-of such securities was of course difficult.</p>
-
-<p class='pindent'>DR. SAUTER: From the minutes it also appears that Heydrich
-was in favor of placing the Jews in ghettos, and you recall that the
-Prosecution has already mentioned that here.</p>
-
-<p class='pindent'>What was your attitude, Dr. Funk, to Heydrich’s proposal at
-that time?</p>
-
-<p class='pindent'>FUNK: I was against ghettos for the simple reason that I considered
-a ghetto a terrible thing. I did not know any ghettos, but
-I said that 3 million Jews can surely live among 70 million Germans
-without ghettos. Of course, I said that the Jews would have
-to move together more closely, and one would have to assist the
-other, for it was clear to me, and I also said so during the conference,
-that the individual Jew could not exist under the conditions
-which were now being created for him.</p>
-
-<p class='pindent'>DR. SAUTER: In that connection, Mr. President, may I be permitted
-to point out two affidavits which I included in the Funk
-Document Book under Number 3 and Number 15, and may I ask
-you to take official notice of their complete contents as evidence?</p>
-
-<p class='pindent'>Affidavit Number 3 in the document book, on Page 12 of the
-text, is one by the defendant’s wife, signed by her about the beginning
-of the Trial on 5 November 1945. From that affidavit, of which
-I shall summarize the essential passages, we can see that at the
-time of the excesses against the Jews in November 1938 the defendant,
-together with his wife and his niece, was in Berlin, and
-therefore not in Munich where the so-called “Old Fighters” were
-assembled and where Minister Dr. Goebbels quite suddenly and to
-the surprise of everyone gave the order for these Jewish pogroms.
-Frau Funk confirms in her affidavit that her husband, as soon as
-<span class='pageno' title='119' id='Page_119'></span>
-he heard of these excesses, called Dr. Goebbels over the telephone
-in great excitement and asked him:</p>
-
-<div class='blockquote'>
-
-<p>“Have you gone crazy, Goebbels, to commit such outrages?
-It makes one ashamed to be a German. Our whole prestige
-abroad is being lost. I am trying day and night to preserve
-the national patrimony and you throw it recklessly out of the
-window. If this beastly mess does not stop immediately, I
-will throw everything overboard.”</p>
-
-</div>
-
-<p class='pindent'>That literally was the telephone conversation which at that time
-the defendant had from Berlin with Dr. Goebbels. And the remaining
-contents of that affidavit are concerned with intercessions which
-the defendant made for individual Jewish acquaintances. And,
-Gentlemen, there is a similar vein in the affidavit by Heinz Kallus,
-who was ministerial counsellor in the Ministry of Economics under
-the Defendant Funk.</p>
-
-<p class='pindent'>I have submitted this affidavit as Number 15 of the Funk Document
-Book. It is dated 9 December 1945, and this witness also confirms
-that Funk was, of course, extremely surprised by these
-excesses, and that he thereupon immediately got in touch with
-the competent authorities in order to prevent further outrages.</p>
-
-<p class='pindent'>Thus these affidavits largely confirm the account which the
-Defendant Funk himself has given. In connection with this affair
-concerning the Jews, I should like to return to Document Number
-3498-PS, which can be found on Page 19 of the trial brief against
-Funk. That is a circular letter by Funk of 6 February 1939, published
-in the official gazette of the Reich Ministry of Economics,
-and from it I quote:</p>
-
-<div class='blockquote'>
-
-<p>“To what extent and rate the authority of the Four Year
-Plan is to be used depends on instructions given by me in
-accordance with the directives of the Delegate for the Four
-Year Plan.”</p>
-
-</div>
-
-<p class='pindent'>I quote this because, here again, in an official publication of
-that time, the Defendant Funk expresses clearly that, in this field
-too, he had merely to obey and to execute the directives of the
-Four Year Plan. Is that correct, Dr. Funk?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, you said earlier that in keeping with
-your entire past and your basic principles, and in keeping with
-your entire philosophy, you considered as particularly severe the
-charge concerning the elimination of Jews from economic life. And
-in this connection I want to put to you that during an interrogation
-in Nuremberg on 22 October 1945, you finally broke into tears and
-told the interrogating officer, “At that time I should have resigned.
-I am guilty.” And this was quoted literally on one occasion in the
-<span class='pageno' title='120' id='Page_120'></span>
-course of the proceedings. Perhaps you can tell us how that remark
-and that breakdown on your part occurred which I find mentioned
-in the record.</p>
-
-<p class='pindent'>FUNK: I had at that time just been brought from hospital into
-prison.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, one question...</p>
-
-<p class='pindent'>FUNK: I did not know before that I had been accused of being
-a murderer and a thief and I do not know what else. I was sick
-for 9 or 10 weeks, and from the hospital bed I was brought here
-during the night. During those days my interrogations here started
-immediately. I must admit that the American officer who interrogated
-me, Colonel Murrey Gurfein, conducted the interrogation
-with extreme consideration and forbearance and again and again
-called a halt when I was unable to go on. And when I was reproached
-with these measures of terror and violence against the Jews
-I suffered a spiritual breakdown, because at that moment it came
-to my mind with all clearness that the catastrophe took its course
-from here on down to the horrible and dreadful things of which
-we have heard here and of which I knew, in part at least, from the
-time of my captivity. I felt a deep sense of shame and of personal
-guilt at that moment, and I feel it also today. But that I issued
-directives for the execution of the basic orders and laws which
-were made, that is no crime against humanity. In this matter I
-placed the will of the State before my conscience and my inner
-sense of duty because, after all, I was the servant of the State. I
-also considered myself obliged to act according to the will of the
-Führer, the supreme Head of the State, especially since these measures
-were necessary for the protection of the Jews, in order to save
-them from absolute lack of legal protection, from further arbitrary
-acts and violence. Besides, they were compensated and, as can be
-seen from the circular letter which you have just quoted, I gave
-strict instructions to my officials to carry out these legal directives
-in a correct and just way.</p>
-
-<p class='pindent'>It is terribly tragic indeed that I in particular am charged with
-these things. I have said already that I took no part in these excesses
-against the Jews. From the first moment I disapproved of
-them and condemned them very strongly, and they affected me
-personally very profoundly. I did everything, as much as was
-within my power, to continue helping the Jews. I never thought
-of an extermination of the Jews, and I did not participate in these
-things in any way.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, as you are just speaking of the fact that
-you did not think of an extermination, an annihilation of the Jews,
-I want to refer to a document which has been quoted before:
-<span class='pageno' title='121' id='Page_121'></span>
-Number 3545-PS; it was submitted by the Prosecution. As you may
-recall, this is the photostat of the <span class='it'>Frankfurter Zeitung</span> of 17 November
-1938, an issue which appeared only a few days after the incidents
-with which we are now concerned. In that issue of the
-<span class='it'>Frankfurter Zeitung</span> a speech of yours was published in which you
-deal with the legal measures for the exclusion of Jews from German
-economic life, and you will recall that the Prosecutor, in his
-speech of 11 January 1946, charged you, and I quote: “...that the
-program of economic persecution of the Jews was only part of a
-larger program for their extermination.”</p>
-
-<p class='pindent'>And that is in conformity with a phrase in your trial brief which
-says that it was merely a part of, literally, “a larger program for
-the extermination of the Jews.” Now, in all the statements which
-you made during that time, I nowhere find an indication that you
-favored an extermination, an annihilation of the Jews, or that you
-had demanded it. What can you say about that view of the Prosecution?</p>
-
-<p class='pindent'>FUNK: Never in all my life, orally or in writing, have I demanded
-an extermination or annihilation of the Jews or made any
-statement to that effect. Apparently this is an utterance of the
-Prosecutor, which, in my opinion, is based only on imagination or
-the state of mind in which he has viewed the things from the beginning.
-I myself have never advocated the extermination of the
-Jews and I did not know anything of the terrible happenings which
-have been described here. I did not know anything. I had nothing
-to do with them; and afterwards, as far as I recall, I never took
-part in any measures against the Jews, since these matters were no
-longer dealt with in my departments. With the exception of these
-legal measures, these executive orders, I do not believe that within
-my departments I ever again authorized anything further connected
-with Jewish affairs.</p>
-
-<p class='pindent'>DR. SAUTER: Is it correct, Dr. Funk, that in connection with the
-carrying out of these directives which you had to issue, you yourself
-intervened on behalf of a large number of individuals who had
-to suffer under these directives and who approached you personally
-for aid, and that you did this in order to mitigate the effect of these
-decrees?</p>
-
-<p class='pindent'>FUNK: I saw to it that these directives were followed in a fair
-way and according to the laws. However, the carrying out of these
-decrees was the responsibility not of the Ministry but of the district
-president and of the offices dependent on the Gauleiter in the Reich.
-Many complaints reached me about the manner in which Aryanization
-was carried out, and my officials will confirm that I intervened
-in every case when I was informed of such abuses. I even
-<span class='pageno' title='122' id='Page_122'></span>
-dismissed an official of that department when I heard of incorrect
-behavior; later I also parted with the department head.</p>
-
-<p class='pindent'>DR. SAUTER: Why?</p>
-
-<p class='pindent'>FUNK: Because these abuses had occurred. Just as previously
-I had done everything in my power to aid the Jews to emigrate by
-making foreign currency available to them, so now, in carrying out
-these directives, I did everything in my power within the scope of
-possibility to make things bearable for the Jews.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, this question as to what Funk’s attitude
-was in practice toward the carrying out of these decrees which
-he himself as an official had to issue—this question I have also
-treated in a questionnaire approved by you, which has been submitted
-to the former State Secretary Landfried. That questionnaire
-was returned some time ago but it was discovered that a wrong
-questionnaire had been sent out by the office, and the correct answer
-was received only on Saturday. It is now being translated and I
-assume that this correct answer, this testimony of State Secretary
-Landfried, will be submitted to you in the course of the day and
-that it can then be entered in the appendix as Document Number 16.
-I presume, nevertheless, that there will be no objection to my
-reading the short answer of the witness Landfried in connection
-with this matter. Herr Landfried was from 1939 to 1943 state
-secretary...</p>
-
-<p class='pindent'>THE PRESIDENT: Has the Prosecution seen the document?</p>
-
-<p class='pindent'>DR. SAUTER: Yes, the Prosecution has the document.</p>
-
-<p class='pindent'>MR. THOMAS J. DODD (Executive Trial Counsel for the United
-States): We haven’t seen this document. We have seen the German
-text. I don’t read German and I haven’t had an opportunity to read
-it. It hasn’t been translated.</p>
-
-<p class='pindent'>THE PRESIDENT: The document can be submitted after the
-Prosecution has seen it. You needn’t submit it at this moment.
-Have you any other witness or not?</p>
-
-<p class='pindent'>DR. SAUTER: Not in connection with this topic.</p>
-
-<p class='pindent'>THE PRESIDENT: No, no, but are there any other witnesses
-at all?</p>
-
-<p class='pindent'>DR. SAUTER: One witness, Dr. Heidler, but for other subjects.</p>
-
-<p class='pindent'>THE PRESIDENT: And presumably the defendant will be cross-examined.</p>
-
-<p class='pindent'>DR. SAUTER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: These documents will be translated by then.</p>
-
-<p class='pindent'>DR. SAUTER: Yes. Mr. President, if you so desire, then I will
-have to submit that document later, separately.
-<span class='pageno' title='123' id='Page_123'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, I come now to an accusation which,
-according to my knowledge, has not been mentioned in the trial
-brief yet; it concerns the problem of the occupied territories, that
-is, the spoliation of the occupied territories, costs of occupation,
-clearing systems, stabilization of currency, and the like. The Prosecution
-asserts that you actively participated in the program of criminal
-exploitation in the occupied territories. That can be found in
-the record of the proceedings on 11 January 1946 (Volume V, Page
-167). That accusation is not further specified, but in the session of
-21 February (Volume VIII, Page 60) there is a mere reference to a
-decree of the Reich Minister for the Occupied Eastern Territories,
-the Defendant Rosenberg. That decree was submitted by the Prosecution
-as Document Number 1015-PS; it is a decree by the Minister
-for the East, Rosenberg, to the Reich commissioners in the Occupied
-Eastern Territories. The decree informs the Reich commissioners
-of the task of the Einsatzstab Rosenberg—it has already been mentioned
-here on several occasions—namely, that of safeguarding
-objects of cultural value. I think I may assume that the Reich
-Ministry of Economics had nothing to do with cultural treasures
-as such. But—and that is very peculiar—it appears from Rosenberg’s
-letter of 7 April 1942 that a copy of it went not only to
-various other offices but also to you, that is to say, to the Reich
-Minister of Economy. And from that fact—apparently from that
-fact alone—the Soviet prosecutor has deduced the charge that you
-actively participated in the spoliation of the occupied territories.
-I had to explain the connection in such detail in order to show
-exactly with what we are dealing. Can you speak quite briefly
-about it?</p>
-
-<p class='pindent'>FUNK: Up to the time of this Trial I did not even know what
-the Einsatzstab Rosenberg was, what its tasks were, what it was
-doing. I have no knowledge that the Ministry of Economics had
-anything at all to do with the safeguarding of cultural treasures.
-I cannot say anything about it.</p>
-
-<p class='pindent'>DR. SAUTER: You cannot say anything about this?</p>
-
-<p class='pindent'>FUNK: No, not with regard to the Einsatzstab Rosenberg. About
-the policy in the occupied territories, I can say a great deal...</p>
-
-<p class='pindent'>DR. SAUTER: That does not interest us now.</p>
-
-<p class='pindent'>FUNK: But you will probably want to hear that later.</p>
-
-<p class='pindent'>DR. SAUTER: Then, Dr. Funk, in the questionnaire sent to
-Dr. Landfried which I have mentioned before, I asked five or six
-questions concerning your attitude to the economic policies in the
-occupied territories. I also put questions to him on whether you
-<span class='pageno' title='124' id='Page_124'></span>
-had given directives to the military commanders or the Reich
-commissioners for the occupied territories, or the heads of the civil
-administration in Alsace-Lorraine, and so on. Furthermore, I asked
-whether it is correct that economic directives also for the occupied
-territories did not come from you as Reich Minister of Economics
-but from the Delegate for the Four Year Plan. Then I asked about
-your attitude toward the question of exploitation of occupied territories,
-particularly in the West, the black market, devaluation of
-currency, and the like.</p>
-
-<p class='pindent'>I cannot read the statements of the witness Landfried at this
-moment, because, through an error in the office, the answers from
-Landfried arrived only last Saturday. Since your personal testimony
-is now being heard, do you yourself wish to add anything to
-these questions, or would you just like to underline what I shall
-submit to the Tribunal as soon as I have received the translation?
-I put this question because it is practically the last opportunity for
-you to refer to these subjects.</p>
-
-<p class='pindent'>FUNK: I should like to state my position on various matters,
-but the details of these problems can naturally be better explained
-by the state secretaries than by myself.</p>
-
-<p class='pindent'>Concerning the directives to occupied territories, the Reich Marshal,
-as well as Reich Minister Lammers, has stated here that I, as
-Reich Minister for Economics, had no authority to issue instructions.
-The Reich Marshal, during his testimony here, stated, and I marked
-it down, “For the directives and the economic policies carried out
-by the Minister of Economics and Reichsbank President Funk, the
-responsibility is fully and exclusively mine.”</p>
-
-<p class='pindent'>And concerning the occupied territories, he also said that if I
-had issued special instructions in the course of official business
-between the ministry and the administrative offices in the occupied
-territories, then they derived from the general directives of the Reich
-Marshal and, as he said, were always based on his personal responsibility.</p>
-
-<p class='pindent'>The position was that directives to the occupied territories in
-the economic field could only be given by the Delegate for the Four
-Year Plan. The carrying out of economic policy was the task of
-the military commanders or the Reich commissioners who were
-directly subordinate to the Führer. The military commanders, as
-well as the Reich commissioners, had under them officials from the
-various departments; among them, of course, also officials from the
-Ministry of Economics and the Reichsbank; and even private enterprise
-was represented. There was, of course, close co-operation
-between the offices of the military plenipotentiaries, the Reich commissioners,
-and the representatives of the various home departments,
-with the exception of occupied territories in Russia where
-<span class='pageno' title='125' id='Page_125'></span>
-the Reich commissioners were subordinate to a special minister,
-that is, the Reich Minister for the Occupied Eastern Territories.
-This was an exception, but if we as a ministry wanted to have
-anything done by the military commanders or the Reich commissioners,
-we had to make a request or procure an order from the
-Delegate for the Four Year Plan.</p>
-
-<p class='pindent'>The same applies to the heads of the civil administration in
-Alsace-Lorraine and in other territories where a civil administration
-had been set up. Here also, the numerous departments of the
-Ministry of Economics and the Reichsbank had no direct authority
-to issue directives.</p>
-
-<p class='pindent'>However, I emphasize again that of course close official contact
-existed between the directing authorities in the occupied territories
-and the respective departments in Germany.</p>
-
-<p class='pindent'>I myself—and witnesses will confirm this in questionnaires still
-outstanding, or in person—made the greatest efforts to protect the
-occupied territories from exploitation. I fought a virtually desperate
-struggle throughout the years for the maintenance of a stable
-currency in these territories, because again and again it was suggested
-to me that I should reduce the exchange rate in the occupied
-territories so that Germany could buy more easily and more cheaply
-in these countries; I did everything that could be thought of to
-maintain economic order in these territories. In one case, in Denmark,
-I even succeeded, in the face of opposition from all other
-departments, in raising the value of the Danish krone, because the
-Danish National Bank and the Danish Government requested it
-for justifiable reasons.</p>
-
-<p class='pindent'>I opposed the increase of occupation costs in France in 1942 as
-well as in 1944. The memorandum of the Reichsbank which I
-authorized was quoted here by the American Chief Prosecutor.</p>
-
-<p class='pindent'>The occupation costs were determined not by the Minister of
-Economics and the President of the Reichsbank but by the Minister
-of Finance and the Quartermaster General—in other words, by the
-highest Wehrmacht commands—and in the case of France, Denmark,
-and other countries, also by the Minister for Foreign Affairs.</p>
-
-<p class='pindent'>Therefore, I did whatever I could possibly do—whatever was
-within my power—to keep the economy of the occupied territories
-in good order. I was successful finally in persuading the Reich
-Marshal to issue a decree which prohibited all German personnel
-from buying on the black market; but that happened only after
-many abuses in this respect had already occurred.</p>
-
-<p class='pindent'>I want to emphasize also that I considered it necessary for the
-maintenance of order in the occupied territories that social life
-there should not be disturbed, and that, therefore, as a matter of
-<span class='pageno' title='126' id='Page_126'></span>
-principle I was always against the forced or excessive deportation
-of foreign workers from the occupied territories to Germany.</p>
-
-<p class='pindent'>I also expressed this in a conference with Lammers, which has
-been mentioned here. My state secretaries can confirm that. On
-the other hand it was naturally clear to me that Sauckel was in a
-very difficult, indeed desperate, situation. Again and again manpower
-for German economy was demanded of him. But, particularly
-after I had turned over the entire civil production to Speer
-and engaged in central planning, it was not only not to my advantage,
-from the point of view of my work, that manpower was brought
-to Germany from abroad, but it was indeed in my interest that the
-workers should remain in the occupied territories since the production
-of consumer goods had been transferred to a large degree
-to these territories; for as minister responsible for providing consumer
-goods to the population I had a great interest in seeing that
-orderly work should be done in the occupied territories and that no
-economic or social disturbances should occur.</p>
-
-<p class='pindent'>I believe, however, that it will be more to the purpose if my
-two state secretaries and the Vice President of the Reichsbank, the
-acting Director of the Reichsbank, Puhl, make detailed statements
-on these problems, because they were more closely connected than
-I with carrying matters into practice.</p>
-
-<p class='pindent'>If the accusation is made against me that with the aid of the
-clearing arrangements we spoliated occupied territories and foreign
-countries, I can only say that the clearing arrangement was not
-originally introduced by us in our dealings with the occupied territories
-or during the war, but that it was the normal method of
-trade between Germany and her business partners. It was a system
-which had been forced upon us—and that has been pointed out by
-Schacht—when other nations resorted to using the proceeds of German
-exports for the payment and amortization of German debts.</p>
-
-<p class='pindent'>At all times, however, I have emphasized that the clearing debts
-were real debts for merchandise, and that is important. I have said
-again and again that this clearing debt was a genuine debt of the
-Reich and would be repaid at the rate, the purchase value which
-was in force at the time when we entered into these obligations.
-I especially stated that, in detail and as clearly as possible, in
-my last speeches in Vienna in March 1944, and in Königsberg in
-July 1944.</p>
-
-<p class='pindent'>Beyond that, in July, I made the suggestion that after the war
-the clearing debt should be transformed into a European loan, so
-that it should not remain on the narrow plain of a bilateral exchange
-of goods but be effectively commercialized; from this can
-be seen distinctly that I always considered that clearing debt a
-genuine debt, so that the nations in the occupied territories who
-<span class='pageno' title='127' id='Page_127'></span>
-had such claims on Germany could and would be satisfied with the
-war—and, as I constantly emphasize, at the same rates that existed
-at the time when the debt was incurred. If, however, the countries
-would have had to pay reparations on the basis of peace treaties,
-then these reparations of course, quite reasonably, could only have
-been paid in goods; and then, equally reasonably, it would have
-been possible to create a balance between German debts and German
-claims.</p>
-
-<p class='pindent'>But I never left any doubt about the fact that the clearing debt
-was to be considered a true debt. Therefore, I have to reject the
-accusation that with the aid of the clearing system we exploited
-the occupied territories. And I have to reject even more strongly
-the accusation that I share responsibility for the burden of unbearable
-expenses, particularly occupation costs and other outlays of
-money, which were imposed on the occupied territories. It can be
-proved that I always objected to excessive financial burdening of
-the occupied territories. The witnesses will later testify and confirm
-this.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, the defendant has referred to two
-speeches which he made in Vienna and in Königsberg. These are
-two addresses which deal in part with the subject of clearing debts,
-and in part also with the defendant’s favorite subject of a European
-economic union between Germany and her neighbor nations, that is
-to say, an economic union on the basis of full equality.</p>
-
-<p class='pindent'>In the interest of time, may I just ask that judicial notice be
-taken of these speeches, the essential content of which has been
-stated partly by the defendant and partly by me: The speech of the
-defendant at Vienna on 10 March 1944, Number 10 in my document
-book, and the speech in Königsberg on the occasion of the 400th
-anniversary of the university of his home province, on 7 July 1944,
-Number 11 in my document book.</p>
-
-<p class='pindent'>MR. DODD: Mr. President, if this Document Number 11 is offered
-by the defense for the purpose of showing what this defendant’s
-policy was toward the occupied countries, then I think it is proper
-for me to point out that the speech did not refer to the occupied
-countries but rather to the satellite states of Germany.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, may I also call attention to Document
-Number 3819-PS, which has already been submitted by the
-Prosecution. That is the record, which the defendant has mentioned,
-of the meeting with Minister Lammers on 11 July 1944.</p>
-
-<p class='pindent'>According to this record, the Defendant Funk was present at
-that meeting, and mention is made of him in one sentence only;
-I quote, on Page 8 at the bottom: “Reich Minister Funk expects considerable
-disturbances of production in non-German territories in
-case of ruthless raids.”
-<span class='pageno' title='128' id='Page_128'></span></p>
-
-<p class='pindent'>This sentence, if taken from its context, is difficult to understand,
-but viewed in its proper connection, it makes it clear that
-the Defendant Funk wanted to warn against violent action in the
-recruitment of foreign workers for German production and for German
-armaments. He warned against any violent measures—against
-raids, as they are called in the protocol, because thereby, in his
-opinion, production in the occupied territories would be disturbed.</p>
-
-<p class='pindent'>Then, Mr. President, may I mention another document. It is
-Document Number 2149-PS, and it contains the following: A statement
-of the Reichsbank, dated 7 December 1942, “concerning the
-question of increasing French contributions to occupation costs.”</p>
-
-<p class='pindent'>May I say in advance that the cost of occupation in France was
-increased, but not upon the suggestion of the Defendant Funk and
-not with his approval, but in spite of his protest. And this statement
-to which the Defendant Funk has referred, and which I have
-just quoted—it is dated 11 December 1942—lists in detail the reasons
-why Funk and his Reichsbank very definitely protested against any
-increase in the cost of occupation.</p>
-
-<p class='pindent'>In this connection, may I be permitted to question the Defendant
-Dr. Funk on the cost of occupation in Greece.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Did you hear the testimony of the
-witness Dr. Neubacher, who was Minister to Romania and Greece,
-and who confirmed that there, also, you tried to reduce the cost of
-occupation?</p>
-
-<p class='pindent'>THE PRESIDENT: Are you going to be much longer?</p>
-
-<p class='pindent'>DR. SAUTER: Yes, I believe, Mr. President, it would be better
-if we adjourned now. I still have to put a few questions.</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='129' id='Page_129'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn this afternoon at
-half-past four.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, I would like to return to the question of
-the so-called spoliation of the occupied countries. As Reich Minister
-of Economics, which you were at the time, you can certainly inform
-us from your personal experience and observation of the contribution
-of the occupied territories to Germany’s war effort.</p>
-
-<p class='pindent'>FUNK: The achievements of the occupied territories for the joint
-carrying on of the war were without doubt of great significance.
-I have always regarded the occupied territories synchronized with
-the total German economy as one great productive organism for
-carrying on the war, which would lead to a new order in Europe.
-Usually the same basic economic principles applied in the occupied
-countries as in Germany. In 1944 I had statistics compiled to show
-just how much the occupied countries had produced for the war
-effort in the 3 years of 1941, 1942, and 1943, and we reached the
-figure of 90,000 million Reichsmark. That is certainly an extraordinarily
-high figure, but one must not forget that the currencies
-of the various countries were converted into Reichsmark. That is,
-the reduced purchasing power of the various currencies is not expressed
-in these figures. In truth, therefore, the production is lower
-than these Reichsmark figures might show.</p>
-
-<p class='pindent'>At the same time Germany utilized at least two-thirds of her
-entire production, that is, about 260,000 million marks worth, for
-the European war effort, in other words, almost three times as
-much as the occupied countries. Almost up to the time of the invasion
-I succeeded, in the case of France, in regulating the financial
-and monetary system and thus also the economic and social order
-to such an extent that, at the end of the German occupation, French
-finances were actually much healthier than German finances, and
-if it had not been for the circumstances resulting from the elementary
-impact of the war, France would have been able to construct
-a healthy monetary system on this basis.</p>
-
-<p class='pindent'>My statistics are confirmed to a certain degree by a document
-which was submitted here. This is Exhibit RF-22 (Document Number
-F-515), and deals with the French deliveries to Germany.
-It is an official report to the French Government about forced labor
-in France. In this report there are tables on Pages 38, 39, and 40
-showing the amount of French deliveries to Germany in proportion
-to the entire French production. These figures show that out of the
-entire French production with which we are dealing, in these three
-years an average of 30 to 35 percent was sent to Germany for the
-<span class='pageno' title='130' id='Page_130'></span>
-joint war effort. In some fields, and especially those which are
-necessary for the provisioning of the French population, such as
-textiles, pharmaceutical supplies, gas, electricity, and so forth, these
-figures are considerably lower and in some cases amount to only
-5 or 6 percent. But as an economist I admit without hesitation that
-if these matters are not regarded from the point of view of the
-joint carrying on of the war and the joint economic relationship,
-a deduction of 35 percent means a lot and must naturally have
-serious repercussions for the entire economy.</p>
-
-<p class='pindent'>I have no specific figures at hand for the Russian territories. The
-Ministry of Economics itself was entirely excluded from the war
-economy of these territories; we merely attempted to allow certain
-firms or companies to operate in these territories as private enterprises
-there, that is to say, they were to buy and sell at their own
-risk. I did not participate otherwise in the management of these
-regions outside of the fact that I was chairman of the supervisory
-board of the Continental Oil Company, which operated in these
-regions in conformity with the provisions of the Four Year Plan
-and the orders of the Wehrmacht. But I personally, as chairman
-of the supervisory board, had only to manage the financial affairs
-of this company.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, at the end of this morning’s session you
-spoke of the so-called Central Planning Board, a body about which
-we have heard a good deal. You stated, although quite briefly,
-that as Minister of Economics you had no interest in the fact that
-foreign workers were transported to Germany, no matter whether
-for armament or other purposes. Did I understand you correctly?</p>
-
-<p class='pindent'>FUNK: That applies to the time when I became a member of
-the Central Planning Board.</p>
-
-<p class='pindent'>DR. SAUTER: When was that?</p>
-
-<p class='pindent'>FUNK: I was called into the Central Planning Board in the fall
-of 1943, when I turned over all production matters to Speer and
-when, for the first time, on 22 November 1943 I attended a session
-of the Board. At that time I not only had no interest in having
-foreign workers brought to Germany but actually, from the economic
-aspect, I wanted to have the workers remain abroad, for the
-production of consumer goods had, to a large extent, been shifted
-from Germany to the occupied countries so that in other words this
-production, that is, French production or Belgian production, could
-work unhindered for the German populace; I did not want the
-workers taken away, and particularly I did not want them to be
-taken away by force, for in that way the entire order and the
-whole social life would be disturbed.
-<span class='pageno' title='131' id='Page_131'></span></p>
-
-<p class='pindent'>Before that time, as Minister of Economics, I was naturally
-interested in seeing that the German economy had workers. However,
-these questions were not dealt with in the Ministry of Economics,
-but either in the Four Year Plan, where a Plenipotentiary
-General for Labor had been active from the beginning...</p>
-
-<p class='pindent'>THE PRESIDENT: [<span class='it'>Interposing.</span>] Surely we heard all this this
-morning. It was all given this morning.</p>
-
-<p class='pindent'>DR. SAUTER: In connection with the Central Planning Board,
-perhaps I might refer to one more document, Mr. President.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] And this, Witness—and please confine
-your answer to this letter only—is a letter which you once wrote
-to Field Marshal Milch and which was submitted, I think, by the
-French Prosecution as Exhibit RF-675, (Document Number RF-675).
-In this letter, Herr Funk, you apologized for participating so very
-infrequently in the meetings of the Central Planning Board. And
-at that time you sent two experts from your ministry to the session,
-that is, two experts in the field of administrating civilian
-supplies and of the export trade. As deputy of your State Secretary,
-Dr. Hayler, who will be called later as a witness, a certain
-Ohlendorf participated at this meeting of the Central Planning
-Board. You have already seen this man, Ohlendorf, in this courtroom
-on the witness stand. I should be interested to know what
-were the functions of this man Ohlendorf who apparently belonged
-to your ministry.</p>
-
-<p class='pindent'>FUNK: As far as the negotiations of the Central Planning Board
-were concerned, I was essentially interested only in the fact that
-in that meeting the necessary raw materials were allocated for the
-administration of consumer goods and the export trade. For that
-reason Ohlendorf and two other experts for the administration of
-consumer goods and the export trade were sent to the meeting.
-Ohlendorf was brought into my Ministry by State Secretary Hayler.
-Before that I had only known Ohlendorf vaguely from one or two
-meetings and I had had an extraordinarily favorable impression
-of him, for he had an extremely lucid mind and could always
-express his thoughts in a most impressive way. Before that time
-I didn’t even know that Ohlendorf had another position in the Reich
-Security Main Office, for he was introduced to me as a manager
-of the Main Organization for German Trade. Hayler was the chief
-of this organization, of the Reichsgruppe Handel, and Ohlendorf
-was his manager and was introduced to me as such. Therefore I
-had no objections to Ohlendorf being brought into the ministry
-and taking over that field which corresponded to his private
-business activities up to now—the province of administration of
-consumer goods.
-<span class='pageno' title='132' id='Page_132'></span></p>
-
-<p class='pindent'>Then through Hayler I discovered that Ohlendorf was active
-also in the RSHA—or whatever the name is—as an office chief in
-the SD. However, I took no exception to this activity, for I was
-not fully acquainted with these assignments and in any case I
-was not convinced that anything was taking place which was
-unacceptable for the Ministry. Ohlendorf was active chiefly as
-manager of the Reichsgruppe Handel. As far as I know, he only
-had an auxiliary occupation in the RSHA, or however it was called.
-Naturally I was very much affected and painfully surprised when
-I heard here about assignments which Ohlendorf with his “Einsatzstab”
-had had in previous years in Russia. I had never heard
-one word about this activity of Ohlendorf. He himself never
-mentioned these things to me and until this time I did not know
-the type of assignments such “Einsatzstäbe” had.</p>
-
-<p class='pindent'>Ohlendorf never talked about his activity in the SD. Hayler,
-who knew him much better and more intimately than I did, is
-better qualified to give information. In any event I knew nothing
-of this activity of Ohlendorf, which after all he had carried on in
-years prior to this date, and I was very much affected to find that
-this man had done such things.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, I must ask you to state your position
-in regard to the testimony given by another witness, whom we
-have seen and heard in this courtroom. This witness is Dr. Blaha,
-who made a report in this courtroom about the conditions in the
-concentration camp at Dachau and who testified—as you probably
-will recall—that in and around Dachau it was common talk that
-the Reich Minister of Economics, Dr. Funk, had also been present
-at one of these official visits to the camp. As you recall, this
-witness replied to my question that he himself had not seen you,
-but that your name had been mentioned in this connection by
-other inmates. Were you ever at Dachau or at any other concentration
-camp?</p>
-
-<p class='pindent'>FUNK: No, I was neither at Dachau nor in any other concentration
-camp.</p>
-
-<p class='pindent'>DR. SAUTER: Can you say that with a clear conscience under
-your oath?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: The witness, Dr. Blaha, has also testified to the
-fact that this inspection of Dachau took place following a discussion
-among the finance ministers which had taken place at Berchtesgaden
-or Reichenhall, or somewhere in that vicinity. Therefore
-I ask you: Did you ever participate in a meeting of finance
-ministers, or at least at the time Blaha claims?
-<span class='pageno' title='133' id='Page_133'></span></p>
-
-<p class='pindent'>FUNK: No, I never participated in a meeting of finance
-ministers, because I myself was never such a minister. And at
-that time I did not participate in any international discussions
-at all. No.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, as far as your health is concerned,
-this is not a good day for you. You have complained about the
-bad pains which you are suffering today. Consequently, I do not
-wish to put any further questions to you, except one in conclusion,
-which I am sure you will be able to answer briefly.</p>
-
-<p class='pindent'>Why did you remain in your office as Reich Minister of Economics
-and as President of the Reichsbank until the very end?</p>
-
-<p class='pindent'>FUNK: I considered myself bound to remain in this position
-as long as I could, in order to serve and be of use to my people.
-It was precisely during the last few years of the war that my
-position was a very difficult one. The administration became
-greatly disorganized and I had to make exceptional efforts in
-order to procure supplies for the people, especially those who had
-been bombed out. I continually had to protect the supplies and
-supply depots from arbitrary seizures by the Gauleiter. In the
-case of one Gauleiter, I had to call the police. I did not follow
-the “scorched earth” policy which the Führer had decreed, so that
-even after occupation by the enemy powers the supplies which
-were left could be used by the German people.</p>
-
-<p class='pindent'>I had had instructions from the Führer to issue a decree according
-to which the acceptance of allied invasion currency would be
-high treason and punishable by death. I did not issue that decree.
-I made every effort to prevent State property and State money
-from being destroyed and wasted. I saved the gold deposits and
-foreign exchange deposits of the Reichsbank which were in the
-greatest danger. Briefly, until the last minute I believed it was
-my duty and responsibility to carry on in office and to hold out
-until the very end. Especially when we Germans learned that,
-according to the Morgenthau Plan, the status of the German
-people was to be degraded into that of shepherds and goatherds;
-that the entire industry would be destroyed, which would have
-meant the extermination of 30 million Germans. And especially
-after Churchill had declared personally that the German people
-would suffer from hunger and that epidemics would break out,
-only one thing was possible for me and for every decent German,
-and that was to remain at his post and do everything within
-his power in order to prevent this chaos.</p>
-
-<p class='pindent'>I had no talent for being a traitor or a conspirator, but I
-always loved my fatherland passionately and my people as well,
-and up to the end I tried to do everything possible to serve my
-country and my people and to be of use to them.
-<span class='pageno' title='134' id='Page_134'></span></p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, perhaps in connection with this
-alleged visit to a concentration camp I might refer to a questionnaire
-which we received from the witness Dr. Schwedler, and
-which is found in the supplementary volume for the Funk case as
-Document Number 14. This affidavit, of the contents of which
-I would like to have you take official notice, essentially confirms
-that, since 1 February 1938, the witness Dr. Schwedler was the
-daily companion of the Defendant Funk; that Dr. Funk never
-visited a concentration camp; and that the witness would have
-to know of it if it were the case.</p>
-
-<p class='pindent'>With these words, Mr. President, I conclude my examination
-of the Defendant Funk. I thank you very much.</p>
-
-<p class='pindent'>THE PRESIDENT: Do any of Defendants’ Counsel wish to ask
-questions?</p>
-
-<p class='pindent'>Dr. Sauter, you said you were referring to an affidavit of
-Dr. Schwedler? Which was Number 14? You said you were referring
-to Dr. Schwedler’s affidavit which you said was Number 14 in
-your supplementary book. It does not seem to be in ours.</p>
-
-<p class='pindent'>DR. SAUTER: I beg your pardon, Mr. President, it is Number 13.
-I made a mistake. It is Number 13; in the supplementary volume,
-Number 13, Dr. August Schwedler. It is a questionnaire.</p>
-
-<p class='pindent'>DR. OTTO NELTE (Counsel for Defendant Keitel): Witness, I
-have one question which I would like to put to you. The Prosecution
-has accused the Defendant Keitel as chief of the OKW,
-you as Plenipotentiary for the Economy and Minister Frick as
-Plenipotentiary for Administration, on a common ground. The men
-in these three offices are mentioned in the Reich Defense Law of
-1938. Undoubtedly, they probably exerted certain functions which
-might be of significance. The Prosecution in this connection spoke
-of a Three Man College and attributed much authority and significance
-to this Three Man College in connection with the point
-the Prosecution is making of the planning and preparation of
-aggressive wars.</p>
-
-<p class='pindent'>Now I ask you: Was there such a Three Man College and what
-were the functions of these three offices which have been mentioned,
-according to the Reich Defense Law?</p>
-
-<p class='pindent'>FUNK: Due to the confusion reigning in the German administration
-we ourselves could scarcely keep things straight; so it
-is not surprising if the Prosecution is in error on this point. I
-myself never heard of this three-man committee or Three Man
-College until this proceeding. I did not know that I belonged to
-such a three-man committee or Three Man College or triumvirate
-or anything else. On the basis of the Reich Defense Law similar
-powers were given to the Chief of the OKW, to the Plenipotentiary
-<span class='pageno' title='135' id='Page_135'></span>
-for Administration and to the Plenipotentiary for Economics.
-These three, in deviation from the existing laws, could issue
-directives in which they had mutually to participate.</p>
-
-<p class='pindent'>But it was the purport of this order that these directives could
-only be of a subordinate nature, which on the whole applied solely
-to the sphere of activity of the offices involved. Legislation for
-more important matters was made either by the Ministerial
-Council for Defense of the Reich—later only by way of circulating
-the bill from one minister to the other—or by Führer
-decrees. As far as I know there were only three, four, or five
-meetings of this body. Later, the decrees of the Führer were the
-real, the essential way of issuing laws. They were issued by the
-Führer personally, and the offices involved were frequently only
-informed of the same. Therefore the three-man committee is only
-a fiction.</p>
-
-<p class='pindent'>DR. NELTE: Thank you. I have no further questions.</p>
-
-<p class='pindent'>DR. DIX: Dr. Funk, you spoke of the law for the regulation of
-national labor and you said that that law was issued under your
-predecessor. You spoke about “my predecessor.”</p>
-
-<p class='pindent'>FUNK: No, you are wrong; I said “predecessors.”</p>
-
-<p class='pindent'>DR. DIX: Predecessors. Can you tell the Tribunal under which
-Reich Minister of Economics that was issued?</p>
-
-<p class='pindent'>FUNK: This law was issued under Reich Minister of Economics
-Dr. Schmitt, as far as I remember. And the subsequent agreement
-with the German Labor Front probably took place in part
-under Schacht. I particularly remember the so-called Leipzig
-Resolutions.</p>
-
-<p class='pindent'>DR. DIX: Then you also mentioned that there was an office
-subordinate to Schacht as Plenipotentiary for War Economy. You
-will remember that the witness Vocke denied the existence of such
-an office of Schacht’s as Plenipotentiary of War Economy, and
-Schacht did the same thing. Which office did you mean? Describe
-the office that you mean.</p>
-
-<p class='pindent'>FUNK: It was not an office in the sense in which it might have
-been interpreted here. It was a committee of experts of the various
-departments which was led by the representative of the Plenipotentiary
-for War Economy, who was Schacht, and later by my
-representative as Plenipotentiary for War Economy. Under Schacht’s
-term of office it was State Counsellor Wohlthat and in my term of
-office it was Schacht’s former State Secretary, Posse.</p>
-
-<p class='pindent'>DR. DIX: Certainly. Now is it identical with the working committee
-which originated on the basis of the old Reich Defense Law
-and which existed before 1933?
-<span class='pageno' title='136' id='Page_136'></span></p>
-
-<p class='pindent'>FUNK: I am not familiar with that.</p>
-
-<p class='pindent'>DR. DIX: In any event, this working committee was composed of
-the various departments?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. DIX: Together with the OKW?</p>
-
-<p class='pindent'>FUNK: With the OKW, with the Ministry of the Interior, and
-later, with the decisive participation of the Four Year Plan
-representative.</p>
-
-<p class='pindent'>DR. DIX: And the expert for Schacht during Schacht’s term was
-Dr. Wohlthat?</p>
-
-<p class='pindent'>FUNK: As far as I know, yes.</p>
-
-<p class='pindent'>DR. DIX: Then one more question. You talked about the so-called
-triumvirate with reference to a question by my colleague for the
-Defendant Keitel. The creation of the triumvirate, this activity
-which you have described, was after Schacht’s time, I believe.</p>
-
-<p class='pindent'>FUNK: Yes, I believe so. But there was no activity.</p>
-
-<p class='pindent'>DR. DIX: No.</p>
-
-<p class='pindent'>FUNK: I never participated in any session of the so-called Three
-Man College.</p>
-
-<p class='pindent'>DR. DIX: No. You said it was a fiction.</p>
-
-<p class='pindent'>FUNK: Furthermore, no meeting of these three men ever
-took place.</p>
-
-<p class='pindent'>DR. DIX: No; you said it was a fiction.</p>
-
-<p class='pindent'>DR. ROBERT SERVATIUS (Counsel for Defendant Sauckel): I
-have a question regarding the wages of the foreign workers. Did
-Sauckel make any special efforts in connection with the transfer of
-the wages? Do you know anything about that?</p>
-
-<p class='pindent'>FUNK: Yes. Sauckel insisted very frequently at the Reichsbank
-and the Reich Ministry for Economics that there should be a large-scale
-transfer of wages to foreign countries and the occupied territories.
-Naturally we were in a very difficult position here, because
-especially in the southeastern European countries the currencies
-had been greatly devaluated, and the purchasing power of German
-money had sunk considerably, whereas I maintained the stable rate
-of exchange so that the inflationary tendencies in these countries
-would not be strengthened and result in complete economic chaos
-through the fault of the currency control. Therefore we had to
-make additions to the payments to make up somewhat for the
-devaluation of the money in the occupied and other countries.
-Altogether, considerable sums were transferred. I would estimate
-these sums to be at least 2,000 million Reichsmark.
-<span class='pageno' title='137' id='Page_137'></span></p>
-
-<p class='pindent'>DR. SERVATIUS: Do you know whether Sauckel tried to do
-something about the clothing for foreign workers? Was anything
-done?</p>
-
-<p class='pindent'>FUNK: He made considerable efforts, and this was particularly
-hard on the Ministry of Economics, because with the small amount
-of raw materials which the Central Planning Board had made
-available this Ministry had to take care of the population, and
-through the ever growing number of people bombed out we
-received ever greater demands for supplies. Yet, in spite of that,
-we tried to comply with the demands of Sauckel as far as possible,
-but of course we could not do so entirely.</p>
-
-<p class='pindent'>DR. SERVATIUS: To what extent was clothing material delivered?
-Can you give any figures?</p>
-
-<p class='pindent'>FUNK: No, I cannot.</p>
-
-<p class='pindent'>DR. SERVATIUS: Do you know anything about Sauckel’s attitude
-towards Himmler, since, according to the Prosecution, he collaborated
-with him?</p>
-
-<p class='pindent'>FUNK: I remember one particular incident. When I had fled to
-Thuringia with my gold reserve and the rest of my foreign exchange
-I called on Sauckel one evening; State Secretary Keppler, who has
-been mentioned here frequently, was also present.</p>
-
-<p class='pindent'>In the course of the conversation Sauckel and Keppler got into
-a terrific dispute with Himmler. Sauckel told Himmler quite plainly
-that he had destroyed the administrative unity in Germany; that he
-was mainly responsible for the disorganization of the German
-administration, for through the SS he had created a state within
-a state. Sauckel said further, “How can the people keep discipline
-if the top men of the Reich themselves cannot keep discipline?”</p>
-
-<p class='pindent'>DR. SERVATIUS: I have no further questions.</p>
-
-<p class='pindent'>DR. EGON KUBUSCHOK (Counsel for the Defendant Von Papen):
-Is it true that after Von Papen’s speech at Marburg in June 1934
-Hitler asked you to go to Reich President Von Hindenburg at his
-country estate in Neudeck and to tell him the following:</p>
-
-<p class='pindent'>Vice Chancellor Von Papen, because he was forbidden to make
-his speech public, had asked to be allowed to resign. This resignation
-would have to be granted, because Von Papen through his speech at
-Marburg was guilty of a severe breach of Reich Cabinet discipline.</p>
-
-<p class='pindent'>FUNK: When Reich President Von Hindenburg was at his estate
-at Neudeck he frequently invited me to visit him. I have already
-mentioned that I associated with him on familiar terms. A visit like
-this took place when the matter of the Von Papen speech at Marburg
-arose, and the Reich Marshal suggested to the Führer, as far as I
-recall, to have me inform the Reich President about this incident.
-<span class='pageno' title='138' id='Page_138'></span>
-The Führer had me do this, and I told the Reich President that a
-conflict had arisen between the Führer and Von Papen because of a
-certain speech. I did not know the contents of this speech, since in
-the meantime its publication had been forbidden. Then the Reich
-President simply replied, “If he does not maintain discipline, then
-he must be prepared to take the consequences.”</p>
-
-<p class='pindent'>DR. KUBUSCHOK: Thank you.</p>
-
-<p class='pindent'>DR. HEINZ FRITZ (Counsel for Defendant Fritzsche): Witness,
-when and where did you meet your Codefendant Fritzsche?</p>
-
-<p class='pindent'>FUNK: When he was active in the press section of the Propaganda
-Ministry. One day he appeared before me and wanted money
-for “Transocean,” and I granted him this money.</p>
-
-<p class='pindent'>DR. FRITZ: You were State Secretary in the Propaganda Ministry
-at that time?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>DR. FRITZ: That was in what year?</p>
-
-<p class='pindent'>FUNK: That must have been in 1933 or 1934.</p>
-
-<p class='pindent'>DR. FRITZ: When he came to you, did you know what position
-Fritzsche had in the Propaganda Ministry at that time?</p>
-
-<p class='pindent'>FUNK: I knew that he was in the press section.</p>
-
-<p class='pindent'>DR. FRITZ: Was this a leading position which he had? Was he
-perhaps head of a department?</p>
-
-<p class='pindent'>FUNK: No. At that time the head of this department was
-Dr. Hahnke as far as I remember. Later it was Berndt.</p>
-
-<p class='pindent'>DR. FRITZ: Could you observe whether Fritzsche was in any close
-contact with Dr. Goebbels?</p>
-
-<p class='pindent'>FUNK: I was never called in to attend any of the discussions
-which Dr. Goebbels had daily with his experts. That was done
-through his personal assistant, Dr. Hahnke who later became State
-Secretary. But since Fritzsche was not the head of a department I
-assume that he was not called in to these discussions either. As far
-as I know mostly the heads of departments were called to these
-discussions, but certainly not Fritzsche.</p>
-
-<p class='pindent'>DR. FRITZ: Then according to your knowledge, in your capacity
-as State Secretary at that time, he was not one of the closer
-collaborators of Dr. Goebbels, if I understood you correctly.</p>
-
-<p class='pindent'>FUNK: At that time I do not believe so. Of course, I do not know
-what took place later.</p>
-
-<p class='pindent'>THE PRESIDENT: The Prosecution?</p>
-
-<p class='pindent'>MR. DODD: Witness, can you hear me?
-<span class='pageno' title='139' id='Page_139'></span></p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: We have listened to your testimony since late Friday
-afternoon, and, as we understand it from your statements, you admit
-none of the charges made against you in the Indictment in any
-degree, with possibly one exception; I am not clear as to whether
-or not you were making an admission this morning with respect to
-your part in the persecution of the Jews. Would you tell us now
-whether or not you intended to admit your own guilt or the part
-that you played in the persecution of the Jews?</p>
-
-<p class='pindent'>FUNK: I said this morning that I had a deep sense of guilt and
-a deep sense of shame about the things which were done to the
-Jews in Germany, and that at the time when the terror and violence
-began I was involved in a strong conflict with my conscience. I felt,
-I could almost say, that a great injustice was being done. However,
-I did not feel guilty in respect to the Indictment against me here,
-that is, that according to the Indictment I was guilty of Crimes
-against Humanity because I signed the directives for carrying out
-laws which had been issued by superior offices—laws that had to be
-made so that the Jews would not be entirely deprived of their
-rights, and so that they would be given some legal protection at
-least in regard to compensation and settlement. I am admitting a
-guilt against myself, a moral guilt, but not a guilt because I signed
-the directives for carrying out the laws; in any event not a guilt
-against humanity.</p>
-
-<p class='pindent'>MR. DODD: All right. That’s what I wanted to thoroughly
-understand. You also told the Tribunal, that you—I think you
-used the expression “often at the door but never let in,” and I
-understand that to mean that in your own judgment you were really
-a little man in this Nazi organization. Is that so?</p>
-
-<p class='pindent'>FUNK: Yes...</p>
-
-<p class='pindent'>MR. DODD: All right. That’s an answer. You might want to
-explain it later, but for the present purposes that will do.</p>
-
-<p class='pindent'>FUNK: May I give an explanation to this. I wanted to state that
-in the position I held, there were always higher authorities which
-made the final decision. That was the case in all the positions I held
-in the State.</p>
-
-<p class='pindent'>MR. DODD: Well, let’s both examine some of the evidence, and
-see whether or not you were in fact always subordinated and
-always a little man who didn’t get in.</p>
-
-<p class='pindent'>First of all, there’s one matter that I do want to clear up before
-going into the general examination. You recall when the Defendant
-Schacht was on the stand, he told the Tribunal that after he left the
-Reichsbank he had an office in his apartment, is that so?
-<span class='pageno' title='140' id='Page_140'></span></p>
-
-<p class='pindent'>FUNK: Yes, he said that.</p>
-
-<p class='pindent'>MR. DODD: Now of course you have told us, on another occasion,
-that he continued to have an office in the Reichsbank. Isn’t that so?</p>
-
-<p class='pindent'>FUNK: I don’t know whether I said and where I said that, but
-it may be so. I was informed, at the time when he resigned, that he
-still went to the Reichsbank rather frequently, and that a room was
-reserved there for him. In addition he still had some personnel, a
-secretary whom he had taken with him from the Reichsbank—and
-that is all I know.</p>
-
-<p class='pindent'>MR. DODD: Another question. You told us, on another occasion,
-that he had an office in the Reichsbank where he worked on certain
-bank data and where he still kept in touch with you every now and
-then. Isn’t that so? Do you remember telling us that or not?</p>
-
-<p class='pindent'>FUNK: No, it wasn’t like that. Schacht seldom...</p>
-
-<p class='pindent'>MR. DODD: If you don’t remember, then I perhaps can help you
-a little bit. Do you remember being interrogated by Major Hiram
-Gans of the United States Army on June 2, 3, and 4 of 1945? Do
-you remember that? You know who was there—Göring was there,
-Von Krosigk was there, Lammers was there....</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: All right. You were asked this question, weren’t
-you, or rather, preceding this answer there were some questions?</p>
-
-<p class='pindent'>Question: “Did Schacht retain any governmental position after
-his dismissal as President of the Reichsbank?” Then Göring put in
-an answer: “Reich Minister.” Then another question: “Did he have
-any functions?” Göring again answered: “He remained Minister
-without Portfolio.” Then another question: “Were there any Cabinet
-meetings he attended?” Göring answered again: “There were no
-Cabinet meetings at that time.” Question: “Then it was purely
-honorary?” Göring said: “Practically.”</p>
-
-<p class='pindent'>Then you interposed with this statement (Funk is speaking):
-“Schacht, after his dismissal, kept an office in the Reichsbank,
-where he worked on statistical data of the Reichsbank and where
-he still kept in touch with me every now and then.” Question:
-“How long did this last?” Answer: “This lasted until Schacht’s
-dismissal as Minister, probably in 1943.”</p>
-
-<p class='pindent'>You made those answers, that answer, did you not?</p>
-
-<p class='pindent'>FUNK: That is not correct. I did not express myself that way.
-I said only that I had been informed that he came to the Reichsbank
-frequently, that there was a room reserved for him and that he very
-seldom spoke to me. He seldom called on me. That was not translated
-correctly.
-<span class='pageno' title='141' id='Page_141'></span></p>
-
-<p class='pindent'>MR. DODD: You know what I am reading from, do you not?
-You know this Document, Number 2828-PS?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: Parts of this are already in evidence as Exhibit
-USA-654. And later, in another form, I shall submit this part which
-I have just read.</p>
-
-<p class='pindent'>Counsel Sauter, for you, this morning referred to a letter which
-you had written to Hitler, I believe it was in 1939, a very fulsome
-letter which you said was somewhat due to the general feeling at
-the time and also to the fact that it was about your 50th birthday.
-Is that so? There was another reason for your writing that letter in
-connection with your birthday, wasn’t there? Do you know to what
-I refer?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: You received 520,000 Reichsmark from Hitler as a
-birthday present?</p>
-
-<p class='pindent'>FUNK: No, that is not correct.</p>
-
-<p class='pindent'>MR. DODD: Didn’t you receive a present from Göring and
-Goebbels...</p>
-
-<p class='pindent'>FUNK: Yes...</p>
-
-<p class='pindent'>MR. DODD: Wait a minute till I get through—you don’t seem to
-remember—you received a present from Göring and Goebbels in the
-first instance which had been made up of 250,000 Reichsmark from
-leading businessmen in Germany and 270,000 Reichsmark which
-came out of special accounts maintained by Göring and Goebbels.
-Then Hitler heard about that and ordered you to return that money
-because of the fact that some of it came from industry, and he
-himself gave you a so-called donation to the sum of 520,000 Reichsmark,
-isn’t that so?</p>
-
-<p class='pindent'>FUNK: The first is not correct, but the latter is correct. But may
-I explain the details; they are of a completely different nature.</p>
-
-<p class='pindent'>MR. DODD: Go ahead.</p>
-
-<p class='pindent'>FUNK: On my fiftieth birthday the President and Directorate of
-the Reich Chamber of Economics, the chief organization of the entire
-German economy, called on me and declared that because of my
-more than 20 years of service to German economy they wanted,
-with the approval of the Führer, to make me a gift of an estate in
-Bavaria. That was a doubtful present, for later I had much worry
-and trouble because of it. A large house was built there because,
-as I was told, the Führer had said that he also wanted me to work
-there. The taxes were so high, however, that I could not pay them,
-nor the remaining construction costs, either. Thereupon I did not
-<span class='pageno' title='142' id='Page_142'></span>
-appeal to Göring, but Göring heard about it and had 300,000 Reichsmark
-given to me in order to help me out of my financial straits.
-I did not receive any money from Goebbels, but with the approval
-of Goebbels the film corporation joined the Chamber of Economics
-in giving me this money. When the Führer heard of the difficulties
-I had in paying taxes and making other payments he put a sum of
-500,000 Reichsmark at my disposal. With the other money I received
-I made two donations, one of 500,000 Reichsmark to the Reichsbank
-for the families of the members of the Reichsbank killed during the
-war and another of 200,000 Reichsmark to the Reich Ministry of
-Economics for the families of members of that office who died in
-the war. I was able to live in, and pay for the upkeep of, this large
-house and grounds only because I had a relatively large income.
-However, from the beginning, when I saw the tremendous costs and
-expenses connected with it particularly in taxes, <span class='it'>et cetera</span>, I decided,
-in agreement with my wife, that after my death this estate should
-again be donated either to the Reichsbank or to my East Prussian
-homeland. I also discussed this several times with the Reichsbank
-Directorate.</p>
-
-<p class='pindent'>MR. DODD: I am not much concerned with what you did with it,
-I only want to know if you got it. And you got it, didn’t you? You
-got 520,000 Reichsmark.</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: You also made a present out of public funds on your
-own account to the Defendant Frick on one occasion, didn’t you?
-Didn’t you give Frick a birthday present of 250,000 Reichsmark on
-12 March 1942?</p>
-
-<p class='pindent'>FUNK: That I don’t know.</p>
-
-<p class='pindent'>MR. DODD: You don’t remember? You don’t remember that? Do
-you know anything about the other gifts that were given to any of
-these other defendants out of public funds, either through your
-position as President of the Reichsbank or as an important functionary
-of the Nazi Party? Do you know anything about these other
-men and what they have got from the public treasury?</p>
-
-<p class='pindent'>FUNK: These moneys were not given by me. They were given
-from the fund of the Führer by Lammers. I did not dispense such
-moneys.</p>
-
-<p class='pindent'>MR. DODD: They were public funds, were they not? They did
-not come from anywhere else except the public? You don’t know
-then that Rosenberg got 250,000 Reichsmark? Did you know that?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: In January 1944; you were then President of the
-Reichsbank?
-<span class='pageno' title='143' id='Page_143'></span></p>
-
-<p class='pindent'>FUNK: Yes, but these moneys never came from the Reichsbank.
-These were moneys from funds which were administered by
-Lammers and I assume that the moneys came from the Adolf Hitler
-donation or from other funds. But the Reichsbank had nothing to
-do with these funds.</p>
-
-<p class='pindent'>MR. DODD: Do you know that Von Neurath got 250,000 Reichsmark
-on 2 February 1943? Do you know anything about that? You
-were the President of the Reichsbank then.</p>
-
-<p class='pindent'>FUNK: I know nothing about that.</p>
-
-<p class='pindent'>MR. DODD: You heard about Lammers and his 600,000 Reichsmark.
-You know that Keitel got 250,000 Reichsmark on 22 September
-1942. You never heard about that?</p>
-
-<p class='pindent'>FUNK: The Reichsbank had nothing at all to do with these
-things.</p>
-
-<p class='pindent'>MR. DODD: You know that Von Ribbentrop got 500,000 Reichsmark
-on 30 April 1943. You never heard of that? General Milch got
-500,000 Reichsmark in 1941; none of these things ever came to your
-attention?</p>
-
-<p class='pindent'>FUNK: I never had anything to do with these matters. They
-were Lammers’ concern and the money did not come from the
-Reichsbank.</p>
-
-<p class='pindent'>MR. DODD: Now, I understood you to say that you were not the
-economic advisor in fact to Hitler or to the Nazi Party of the early
-days. That is in your own judgment you were not. It is a fact,
-however, that you were generally regarded as such by the public,
-by industrialists, by Party members and the high Party officials.
-Is that not so?</p>
-
-<p class='pindent'>FUNK: I was called that, as I said here, on the basis of my
-activity in 1932. I acted as a mediator in conversations between
-the Führer and some leading economists and for a short while
-carried out the activity in the Party which has been described here.</p>
-
-<p class='pindent'>MR. DODD: You have called yourself the economic advisor on
-occasion, have you not? At least on one occasion, during an interrogation,
-did you not refer to yourself as the economic advisor for
-the Party? You remember that?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: I think you will agree that you were generally
-recognized as such, but the really important thing is that the public
-thought you were.</p>
-
-<p class='pindent'>FUNK: I have testified here that I was called that by the press
-and from the press this designation apparently went into record.
-I did not use this term myself.
-<span class='pageno' title='144' id='Page_144'></span></p>
-
-<p class='pindent'>MR. DODD: Were you the principal contact man between the
-Nazi Party and industry in the very early days?</p>
-
-<p class='pindent'>FUNK: In 1932, and this is the only year which we need consider
-in connection with Party activities on my part, because I was not
-active in the Party before or after this year. I did arrange discussions
-between Hitler and leading men of industry, whom I can
-name. But other men also acted in that capacity; for example, State
-Secretary Keppler.</p>
-
-<p class='pindent'>MR. DODD: I am not asking you about other men, I am asking
-you whether or not you were not a principal contact man. Actually
-you were encouraged by industry, were you not, to become active
-in the Party?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: You acted as a go-between for the Nazis and the big
-business in Germany.</p>
-
-<p class='pindent'>FUNK: It did not take up much time, but I did it.</p>
-
-<p class='pindent'>MR. DODD: Whether it took much of your time or not, that
-doesn’t interest us. It took a little bit of your time. That’s what you
-were doing?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: You remember Document Number EC-440 perhaps.
-It is really a statement that you made and prepared on the relationship
-of German industry to the Party in the National Socialist
-leadership of the State. You remember that paper you drew up on
-28 June 1945? You may recall that you yourself said, “Keppler,
-who later became State Secretary, and who served as economic
-advisor to the Führer before me....” You used that terminology.
-You recall that?</p>
-
-<p class='pindent'>FUNK: Keppler?</p>
-
-<p class='pindent'>MR. DODD: Yes, he was the advisor before you. You remember
-that?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: Now, in the Propaganda Ministry, if I understand
-you correctly, you want the Tribunal to believe that you were
-something of an administrative functionary and not a very important
-man, and you did not really know what was going on. Is
-that your position?</p>
-
-<p class='pindent'>FUNK: No. I had quite a large task, and that was the direction
-of an extensive cultural and economic concern. I stated that here.
-It consisted of film companies, theaters, orchestras, the German
-Trade Publicity Council, and the administration of the entire
-German radio, an undertaking worth a hundred millions, that is to
-<span class='pageno' title='145' id='Page_145'></span>
-say, a very extensive activity, an organizational, economic and
-financial activity. But propaganda was taken care of solely and exclusively
-by Goebbels.</p>
-
-<p class='pindent'>MR. DODD: Yes. You knew the policies and the purposes of the
-Propaganda Ministry; there isn’t any doubt about that?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: You knew that, did you not?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: All right. Now, we can pass on to one other matter
-that I referred to earlier, to clear up another matter. Do you recall
-that the Defendant Schacht, when he was on the stand, said, I
-believe, at that now famous meeting where a number of industrialists
-were gathered to greet Hitler, that he did not take up the
-collection? Schacht said he did not do it. I think he said that Göring
-did it or somebody else. Do you remember that testimony about
-Schacht on the stand? You remember being interrogated about that
-subject yourself?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: Do you remember what you told us at the time?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: What did you tell us?</p>
-
-<p class='pindent'>FUNK: I said that Schacht after addresses by Göring and Hitler
-made a brief speech, and that he asked those present to, so to say,
-go to the cashier and subscribe, that is, raise money for the election
-fund. He took over the collection and said that the coal industry...</p>
-
-<p class='pindent'>MR. DODD: Who?</p>
-
-<p class='pindent'>FUNK: He said...</p>
-
-<p class='pindent'>MR. DODD: Who was the one who took up the collection? I
-don’t understand whom you mean by “he.”</p>
-
-<p class='pindent'>FUNK: Schacht.</p>
-
-<p class='pindent'>MR. DODD: That’s all I wanted to know about that. When did
-you first learn that the uprisings of November 1938 were not
-spontaneous?</p>
-
-<p class='pindent'>FUNK: On the morning of 9 November, on my way from my
-home to the Ministry, I saw for the first time what had taken place
-during the night. Before that I had not had the slightest hint that
-such excesses and terror measures had been planned.</p>
-
-<p class='pindent'>MR. DODD: I think you misunderstood me. I did not ask you
-when you first came to know about the uprisings; I asked you when
-you first learned that they were not spontaneous; when you first
-learned that they were instigated and planned by somebody else.
-<span class='pageno' title='146' id='Page_146'></span></p>
-
-<p class='pindent'>FUNK: I only found out about that later.</p>
-
-<p class='pindent'>MR. DODD: Well, how much later?</p>
-
-<p class='pindent'>FUNK: I believe very much later. Later on there was much
-discussion about this matter and it was never clear just who had been
-the instigator of these measures of terror and violence and where
-the order had originated. We knew that it had come from Munich.
-We had learned that in the meantime on 9 November; but, whether
-it was Goebbels or Himmler, and to what extent the Führer himself
-participated in this measure, I was never able to find out clearly.
-From my telephone conversation with Goebbels, which I mentioned
-today, one thing was clear: The Führer must have known about this
-matter, for he told me that the Führer had decreed, and Göring
-also said this, that the Jews were completely to be eliminated from
-economic life. From this I had to conclude that the Führer himself
-knew about this matter.</p>
-
-<p class='pindent'>MR. DODD: Now from that telephone conversation we can also
-see one other thing. You knew that Goebbels had started this
-business, did you not, and that was the day after it happened? You
-knew it was not spontaneous and that is why you called up
-Goebbels and got after him; is that not so?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: How many days later did you make that inflammatory
-speech about what should be done to the Jews? About six days
-afterwards, did you not? I am referring to the one that was published
-in the <span class='it'>Frankfurter Zeitung</span>; your counsel referred to it this
-morning.</p>
-
-<p class='pindent'>FUNK: Yes, to begin with...</p>
-
-<p class='pindent'>MR. DODD: And in that speech you tried to make it appear to
-the public that that was a spontaneous uprising, did you not?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: That was not true, was it?</p>
-
-<p class='pindent'>FUNK: I did not know that at the time. At that time I still
-believed that it was really something favored by large elements of
-the population. Very much later I found out that routine machinery
-had been put in motion.</p>
-
-<p class='pindent'>MR. DODD: Are you telling this Tribunal now that on the
-morning of your telephone call to Goebbels, when you in effect
-blamed him for these uprisings, you were not well aware then that
-he had started it? Is that your position?</p>
-
-<p class='pindent'>FUNK: At that time I did not know who had started this regime
-of terror and how it had been carried through; that was entirely
-new to me.
-<span class='pageno' title='147' id='Page_147'></span></p>
-
-<p class='pindent'>MR. DODD: If you did not know who started it, you knew that
-somebody started it and that it was not spontaneous?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: And still in your speech of 15 November you tried
-to make it appear to the public that it was just an uprising on the
-part of the German people, did you not?</p>
-
-<p class='pindent'>FUNK: I based that on the attempted assassination of—I do not
-know who he was; some attaché in Paris—and actually the attempt
-caused much agitation. There is no doubt of it.</p>
-
-<p class='pindent'>MR. DODD: Now I think you understand my question, Witness.
-You said on that occasion, you used these words: “The fact that the
-last violent explosion of the indignation of the German people because
-of a criminal Jewish attack against the German people took
-place,” and so on, and you went on. You were trying to make it
-appear there that this was a spontaneous reaction of the German
-people, and I insist that you knew better and had known it for
-some days, had you not?</p>
-
-<p class='pindent'>FUNK: But I did not know that that is what took place. I admit
-that I knew that an impulse had come from some office or other.</p>
-
-<p class='pindent'>MR. DODD: Well, all right. When did you coin the expression
-“crystal week”? Do you know what that expression is; where it
-came from?</p>
-
-<p class='pindent'>FUNK: “Crystal week?”</p>
-
-<p class='pindent'>MR. DODD: Yes.</p>
-
-<p class='pindent'>FUNK: Yes, I did use these words once in connection with this
-action.</p>
-
-<p class='pindent'>MR. DODD: You coined the phrase.</p>
-
-<p class='pindent'>FUNK: Because much was shattered.</p>
-
-<p class='pindent'>MR. DODD: You are the fellow who started that expression.
-You are the man, are you not? that was your expression?</p>
-
-<p class='pindent'>FUNK: Yes, I used it.</p>
-
-<p class='pindent'>MR. DODD: And you were using it—because you made this
-<span class='it'>Frankfurter Zeitung</span> speech?</p>
-
-<p class='pindent'>FUNK: I once characterized that action with that term, it is true,
-because much had been shattered.</p>
-
-<p class='pindent'>MR. DODD: Now, let us move on a little bit to the well-known
-meeting of 12 November, when Göring and Goebbels and all of the
-other people made their remarks about the Jews and you said you
-were present. You did not make any objection that day to anything
-that was said, did you?
-<span class='pageno' title='148' id='Page_148'></span></p>
-
-<p class='pindent'>FUNK: No. I merely attempted to have certain things put
-through in order to save something for the Jews, for example, their
-securities and stocks. Then I managed to have the stores reopened,
-so that things would move less rapidly, and I did more, too.</p>
-
-<p class='pindent'>MR. DODD: I understand that, but I thought this morning you
-were really pretty sensitive about the terrible things that had
-happened to the Jews, and you remember some of the suggestions
-that were made that day by Göring and Goebbels; they were pretty
-nasty things, were they not?</p>
-
-<p class='pindent'>FUNK: Yes, I openly admitted that I was much shaken...</p>
-
-<p class='pindent'>MR. DODD: Were you? Well...</p>
-
-<p class='pindent'>FUNK: And that my conscience bothered me.</p>
-
-<p class='pindent'>MR. DODD: All right. You went on after that and made your
-<span class='it'>Frankfurter Zeitung</span> speech and you carried out these decrees, even
-though your conscience was bothering you; is that so?</p>
-
-<p class='pindent'>FUNK: But the decrees had to be issued. I have already emphasized
-that several times here. I had no pangs of conscience because
-the decrees were issued. I had pangs of conscience because of the
-reasons for them. But the decrees themselves—</p>
-
-<p class='pindent'>MR. DODD: That is what I’m asking you about.</p>
-
-<p class='pindent'>FUNK: But the decrees had to be issued. The reasons for them—yes;
-I admit that.</p>
-
-<p class='pindent'>MR. DODD: You know Schacht said on the stand that if he had
-been the Minister of Economy he did not think those things would
-have happened? Do you remember him saying that here the other
-day, do you?</p>
-
-<p class='pindent'>FUNK: Yes. He must have had very powerful and influential
-connections in the Party, otherwise he could not have been
-successful.</p>
-
-<p class='pindent'>MR. DODD: You did not have these connections in the Party,
-did you? You were not in the Party, you were a Minister?</p>
-
-<p class='pindent'>FUNK: No, I did not have these connections and I could not
-prevent these terror actions.</p>
-
-<p class='pindent'>MR. DODD: Well, we will see about that. Your counsel has submitted
-on your behalf an affidavit from one Oeser, O-e-s-e-r; do
-you remember that man? O-e-s-e-r, do you remember him?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: Do you remember him?</p>
-
-<p class='pindent'>FUNK: Yes.
-<span class='pageno' title='149' id='Page_149'></span></p>
-
-<p class='pindent'>MR. DODD: And his affidavit—interrogatory, I believe it was...</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, we will adjourn for a bare
-10 minutes.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>MR. DODD: Witness, I was inquiring about this man Oeser when
-we recessed—O-e-s-e-r; do you recall him? He was one of your
-employees in the <span class='it'>Frankfurter Zeitung</span>, was he not?</p>
-
-<p class='pindent'>FUNK: Yes, he was the chief of the Berlin administration office
-of the <span class='it'>Frankfurter Zeitung</span>, a respected journalist.</p>
-
-<p class='pindent'>MR. DODD: Yes. You know, do you not, that you have an interrogatory
-or an affidavit from him, which you are submitting to this
-court; it is in your document book?</p>
-
-<p class='pindent'>FUNK: He volunteered to do that.</p>
-
-<p class='pindent'>MR. DODD: Well, I’m not asking you—that is all right—whether
-he did or not; I just wanted to establish that you know that he did.</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: Now, in that affidavit, as I read it, Oeser maintains
-that you were really being quite decent about the Jews in that
-newspaper. Is that not so? Is that not the sense of it; that you
-saved them from dismissal and so on, you put them under the exceptions
-provided in the decrees?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: All right.</p>
-
-<p class='pindent'>FUNK: I allowed quite a number of editors to come under these
-exceptions.</p>
-
-<p class='pindent'>MR. DODD: Yes, I know. Now I want to ask you this: There
-was a real reason, other than decency towards Jews, for your conduct
-with reference to that particular paper, was there not?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: Well, now, wait a minute.</p>
-
-<p class='pindent'>FUNK: I do not know these people personally.</p>
-
-<p class='pindent'>MR. DODD: I do not say that you knew the people personally.
-I say that there was a reason, other than your feeling for Jews as
-people, but which you have not told the Tribunal about yet, another
-reason maybe.</p>
-
-<p class='pindent'>FUNK: In the case of the editors of the <span class='it'>Frankfurter Zeitung</span>?</p>
-
-<p class='pindent'>MR. DODD: Yes.</p>
-
-<p class='pindent'>FUNK: No.
-<span class='pageno' title='150' id='Page_150'></span></p>
-
-<p class='pindent'>MR. DODD: Now, is it not a fact that you and probably Hitler,
-and certainly Goebbels, and some of the other higher-ups of the
-Nazi Party, decided that that paper should be left in <span class='it'>status quo</span>
-because of its vast influence abroad? Is that not true?</p>
-
-<p class='pindent'>FUNK: We did not talk about that at that time. That issue
-came up later. It came when the Führer demanded that almost all
-leading daily newspapers should either be taken over by the Party
-or merged with Party papers. And on that occasion I succeeded in
-having exception made for the <span class='it'>Frankfurter Zeitung</span>, and the <span class='it'>Frankfurter
-Zeitung</span> continued to exist for a long time. But that was much
-later. Here, in fact, the only reason was to help a few Jewish
-editors.</p>
-
-<p class='pindent'>MR. DODD: Well...</p>
-
-<p class='pindent'>FUNK: It was a purely humane reason.</p>
-
-<p class='pindent'>MR. DODD: You can answer this. I just wanted to get your
-answer on the record because I’ll have more to say about it later.
-Do I understand you to deny that it was your established policy to
-preserve the <span class='it'>status quo</span> of the <span class='it'>Frankfurter Zeitung</span> because of its
-influence abroad?</p>
-
-<p class='pindent'>FUNK: No, it was always my opinion that the <span class='it'>Frankfurter
-Zeitung</span> should remain as it was.</p>
-
-<p class='pindent'>MR. DODD: Well, was it for the reason that I suggest, because
-these people were well known in the financial world abroad, and
-you did not want to impair the usefulness of that paper abroad?
-That’s what I’m getting at, and I say that that is why you kept
-them on, and not because you felt badly about their plight as Jews.</p>
-
-<p class='pindent'>FUNK: No, not in this case. In this case that was not the reason.</p>
-
-<p class='pindent'>MR. DODD: Very well; now, with respect to your activities as
-the Plenipotentiary for Economy and their relationship to the wars
-waged against Poland and the other powers, I have some questions
-that I would like to ask you. Now I will tell you what it is about
-first, so you will be aware. You are not maintaining, are you, that
-your position as Plenipotentiary for Economy did not have much to
-do with the affairs of the Wehrmacht?</p>
-
-<p class='pindent'>FUNK: Yes, I assert that. With the Wehrmacht...</p>
-
-<p class='pindent'>MR. DODD: Now, I have in my hand here a letter which Von
-Blomberg wrote to Göring. Do you remember that letter? It is a
-new document and you have not seen it in this Trial, but do you
-remember any such letter?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: Well, I ask you to be handed Document Number
-EC-255.
-<span class='pageno' title='151' id='Page_151'></span></p>
-
-<p class='pindent'>[<span class='it'>The document was handed to the defendant.</span>] Mr. President, this
-becomes Exhibit USA-839.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Now, in this letter from Von Blomberg,
-I am only concerned now with the last sentence, really. You
-will notice that Von Blomberg, in this letter, refers to the fact that
-Schacht had been appointed, but the last sentence says, or in the
-next to the last paragraph he first urges that you be appointed
-immediately, and that is underlined in his letter; and in the last
-paragraph he says:</p>
-
-<div class='blockquote'>
-
-<p>“The urgency of unified further work on all preparations for
-the conduct of the war does not admit of this office being
-paralyzed until 15 January 1938.”</p>
-
-</div>
-
-<p class='pindent'>This letter, by the way, was written on 29 November 1937. Certainly
-Von Blomberg thought that the job that he was suggesting
-you for would have some very great effect upon the conduct of the
-war, did he not?</p>
-
-<p class='pindent'>FUNK: That may be, but in the first place, I do not know about
-that letter and, secondly, I was not immediately appointed Plenipotentiary
-for Economy but only in the course of 1938. Quite some
-time after I had been appointed Minister for Economics I asked
-Lammers why my appointment as Plenipotentiary for Economy had
-taken so long; he replied that my relationship to the Delegate for
-the Four Year Plan had to be cleared up first. That was the reason
-why several months passed before I became Plenipotentiary for
-Economy, because it had to be ascertained that Göring had the decisive
-authority for war economy...</p>
-
-<p class='pindent'>MR. DODD: You really do not need to go into all that.</p>
-
-<p class='pindent'>FUNK: I do not know about that letter, and I have never spoken
-to Von Blomberg about the affair.</p>
-
-<p class='pindent'>MR. DODD: All right. You do recall perhaps that the OKW,
-after you were appointed, made some objection about the amount
-of authority that you had. Do you remember that?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: Now, I am holding here another new document,
-Number EC-270, which I will ask that you be shown, which will
-become Exhibit USA-840. While you are waiting for it, I will tell
-you that it is a letter written on 27 April 1938. You will notice that
-in the first paragraph of this letter from the OKW it says that the
-interpretation which has been put on the decree of the Führer—the
-decree of 4 February 1938—does not correspond to the necessities of
-total warfare.</p>
-
-<p class='pindent'>And then you go down to the third paragraph on that first page
-and you will find other objections with respect to your authority.
-<span class='pageno' title='152' id='Page_152'></span>
-Apparently at this time the OKW thought you had too much to do
-with what would be the war effort, and finally on the last page,
-Mr. Witness, if you will look at this paragraph, you will see this
-sentence—on the last page of the English, anyway; near the end of
-the letter this sentence appears:</p>
-
-<div class='blockquote'>
-
-<p>“The war economy, which is subordinated to the Plenipotentiary,
-represents the economic rear area of the armaments
-industry.”</p>
-
-</div>
-
-<p class='pindent'>And I want you to observe carefully those words “armaments
-industry.”</p>
-
-<p class='pindent'>And then it goes on to say:</p>
-
-<div class='blockquote'>
-
-<p>“If this stage fails, the striking power of the Armed Forces
-becomes questionable.”</p>
-
-</div>
-
-<p class='pindent'>I ask that you pay attention to the words “armaments industry,”
-because I recall that this morning you said you had absolutely
-nothing to do with the armaments industry; but apparently the
-OKW thought that you did, on 27 April 1938. Is that not so?</p>
-
-<p class='pindent'>FUNK: I do not know this letter either. I do not know the
-attitude of the OKW but I do know this: The OKW, especially the
-Codefendant Field Marshal Keitel, was of the opinion at that time
-that I, as Plenipotentiary General for War Economy, should assume
-the authority and competence of Schacht; but there was a conversation
-between the Reich Marshal and Field Marshal Keitel—Keitel
-confirmed this to me—in which the Reich Marshal clearly declared;
-“The war economy will not be turned over to Funk.” I can honestly
-and sincerely say that I did not have the slightest idea of all these
-things. I did not know what kind of position the OKW intended me
-to have. I never had that function because the administration for
-the armaments industry was never included in the Ministry of
-Economics. I do not remember the matter.</p>
-
-<p class='pindent'>MR. DODD: All right. That is your answer. I suppose at the
-time you were also aware, as you told the Tribunal, that you were
-really subordinate to Göring and in a very inferior position about
-all of these things. Is that so?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: I am going to ask you to look at another Document,
-Number EC-271, which will become Exhibit USA-841, and this document
-consists of a letter which you wrote to Lammers, a letter
-which Lammers wrote to the Chief of the High Command, Field
-Marshal Keitel, and one or two other letters not pertinent for the
-purposes of this present inquiry. It was written on 31 March 1938,
-and I want you to turn to the second page because that is where
-your letter appears. The first page is just a letter of transmittal
-<span class='pageno' title='153' id='Page_153'></span>
-from Lammers to Keitel, but let us look at the second page. Have
-you got it?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: You are writing to Lammers and you say—I am
-not going to read the whole letter, but the second paragraph. You
-wrote to Lammers and you say among other things:</p>
-
-<div class='blockquote'>
-
-<p>“On the occasion of a trip to Austria I have, among other
-matters, also talked to Field Marshal Göring about the position
-of the Plenipotentiary for War Economy. I pointed out in
-this conversation that, contrary to the attitude of the OKW,
-of which I was informed, the decree of 4 February 1938 concerning
-the leadership of the Wehrmacht did not change the
-position of the Plenipotentiary for War Economy.”</p>
-
-</div>
-
-<p class='pindent'>And you go on—aside from the fact that the decree applied exclusively
-to the command of the Armed Forces, and so on, and that
-especially the last paragraph of that decree stated that you were
-dependent upon instructions of the Führer—to say:</p>
-
-<div class='blockquote'>
-
-<p>“Moreover, among the instructions of the Führer is included
-the decision of the Reich Government of 21 May 1935, according
-to which the Plenipotentiary for War Economy, in his
-sphere of duty as supreme Reich authority, is immediately
-subordinated to the Führer.</p>
-
-<p>“General Field Marshal Göring assured me that my interpretation,
-as mentioned above, was correct in every respect
-and also corresponds with the Führer’s opinion. Thereupon I
-asked him to give me a brief written confirmation. Field
-Marshal Göring promised to grant this request.”</p>
-
-</div>
-
-<p class='pindent'>Now, you wrote that letter to Lammers, did you not, on 31 March
-1938, “yes” or “no?”</p>
-
-<p class='pindent'>FUNK: Certainly.</p>
-
-<p class='pindent'>MR. DODD: All right. You were trying to have supreme authority
-and make yourself answerable only to the Führer and that is
-what this contest was about, and that is what Document Number
-EC-271 referred to and this is your answer to the OKW’s objection
-that you had too much power. This does not look like you were a
-little man, does it, Mr. Witness?</p>
-
-<p class='pindent'>FUNK: Yes. I wanted to clarify the position, but later it was
-not clarified in that sense but in the sense that I was dependent upon
-the directives of the Reich Marshal. I wrote this letter in order to
-try to obtain a clarification, but I do not remember this letter in
-detail.</p>
-
-<p class='pindent'>MR. DODD: You told Lammers...
-<span class='pageno' title='154' id='Page_154'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, is not this letter that you have
-just read the very letter which is referred to in the letter which
-you put to him immediately before?</p>
-
-<p class='pindent'>MR. DODD: Yes, Sir, it is. It referred to EC-271. I am sorry, I
-said 271, I meant 270.</p>
-
-<p class='pindent'>THE PRESIDENT: GB Number 649/38 is the letter you just
-read. Will you look at the first paragraph of EC-270; the letter
-referred to there, criticizing, is the Defendant Funk’s letter you
-just read.</p>
-
-<p class='pindent'>MR. DODD: Yes, it is, your Honor.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] My point here, Mr. Witness, is that,
-you see, you told the Tribunal that you really just worked for
-Göring; that you did not have much to say about these things,
-but now we find that you were writing a letter asserting your
-supreme authority and saying now, “it is a fact that I am really
-only answerable to Hitler,” and, you see, those two are quite inconsistent.
-What have you got to say about that?</p>
-
-<p class='pindent'>FUNK: Yes; in fact, I was never successful.</p>
-
-<p class='pindent'>MR. DODD: Now, let us see if you were not. Now you turn
-another page in that document and you will find another letter
-from Lammers, written on 6 April 1938, and it is written to you,
-and he tells you that you are just right in what you understood to
-be your position; that you are indeed only subordinate to the Führer
-and that he has sent a copy of your letter to both Field Marshal
-Göring and the Commander of the OKW. Now, what do you say
-about that?</p>
-
-<p class='pindent'>FUNK: I see from this that I tried at that time to achieve that
-post, but in fact I never succeeded because the Reich Marshal himself
-stated later that he would never turn over the war economy
-to me. The formal authority of the Plenipotentiary for Economy
-was turned over to the Four Year Plan by a decree of the Führer
-of December 1939.</p>
-
-<p class='pindent'>MR. DODD: Well, is that your answer? Now, you also have told
-the Tribunal, as I understood you at least, that you really did not
-have much to do with the planning of any aggressive wars, and that
-your activities were restricted to regulating and controlling the
-home economy, so to speak. Now, actually on 28 January 1939,
-which was some months before the invasion of Poland, you were
-considering the use of prisoners of war, were you not?</p>
-
-<p class='pindent'>FUNK: That I do not know.</p>
-
-<p class='pindent'>MR. DODD: Are you sure about that? Now I will ask that you
-be shown another document, Number EC-488 which becomes Exhibit
-USA-842. This is an unsigned letter, a captured document from
-<span class='pageno' title='155' id='Page_155'></span>
-your files. This letter, by the way, was transmitted under the
-signature of Sarnow. You know who he was; he was your deputy.
-Now, this letter, dated 28 January 1939, says that its subject is
-“Re: Employment of Prisoners of War.” Then it goes on to say:</p>
-
-<div class='blockquote'>
-
-<p>“Under the Reich Defense Law of 4 September 1938<a id='rstar_1'/><a href='#fstar_1' style='text-decoration:none'><sup><span style='font-size:0.9em'>*</span></sup></a> I have
-the direction for the economic preparations for the Reich defense,
-except the armament industry.”</p>
-
-</div>
-
-<p class='pindent'>Then it goes on, “For the utilization of labor...” and so on. But
-what I want to call your attention to particularly is the sentence in
-the second paragraph which says:</p>
-
-<div class='blockquote'>
-
-<p>“The deficit in manpower may force me to the employment
-of prisoners of war as far as possible and practical. The preparations,
-therefore, have to be made in close co-operation
-with the OKW and GBW. The offices under my jurisdiction
-will duly participate therein.”</p>
-
-</div>
-
-<p class='pindent'>Remember that communication?</p>
-
-<p class='pindent'>FUNK: No, I have never seen that letter, and never signed it.
-But that letter belongs to the matters about which I spoke this
-morning. The office of the Plenipotentiary for Economy—moreover,
-I see “Plenipotentiary for War Economy” is scratched out—was
-continuously occupied with these things. I personally had nothing
-to do with it.</p>
-
-<p class='pindent'>MR. DODD: Well now, that is rather playing with words. This
-was your Ministry that was making these suggestions, and your
-principal deputy who transmitted this letter, is that not so?</p>
-
-<p class='pindent'>FUNK: No, that was...</p>
-
-<p class='pindent'>MR. DODD: Now, you look up in the right hand corner of that
-letter and see if it doesn’t say “The Plenipotentiary for the Economy,”
-and then it gives the address and date.</p>
-
-<p class='pindent'>FUNK: Yes, and it is signed “By Order: Sarnow.”</p>
-
-<p class='pindent'>MR. DODD: That is right, and he was your principal deputy,
-was he not?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: What was he?</p>
-
-<p class='pindent'>FUNK: He only worked in the office of the Plenipotentiary
-General. My main deputy, who was in charge of those things, was
-Dr. Posse.</p>
-
-<p class='pindent'>MR. DODD: Well now, at any rate...</p>
-
-<p class='pindent'>FUNK: As I have said before, I personally had nothing to do
-with these things whatsoever.</p>
-
-<p class='pindent'>MR. DODD: It has just been called to my attention that if you
-say the man was Posse, then in the second paragraph of that letter
-<span class='pageno' title='156' id='Page_156'></span>
-you can find his name: “I can refer to the statements of Generaloberst
-Keitel, State Secretary Dr. Posse...” At any event, important
-people in your organization were involved in this thing,
-were they not?</p>
-
-<p class='pindent'>FUNK: Certainly.</p>
-
-<p class='pindent'>MR. DODD: All right. Now, you remember the Document Number
-3562-PS. It was introduced here as Exhibit USA-662. It is the
-minutes of a meeting set out by Dr. Posse, your deputy, which discussed
-a memorandum for financing the war, and you talked about
-that this morning and you said that despite the fact that there is a
-note on it “to be shown to the Minister,” you never saw it.</p>
-
-<p class='pindent'>FUNK: I would have had to initial it if I had seen it.</p>
-
-<p class='pindent'>MR. DODD: Well, whether that is so or not, I am not concerned
-about right now. Instead, I want you to listen while I read an excerpt
-from it. If you would like to see the document you can have
-it, but I hardly think it is necessary. You recall that in that document
-one of your memoranda is referred to, is it not? Do you
-remember? Do you remember that Posse said:</p>
-
-<div class='blockquote'>
-
-<p>“It was pointed out that the Plenipotentiary for Economy is
-primarily concerned with introducing into the legislation for
-war finance the idea of financing war expenditures by anticipating
-future revenues, to be expected after the war.”</p>
-
-</div>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: All right. That is all I have to ask about that document.
-We can move right along here.</p>
-
-<p class='pindent'>Referring again to your own direct testimony, I understood you
-to tell the Tribunal that insofar as the war against Poland was concerned,
-you did not really know until some time in August that
-there was even a likelihood of war with Poland; some time in
-August you thought it would be settled by diplomatic means. Is
-that not so?</p>
-
-<p class='pindent'>FUNK: In all probability not. For months there was a latent
-danger of war, but even in August one could see that it was
-imminent.</p>
-
-<p class='pindent'>MR. DODD: Had you been planning or making economic plans
-for war with Poland for more than a year before the attack on
-Poland? You can answer that “yes” or “no.”</p>
-
-<p class='pindent'>FUNK: I do not know.</p>
-
-<p class='pindent'>MR. DODD: You mean you did not know whether you had or
-not? What do you mean by that kind of an answer? Do you not
-remember?</p>
-
-<p class='pindent'>FUNK: I do not remember.
-<span class='pageno' title='157' id='Page_157'></span></p>
-
-<p class='pindent'>MR. DODD: All right. Then I can help you. There is a Document,
-Number 3324-PS, which is already in evidence. You must
-remember it; it is Exhibit USA-661. That is a speech that you made.
-Is that not so? Do you not remember saying in it that you had
-been planning in secret for well over a year for the war on Poland?
-Do you remember that? Would you like to see the document?</p>
-
-<p class='pindent'>FUNK: Yes, please.</p>
-
-<p class='pindent'>MR. DODD: The sentence is here:</p>
-
-<div class='blockquote'>
-
-<p>“Although all the economic and financial departments were
-utilized in the tasks and work of the Four Year Plan, under
-the leadership of Field Marshal Göring, the war economic
-preparation of Germany on another branch has also been
-advanced in secret for years...”</p>
-
-</div>
-
-<p class='pindent'>Do you remember that?</p>
-
-<p class='pindent'>FUNK: Yes, now I know.</p>
-
-<p class='pindent'>MR. DODD: You will notice it says here “for well over a year,”
-and you went on to say this had been done under you. Is that true?</p>
-
-<p class='pindent'>FUNK: Yes, that was the activity of the Plenipotentiary for
-civilian economy. I already explained that this morning.</p>
-
-<p class='pindent'>MR. DODD: All right. Well, that is all right. I just wanted to
-get your answer...</p>
-
-<p class='pindent'>FUNK: I did not speak of Poland.</p>
-
-<p class='pindent'>MR. DODD: Well, that is the only war that was on when you
-made this speech. It was October 1939.</p>
-
-<p class='pindent'>FUNK: The preparations were not made for a specific war, it
-was...</p>
-
-<p class='pindent'>MR. DODD: All right.</p>
-
-<p class='pindent'>FUNK: It was a general preparation.</p>
-
-<p class='pindent'>MR. DODD: Now, actually you and Göring were even in a
-contest for power to some extent, were you not? Was the Göring
-door one of those that you were also trying to get in? You can
-answer that very simply. You told us you were trying to get in
-these various doors, but you would get up there and never get in.
-I now ask you if the Göring door was one of those.</p>
-
-<p class='pindent'>FUNK: I do not believe that I was so presumptuous as to want
-to get Göring’s post. That was far from being my intention. I had
-very little ambition at all.</p>
-
-<p class='pindent'>MR. DODD: I did not say that you wanted to get his post, but
-you wanted to get some of his authority, did you not? Or do you
-not remember? Maybe that is the solution.</p>
-
-<p class='pindent'>FUNK: No.
-<span class='pageno' title='158' id='Page_158'></span></p>
-
-<p class='pindent'>MR. DODD: Well, your man Posse was interrogated here by
-representatives of the Prosecution and the document is Number
-3894-PS. He was asked these questions:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘What was the nature of the conflict between the
-Plenipotentiary for Economy and the Four Year Plan?’</p>
-
-<p>“Answer: ‘The struggle for power.’</p>
-
-<p>“Question: ‘The struggle for power between Funk and Göring?’</p>
-
-<p>“Answer: ‘The struggle for power between Funk and Göring,
-between Funk and the Ministry for Agriculture and the
-Ministry of Communications.’</p>
-
-<p>“Question: ‘How was the struggle finally resolved?’</p>
-
-<p>“Answer: ‘Never. It was a struggle always continuing under
-the surface.’ ”</p>
-
-</div>
-
-<p class='pindent'>Then we move on:</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘Did Funk, who had very important powers as
-Minister of Economics and later as Reichsbank President and
-as Chief Plenipotentiary for Economy, actually exercise these
-powers?’</p>
-
-<p>“Answer: ‘Yes. But the powers of Göring were stronger.’</p>
-
-<p>“Question: ‘Nevertheless, Funk did exercise important powers?’</p>
-
-<p>“Answer: ‘Yes, as President of the Reichsbank, Minister of
-Economics, and Plenipotentiary for Economy.’ ”</p>
-
-</div>
-
-<p class='pindent'>Posse was your chief deputy, was he not?</p>
-
-<p class='pindent'>FUNK: Yes, but Posse’s position was somewhat apart. My
-deputy was Landfried, and in the Reichsbank, Puhl. They knew
-these things better than Herr Posse.</p>
-
-<p class='pindent'>MR. DODD: Well, all right.</p>
-
-<p class='pindent'>FUNK: They should know more about it than Posse.</p>
-
-<p class='pindent'>MR. DODD: You do not think he really knew what he was
-talking about when he said you were in the struggle for power? Is
-that your answer?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: [<span class='it'>Turning to the Tribunal.</span>] That becomes Exhibit
-USA-843. We have not offered it up to now.</p>
-
-<p class='pindent'>Now, Mr. Witness, I want to ask you about when you first heard
-of the impending attack on Russia. I understood you to tell the
-Tribunal that you heard about it some time—I think you said—in
-May. Is that right? Or June?</p>
-
-<p class='pindent'>FUNK: When Rosenberg was appointed.</p>
-
-<p class='pindent'>MR. DODD: Well, that is what we want to know. When Rosenberg,
-in April of 1941, was appointed, you knew then there was to
-<span class='pageno' title='159' id='Page_159'></span>
-be an attack on Russia, did you not? But this morning I do not
-think you made that clear. Is that not right, Dr. Funk?</p>
-
-<p class='pindent'>FUNK: Yes, I said that the reason given us for that appointment
-was that the Führer considered a war with Russia to be
-possible.</p>
-
-<p class='pindent'>MR. DODD: Yes, but you know what you told the Tribunal this
-morning. You said that Lammers sent you notice of Rosenberg’s
-appointment because of your interest in improving the trade relations
-with Russia. That is the answer you made this morning. Now,
-that was not so, was it?</p>
-
-<p class='pindent'>FUNK: Yes, Lammers has said that here, too.</p>
-
-<p class='pindent'>MR. DODD: I do not care what Lammers said. I am asking you
-now if it is not a fact that you were told by Lammers because you
-were to co-operate with Rosenberg in making ready for the occupation
-of those territories after the attack began. Now you can
-answer that very simply. Is that not true?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: Now, we will see. You know, on another occasion
-you have given another answer, by the way, I might say, parenthetically.
-Do you remember telling the interrogator that you first
-heard from Hess about the impending attack on Russia? Do you
-remember you gave that answer at one time as the source of your
-first knowledge? Do you remember telling us that?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: I’ll tell you about that in a minute. We will stay
-now on this Rosenberg business.</p>
-
-<p class='pindent'>There is a Document Number 1031-PS and it is dated 28 May
-1941, which would be a little more than a month after the Rosenberg
-appointment: “Top secret notes; meeting with Reich Minister
-Funk.” Do you know what you were talking about that day, about
-counterfeiting money for use in Russia and the Ukraine and the
-Caucasus? Do you remember it?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: You do not remember it? Well, you had better take
-a look at the Document. It is Number 1031-PS, which becomes
-Exhibit USA-844. Do you not remember the day that your Reichsbank
-Director Wilhelm said it should not appear that you were
-counterfeiting so-called ruble bills for use in the occupied countries?
-Rosenberg was at that meeting. It is a very short memorandum.
-Have you read it? Oh, it is on Page 4, I think, of the
-document that you have; I am sorry. Do you find it? It starts out:
-“In the Ukraine and the Caucasus, however, it would become
-<span class='pageno' title='160' id='Page_160'></span>
-necessary to maintain the present currency, the ruble...” and so
-on. You were talking about money problems in the territory that
-you expected to occupy, and that was, well, about a month before
-the attack and about a month after Rosenberg’s appointment, was
-it not? Can you not give me an answer?</p>
-
-<p class='pindent'>FUNK: I have not found the passage yet. Yes, if these countries
-were conquered, it was necessary to deal with these questions.</p>
-
-<p class='pindent'>MR. DODD: The point is that certainly by that time you knew
-about the impending attack on the countries that had to be conquered,
-did you not?</p>
-
-<p class='pindent'>FUNK: I knew nothing of an attack. I only knew of an imminent
-danger of war.</p>
-
-<p class='pindent'>MR. DODD: Well, all right, you have it your way. The important
-thing is that you were talking about using money in the
-Ukraine and in the Caucasus, and it happened about a month later.</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: All right. There are quite a few questions I want
-to ask. I would like to close this examination before the adjournment
-time is due. Do you have anything you want to say to that?
-I only offered to show you that you had knowledge about the impending
-attack. You knew that something was going to happen in
-the East. That is all I wanted to ask. I think you will agree with
-that, will you not?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: All right.</p>
-
-<p class='pindent'>FUNK: Since the appointment of Rosenberg—and I explained
-that quite clearly this morning—I knew that a war with Russia was
-threatening.</p>
-
-<p class='pindent'>MR. DODD: We are all in agreement. We do not need to go
-further. I understood you to say this morning that you did not
-know. That is all right. I misunderstood you then. I now understand
-you to say that you did know it.</p>
-
-<p class='pindent'>FUNK: I said quite clearly this morning that I was informed
-that the Führer was expecting a war with Russia, but I am not sure
-about this document, as to who has written it.</p>
-
-<p class='pindent'>MR. DODD: Well, I do not know either. I can simply tell you
-that it was captured, among other documents, from Rosenberg’s
-files. I cannot tell you anything more about it. I think we can talk
-about something else, if you will permit me. I really do not think
-there is any need to go on with it.</p>
-
-<p class='pindent'>FUNK: Yes, but it is important insofar as these things about the
-ruble have been attributed to me.
-<span class='pageno' title='161' id='Page_161'></span></p>
-
-<p class='pindent'>MR. DODD: I will say it is, too.</p>
-
-<p class='pindent'>FUNK: It says here that I said that the use of the Reichskreditkassenscheine
-and the determining of the rate of exchange involved
-considerable danger. In other words, I was very doubtful in regard
-to the proposals made in this respect.</p>
-
-<p class='pindent'>MR. DODD: All right. I am glad to have your observations
-about it. Now, I want to talk to you a little bit about when you
-took over the Reichsbank. Posse was your principal deputy in your
-Ministry of Economics, was he not?</p>
-
-<p class='pindent'>FUNK: Landfried was my main deputy.</p>
-
-<p class='pindent'>MR. DODD: And by the way, he was at the same meeting that
-we have just been talking about. Who was your principal assistant
-in the Reichsbank?</p>
-
-<p class='pindent'>FUNK: Puhl.</p>
-
-<p class='pindent'>MR. DODD: He was a holdover from the Schacht days, was
-he not?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: Did you induce him to remain? Did you ask him to
-remain?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: You said that you selected your personnel. That is
-what you told the Tribunal this morning.</p>
-
-<p class='pindent'>FUNK: No. Puhl remained and also Kretschmann and Wilhelm.</p>
-
-<p class='pindent'>MR. DODD: I am not interested in going through your roster of
-personnel. I am only asking—and I will tell you the purpose. Puhl
-was a reliable banking man, was he not? He was well known in the
-international banking circles. He had been offered a position in the
-Chase Bank in New York at one time, did you know that?</p>
-
-<p class='pindent'>FUNK: No, I did not know that.</p>
-
-<p class='pindent'>MR. DODD: Well, it is true. In any event, he was quite a man,
-and he is a reliable man, is he not?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: You asked for him as a witness, did you not?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: And you wanted him to come here because you believe
-him and you know he...</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: Now, I want to talk a little bit about the gold in the
-Reichsbank. How much gold did you have on hand at the end of
-the year 1941, roughly? Do not give me a long story about it,
-<span class='pageno' title='162' id='Page_162'></span>
-because I am not too much interested. I am merely trying to find
-out if you were short on gold in 1941.</p>
-
-<p class='pindent'>FUNK: The gold reserve which I took over amounted to about
-500 million Reichsmark when I received the post of Schacht.</p>
-
-<p class='pindent'>MR. DODD: Well, all right.</p>
-
-<p class='pindent'>FUNK: It was increased in any substantial manner only by the
-Belgian gold, as far as I know.</p>
-
-<p class='pindent'>MR. DODD: That is really—it is interesting to hear all about it,
-but I have another purpose in mind. From whence did you obtain
-gold after you took over? Where did you get any new gold reserves
-from?</p>
-
-<p class='pindent'>FUNK: Only by changing foreign currency into gold, and then,
-after I took over the post, we got in addition the gold reserve of
-the Czech National Bank. But we mainly increased our reserve
-through the Belgian gold.</p>
-
-<p class='pindent'>MR. DODD: All right. Now, of course, gold became very important
-to you as a matter of payment in foreign exchange. You
-had to pay off in gold along in 1942 and 1943, did you not? Is
-that so?</p>
-
-<p class='pindent'>FUNK: It was very difficult to pay in gold.</p>
-
-<p class='pindent'>MR. DODD: I know it was.</p>
-
-<p class='pindent'>FUNK: Because the countries with which we still had business
-relations introduced gold embargoes. Sweden refused to accept
-gold at all. Only in Switzerland could we still do business through
-changing gold into foreign currency.</p>
-
-<p class='pindent'>MR. DODD: I think you have established that you had to use
-gold as foreign exchange in 1942 and 1943 and that is all I wanted
-to know. When did you start to do business with the SS, Mr. Funk?</p>
-
-<p class='pindent'>FUNK: Business with the SS? I have never done that.</p>
-
-<p class='pindent'>MR. DODD: Yes, sir, business with the SS. Are you sure about
-that? I want you to take this very seriously. It is about the end
-of your examination, and it is very important to you. I ask you
-again, when did you start to do business with the SS?</p>
-
-<p class='pindent'>FUNK: I never started business with the SS. I can only repeat
-what I said in the preliminary interrogation. Puhl one day informed
-me that a deposit had been received from the SS. First I assumed
-that it was a regular deposit, that is, a deposit which remained
-locked and which was of no further concern to us, but then Puhl
-told me later that these deposits of the SS should be used by the
-Reichsbank. I assumed they consisted of gold coins and foreign
-currency, but principally gold coins, which every German citizen
-had had to turn in as it was, and which were taken from inmates
-<span class='pageno' title='163' id='Page_163'></span>
-of concentration camps and turned over to the Reichsbank. Valuables
-which had been taken from the inmates of concentration
-camps did not go to the Reichsbank but, as we have several times
-heard here, to the Reich Minister of Finance, that is...</p>
-
-<p class='pindent'>MR. DODD: Just a minute. Were you in the habit of having
-gold teeth deposited in the Reichsbank?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: But you did have it from the SS, did you not?</p>
-
-<p class='pindent'>FUNK: I do not know.</p>
-
-<p class='pindent'>MR. DODD: You do not know?</p>
-
-<p class='pindent'>Well, now, if Your Honor please, we have a very brief film, and
-I think we can show it before we adjourn, and I would like to show
-it to the witness before I examine him further on this gold business
-in the Reichsbank. It is a picture that was taken by the Allied
-Forces when they entered the Reichsbank, and it will show gold
-teeth and bridges and so on in their vaults.</p>
-
-<p class='pindent'>FUNK: I know nothing about it.</p>
-
-<p class='pindent'>MR. DODD: I think perhaps before I show the film I would like—I
-think I can do it in the time; I do want to complete this this
-afternoon—to read you an affidavit from this man Puhl who, you
-told me a few minutes ago, was a credible, well-informed man and
-whom you called as a witness. This affidavit is dated 3 May 1946.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I protest against the reading of
-this affidavit by Herr Puhl. This affidavit most probably—I’m not
-sure—was taken here in Nuremberg. We do not know its contents.
-The Prosecution surprises us today with an affidavit of which we
-know nothing, and within ten minutes a dozen documents are
-thrown at us, of which the Prosecution asserts they are only short
-documents, whereas, for instance, one affidavit among them contains
-twelve pages, I believe. It is quite impossible for us, in the course
-of the extreme speed at which this examination is taking place, to
-follow these statements and these documents. Therefore I have to
-protest against the use of an affidavit of that kind at this moment.</p>
-
-<p class='pindent'>MR. DODD: Well, this affidavit was taken at Baden-Baden, Germany,
-on the 3rd day of May. We have been trying for a long time
-to put this part of this case together, and we have finally succeeded.
-Certainly we did not turn it over to Dr. Sauter, because we wanted
-to use it for just the purposes that I am trying to put it to now.
-And it is an affidavit of his assistant Puhl, whom he called as a
-witness and from whom he expects to have an interrogatory. It has
-to do with a very important part in this case. I might say that if
-we are permitted to use it, certainly Dr. Sauter will have a chance
-<span class='pageno' title='164' id='Page_164'></span>
-to re-examine on it and he will have all night to study it if he
-would like to look it over.</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, are you wanting to cross-examine
-the witness about this document?</p>
-
-<p class='pindent'>MR. DODD: Yes, I want to read it to him and I want to ask him
-a couple of questions about it. I want him to know it because it is
-the basis for two or three questions of cross-examination, and to
-impeach him for statements he has already made about the gold.</p>
-
-<p class='pindent'>THE PRESIDENT: You may do that. But Dr. Sauter, of course,
-will be able, if he wishes to do so, to apply afterwards that the
-witness should be produced for cross-examination. And he will
-have time in which he can consider the affidavit and make any
-comments that he wants to about it.</p>
-
-<p class='pindent'>MR. DODD: Very well, Your Honor.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, may I make just one statement?
-Today a case occurred where the Prosecution protested against the
-fact that a document was used of which the Prosecution had not
-previously received an English translation. The representative of
-the Prosecution told me he did not understand German, and therefore
-the document had to be translated. I am of the opinion that
-the Defense should get the same right as the Prosecution.</p>
-
-<p class='pindent'>If one English document after the other is thrown at me without
-my having the slightest idea of the contents, then I cannot answer
-them. Difficulties are constantly increasing. For instance, I have
-received documents here which contain 12 pages. One sentence is
-read out of such a document. The defendant is not given time to
-read even one single further paragraph. I myself am not given
-time. And in spite of that it is expected that the defendant immediately
-explains one single sentence taken out of the context, without
-having the possibility of examining the document. That, in my
-opinion, is asking too much.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, you had a translation in German
-of nearly every document, if not every document. And you have
-also been given every opportunity to consider documents when they
-have been translated into German. And that opportunity will be
-given to you hereafter and if there are any documents which are
-being used in cross-examination now which are not in German, they
-will be translated into German, and you will have them then. But
-once the witness is under cross-examination, the documents may be
-used. If you want to re-examine upon the documents after you
-have them in German, you will be able to do so.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, we Defense Counsel also desire to
-further the proceedings and not to delay them. But it does not help
-<span class='pageno' title='165' id='Page_165'></span>
-me at all if, in a week or two, when I shall finally have been able
-to examine the documents thrown today on the table, I must turn to
-you, Mr. President, with the request to be permitted to question the
-witness again. We are glad once we are through with the examination
-of the witnesses. But we simply cannot follow Mr. Dodd’s
-method. I cannot follow, and the defendant cannot either. One
-cannot expect the defendant to explain an isolated sentence taken
-out of the context, if he had no chance to examine the document as
-a whole.</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd.</p>
-
-<p class='pindent'>MR. DODD: May I proceed to examine on the document?</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, have you got any objection to
-Dr. Sauter’s seeing the document?</p>
-
-<p class='pindent'>MR. DODD: Yes, indeed I have. I think it would be a new rule.
-Ever since this Defense opened, we have presented and confronted
-documents for the purpose of impeaching the credibility of various
-witnesses, and used these documents, and it goes to the very foundation
-of cross-examination. If we have to turn such documents over
-to the Defense before we cross-examine, the whole purpose of cross-examination
-is gone.</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, if you are putting the document
-in and putting it to the witness as a document, then his counsel is
-entitled, I should have thought, to have it at the same moment.</p>
-
-<p class='pindent'>MR. DODD: We are perfectly willing to give him a German copy
-right now. It is here for him, if he wants to have it, and we were
-ready with it when we came in the courtroom.</p>
-
-<p class='pindent'>THE PRESIDENT: In German?</p>
-
-<p class='pindent'>MR. DODD: Yes, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: I think the best thing will be for us to
-adjourn now, and then you will hand to Dr. Sauter when you use
-the document a translation of it in German.</p>
-
-<p class='pindent'>MR. DODD: Yes; tomorrow morning, when we use it.</p>
-
-<p class='pindent'>THE PRESIDENT: When you use it.</p>
-
-<p class='pindent'>MR. DODD: Very well, Sir.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 7 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='166' id='Page_166'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-THIRD DAY</span><br/> Tuesday, 7 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The Defendant Funk resumed the stand.</span>]</p>
-
-<p class='pindent'>MR. DODD: Witness, you had a conference with Dr. Sauter last
-night after we recessed Court, did you not, for about an hour?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: Now we were talking yesterday, when the Tribunal
-rose, about the gold deposits in the Reichsbank, and I had asked
-you when you started to do business with the SS, and as I recall,
-you said you did not do any business with the SS. And then we
-went along a little further and you did say that the SS did deposit
-some materials, some property belonging to people in concentration
-camps. Do I properly understand your testimony to have been, in
-substance, as I have stated it?</p>
-
-<p class='pindent'>FUNK: No. I said that Herr Puhl—I do not remember in what
-year—told me one day that a gold deposit had arrived from the SS
-and he also told me—and he said it somewhat ironically—it would
-be better that we should not try to ascertain what this deposit was.
-As I said yesterday, it was impossible in any case to ascertain what
-was deposited. When something was deposited, the Reichsbank had
-no right to look into it to see of what it consisted. Only later, when
-Herr Puhl made another report to me, did I realize that when he
-used the word “deposit” it was a wrong term; it was not a deposit
-but it was a delivery of gold. There is of course a great difference.
-I personally assumed that it concerned a gold deposit, that this gold
-consisted of gold coins or other foreign currency or small bars of
-gold or something similar, which had been brought in from the
-inmates of the concentration camps—everybody in Germany had to
-hand these things over—and that it was being handed to the Reichsbank,
-which would use it. Since you mentioned this matter, I
-remember another fact of which I was not conscious until now. I
-was asked about it during my interrogation, and during this interrogation
-I could not say “yes” to it because at that time I did not
-remember it. I was asked during my interrogation whether I had
-the agreement of the Reichsführer that the gold which was delivered
-to the Reichsbank should be utilized by the Reichsbank. I said I did
-not remember. However, if Herr Puhl makes such a statement
-<span class='pageno' title='167' id='Page_167'></span>
-under oath, I will not and cannot dispute it. It is evident that if
-gold were delivered which should come to the Reichsbank, then the
-Reichsbank had the right to utilize such gold. I certainly never
-spoke more than twice or at most three times to Herr Puhl about
-this matter. What these deposits or these deliveries consisted of
-and what was done with these deliveries, how they were utilized,
-I do not know. Herr Puhl never informed me about that either.</p>
-
-<p class='pindent'>MR. DODD: Well now, let us see. You were not ordinarily in
-the habit, in the Reichsbank, of accepting jewels, monocles, spectacles,
-watches, cigarette cases, pearls, diamonds, gold dentures,
-were you? You ordinarily accepted that sort of material for deposit
-in your bank?</p>
-
-<p class='pindent'>FUNK: No; there could be no question, in my opinion, that the
-bank had no right to do that, because these things were supposed
-to be delivered to an entirely different place. If I am correctly informed
-about the legal position, these things were supposed to be
-delivered to the Reich Office for Precious Metals and not to the
-Reichsbank. Diamonds, jewels, and precious stones were not the
-concern of the Reichsbank because it was not a place of sale for
-these things. And in my opinion, if the Reichsbank did that, then
-it was unlawful.</p>
-
-<p class='pindent'>MR. DODD: That is exactly right.</p>
-
-<p class='pindent'>FUNK: If that happened, then the Reichsbank committed an
-illegal act. The Reichsbank was not authorized to do that.</p>
-
-<p class='pindent'>MR. DODD: And is it your statement that if it was done you did
-not know anything about it?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: You did not know?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: You were frequently in the vaults of the Reichsbank,
-were you not? As a matter of fact you liked to take visitors
-through there. I say, you were frequently in the vaults of the bank
-yourself?</p>
-
-<p class='pindent'>FUNK: Yes, I was, where the gold bars were kept.</p>
-
-<p class='pindent'>MR. DODD: I will come to the gold bars in a minute. I just
-want to establish that you were in the vaults frequently, and your
-answer, as I understand it, is “yes” that you were?</p>
-
-<p class='pindent'>FUNK: It was the usual thing if someone came to visit us, particularly
-foreign visitors, to show them the rooms where the gold
-was kept and we always showed them the gold bars and there was
-always the usual joke as to whether one could lift a gold bar or
-not. But I never saw anything else there except gold bars.
-<span class='pageno' title='168' id='Page_168'></span></p>
-
-<p class='pindent'>MR. DODD: How heavy were these gold bars that you had in
-the vaults?</p>
-
-<p class='pindent'>FUNK: They were the usual gold bars which were used in commerce
-between banks. I think they varied in weight. I think the
-gold bars weighed about 20 kilograms. Of course, you can figure it
-out. If one...</p>
-
-<p class='pindent'>MR. DODD: That is all right. That is satisfactory. When you
-were in the vaults you never saw any of these materials that I
-mentioned a few minutes ago—jewels, cigarette cases, watches, and
-all that business?</p>
-
-<p class='pindent'>FUNK: Never. I was in the vaults at the most four or five times
-and then only to show this very interesting spectacle to visitors.</p>
-
-<p class='pindent'>MR. DODD: Only four or five times from 1941 to 1945?</p>
-
-<p class='pindent'>FUNK: I assume so. It was not more often. I only went down
-there with visitors, particularly foreign visitors.</p>
-
-<p class='pindent'>MR. DODD: Are you telling the Tribunal that as head of the
-Reichsbank you never made an inspection, so to speak, of the vaults,
-never took a look at the collateral? Did you not ever make an
-inspection before you made your certifications as to what was on
-hand? Certainly every responsible banker does that regularly, does
-he not? What is your answer?</p>
-
-<p class='pindent'>FUNK: No, never. The business of the Reichsbank was not conducted
-by the President. It was conducted by the Directorate. I
-never bothered about individual transactions, not even gold transactions,
-or even about slight variations in the individual gold
-reserves, <span class='it'>et cetera</span>. If large deliveries of gold were expected, the
-Directorate reported to me. The Directorate conducted the business,
-and I believe the detailed transactions were probably known only
-to the director responsible for that particular department.</p>
-
-<p class='pindent'>MR. DODD: Now, did you ever do any business with pawnshops?</p>
-
-<p class='pindent'>FUNK: With what?</p>
-
-<p class='pindent'>MR. DODD: Pawnshops. Do you not know what a pawnshop is?
-There must be a German word for that.</p>
-
-<p class='pindent'>FUNK: Pfandleihe.</p>
-
-<p class='pindent'>MR. DODD: Whatever it is, you know what they are, do you not?</p>
-
-<p class='pindent'>FUNK: Where you pawn something.</p>
-
-<p class='pindent'>MR. DODD: Yes.</p>
-
-<p class='pindent'>FUNK: No, I never did any...</p>
-
-<p class='pindent'>MR. DODD: All right, we will get to that a little later too. Right
-now, since you do not seem to recall that you ever had any or saw
-any such materials as I have described in your vaults, I ask that we
-<span class='pageno' title='169' id='Page_169'></span>
-have an opportunity to show you a film which was taken of some
-materials in your vaults when the Allied Forces arrived there.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the President.</span>] I would ask, Mr. President, that the
-defendant be permitted to come down, where he can watch the
-film, so that his memory will be properly refreshed.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, you may have him brought down.</p>
-
-<p class='pindent'>[<span class='it'>Moving pictures were then shown.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, at some stage, I take it, you will
-offer evidence as to where that film was made.</p>
-
-<p class='pindent'>MR. DODD: Yes, I will. There will be an affidavit as to the
-circumstances under which the film was made, who was present,
-and why; but, for the information of the Tribunal, it was taken in
-Frankfurt when the Allied Forces captured that city and went into
-the Reichsbank vaults.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Now, Witness, having seen these
-pictures of materials that were found in your Reichsbank vaults a
-year ago, or a little earlier than a year ago, you now recall that you
-did have such material on hand over a period of 4 or 5 years, 3 or
-4 years, 3 years—I think actually a little longer than 3 years?</p>
-
-<p class='pindent'>FUNK: I have never seen anything of this sort. I also have the
-impression that a large part of these things which were shown in
-the film came from deposits, because people, thousands of them, had
-locked deposits which they delivered to the Reichsbank, in which
-they put their jewels and other valuables, as we have just seen.
-Probably some were hidden valuables, which they should have
-given up, such as foreign money, foreign exchange, gold coins,
-<span class='it'>et cetera</span>. As far as I know we had thousands of closed deposits into
-which the Reichsbank could not look. I never saw a single item
-such as these shown in the film, and I cannot imagine where these
-things came from, to whom they belonged, and to what use they
-were put.</p>
-
-<p class='pindent'>MR. DODD: Well, that is an interesting answer. I asked you
-yesterday, and I ask you again now, did you ever hear of anybody
-depositing his gold dentures in a bank for safekeeping? [<span class='it'>There was
-no response.</span>]</p>
-
-<p class='pindent'>You saw that film, and you saw the gold bridgework, or mouth-plates,
-did you not, and the other dental work? Certainly nobody
-ever deposited that with a bank. Is that not a fact?</p>
-
-<p class='pindent'>FUNK: As far as the teeth are concerned, this is a special case.
-Where these teeth came from I do not know. It was not reported to
-me, nor do I know what was done with those teeth. I am convinced
-that items of this sort, when they were delivered to the Reichsbank,
-had to be turned over to the Office for Precious Metals, for the
-<span class='pageno' title='170' id='Page_170'></span>
-Reichsbank was not a place where gold was worked. Neither do I
-know whether the Reichsbank even had the technical facilities to
-work this metal. I do not know about that.</p>
-
-<p class='pindent'>MR. DODD: And not only did people not deposit gold teeth, but
-they never deposited eyeglass rims, did they, such as you saw in the
-picture?</p>
-
-<p class='pindent'>FUNK: That is right. These things are, of course, no regular
-deposits. That goes without saying.</p>
-
-<p class='pindent'>MR. DODD: And you saw there were some objects that obviously
-were in the process of being melted down. Practically the last scene
-in that film showed something that looked as if it had been in the
-process of being melted, did it not? You saw it?</p>
-
-<p class='pindent'>Well, will you answer me, please, “yes” or “no”? Did you see it?</p>
-
-<p class='pindent'>FUNK: I cannot say that exactly. I do not know whether they
-were melting it down. I have no knowledge of these technical
-matters. To be sure, now I see quite clearly what was not known
-to me until now, that the Reichsbank did the technical work of
-melting down gold articles.</p>
-
-<p class='pindent'>MR. DODD: Well, now, let us see what your assistant, Mr. Puhl,
-says about that, the man who you told us yesterday was a credible
-gentleman, and whom you asked the Tribunal to call as a witness on
-your behalf. I am holding in my hand an affidavit executed by him
-on the 3rd day of May 1946 at Baden-Baden, Germany.</p>
-
-<div class='blockquote'>
-
-<p>“Emil Puhl, being duly sworn, deposes and says:</p>
-
-<p>“1. My name is Emil Puhl. I was born on 28 August 1889 in
-Berlin, Germany. I was appointed a member of the Board of
-Directors of the Reichsbank in 1935 and Vice President of the
-Reichsbank in 1939, and served in these positions continuously
-until the surrender of Germany.</p>
-
-<p>“2. In the summer of 1942 Walter Funk, President of the
-Reichsbank and Reich Minister of Economics, had a conversation
-with me and later with Mr. Friedrich Wilhelm, who
-was a member of the Board of Directors of the Reichsbank.
-Funk told me that he had arranged with Reichsführer Himmler
-to have the Reichsbank receive in safe custody gold and
-jewels for the SS. Funk directed that I should work out the
-arrangements with Pohl, who, as head of the economic section
-of the SS, administered the economic side of the concentration
-camps.</p>
-
-<p>“3. I asked Funk what the source was of the gold, jewels,
-bank notes, and other articles to be delivered by the SS. Funk
-replied that it was confiscated property from the Eastern
-Occupied Territories, and that I should ask no further
-<span class='pageno' title='171' id='Page_171'></span>
-questions. I protested against the Reichsbank handling this
-material. Funk stated that we were to go ahead with the
-arrangements for handling the material, and that we were
-to keep the matter absolutely secret.</p>
-
-<p>“4. I then made the necessary arrangements with one of the
-responsible officials in charge of the cash and safes departments
-for receiving the material, and reported the matter to
-the Board of Directors of the Reichsbank at its next meeting.
-On the same day Pohl, of the economic section of the SS,
-telephoned me and asked if I had been advised of the matter.
-I said I would not discuss it by telephone. He then came to
-see me and reported that the SS had some jewelry for
-delivery to the Reichsbank for safekeeping. I arranged with
-him for delivery and from then on deliveries were made from
-time to time, from August 1942 throughout the following years.</p>
-
-<p>“5. The material deposited by the SS included jewelry,
-watches, eyeglass frames, dental gold, and other gold articles
-in great abundance, taken by the SS from Jews, concentration
-camp victims, and other persons. This was brought to our
-knowledge by SS personnel who attempted to convert this
-material into cash and who were helped in this by the Reichsbank
-personnel with Funk’s approval and knowledge. In
-addition to jewels and gold and other such items, the SS also
-delivered bank notes, foreign currency, and securities to the
-Reichsbank to be handled by the usual legal procedure
-established for such items. As far as the jewelry and gold
-were concerned, Funk told me that Himmler and Von
-Krosigk, the Reich Minister of Finance, had reached an
-agreement according to which the gold and similar articles
-were on deposit for the account of the State and that the
-proceeds resulting from the sale thereof would be credited to
-the Reich Treasury.</p>
-
-<p>“6. From time to time, in the course of my duties, I visited
-the vaults of the Reichsbank and observed what was in
-storage. Funk also visited the vaults from time to time.</p>
-
-<p>“7. The Golddiskontobank, at the direction of Funk, also
-established a revolving fund which finally reached 10 to 12
-million Reichsmark for the use of the economic section of the
-SS to finance production of materials by concentration camp
-labor in factories run by the SS.</p>
-
-<p>“I am conversant with the English language and declare that
-the statements made herein are true to the best of my knowledge
-and belief.”</p>
-
-</div>
-
-<p class='pindent'>Document Number 3944-PS; it is signed by Emil Puhl and duly
-witnessed.
-<span class='pageno' title='172' id='Page_172'></span></p>
-
-<p class='pindent'>Mr. President, I would like to offer this affidavit as Exhibit
-USA-846 and the film as Exhibit USA-845.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Now, Witness, having heard this
-affidavit from your close associate and your brother director of the
-Board of Directors of the Reichsbank, and the man who, you
-admitted yesterday was a credible and truthful man, what do you
-now say to this Tribunal about your knowledge of what was going
-on between your bank and the SS?</p>
-
-<p class='pindent'>FUNK: I declare that this affidavit by Herr Puhl is not true.
-I spoke to Herr Puhl about the entire matter of these gold deposits,
-as I have repeatedly stated, three times at most, but I believe it was
-only twice. I never exchanged a word with Herr Puhl regarding
-precious stones and jewelry. It is incredible to me that a man who
-most certainly also carried out certain functions in his agreements
-with the SS—that is, with Herr Pohl—now tries to put the blame
-on me. On no account will I take this responsibility and I request
-that Herr Puhl be called here, and that in my presence he may
-declare in all detail when, where, and how he has spoken to me
-about these different items, and to what extent I told him what to do.</p>
-
-<p class='pindent'>I repeat my statement that I knew nothing about jewelry and
-other deliveries from concentration camps, and that I have never
-spoken to Herr Puhl about these things. I can only say again what
-I said at the beginning, that Herr Puhl once told me that a gold
-deposit had arrived from the SS. I remember it now, it had escaped
-me as I did not pay too much attention to the entire matter. I
-remember that, urged by him, I spoke to the Reichsführer about
-whether the Reichsbank could utilize these items. The Reichsführer
-said, “Yes.” But at no time did I speak to the Reichsführer about
-jewelry and precious stones and watches and such things. I spoke
-only of gold.</p>
-
-<p class='pindent'>Concerning what Puhl states about a financing scheme—I believe
-that goes back a number of years—I know Herr Puhl came to me
-one day and said that he was asked to give a credit for certain
-factories of the SS and somebody was negotiating with him about
-the matter. I asked him, “Is this credit secure? Do we get interest?”
-He said, “Yes, up till now they have had a credit from the Dresdner
-Bank and it must now be repaid.” I said, “Very well, do that.”
-After that I never heard anything more about this matter. It is
-news to me that this credit was so large, that it was made by the
-Golddiskontobank. I do not remember it, but it is entirely possible.
-However, I never heard any more about this credit, which Herr
-Puhl had given to certain factories. He always spoke about factories,
-about businesses; it was a bank credit which had previously been
-given by a private bank. I remember I asked him once, “Has this
-credit been repaid?” That was some considerable time later. He
-<span class='pageno' title='173' id='Page_173'></span>
-said, “No, it has not been repaid yet.” That is all I know about
-these matters.</p>
-
-<p class='pindent'>MR. DODD: All right. Now, what do you know about this—one
-part of the affidavit you have not covered—what do you know
-about the last part that says you established a revolving fund for
-the SS for the building of factories near the concentration camps?
-Do you remember that? I read it to you. Puhl says, “The Reichsbank,
-at the direction of Funk, established a revolving fund which
-finally reached 10 to 12 million Reichsmark for the use of the
-economic section of the SS to finance production of materials by
-concentration camp labor in factories run by the SS.” Do you admit
-that you did that?</p>
-
-<p class='pindent'>FUNK: Yes, that is what I just mentioned; that Herr Puhl told
-me one day, I believe in 1939 or 1940, that some gentlemen from
-the economic section of the SS had spoken to him regarding a
-credit, which until that time had been granted by the Dresdner Bank
-and which they would now like to have from the Reichsbank. I
-asked Herr Puhl, “Will we get interest; is the credit secure?” He
-said, “Yes.” So I said, “Give them this credit,” and later on I said
-just what I mentioned above. That is all I know about the matter.
-I know nothing more.</p>
-
-<p class='pindent'>MR. DODD: Now, you also got a fee for handling these materials
-that you saw in the film, did you not, from the SS? The bank was
-paid for carrying on its part of this program?</p>
-
-<p class='pindent'>FUNK: I did not understand that.</p>
-
-<p class='pindent'>MR. DODD: I say, is it not a fact that you received payment from
-the SS over this period of more than 3 years for handling these
-materials which they turned over to you?</p>
-
-<p class='pindent'>FUNK: I do not know about that.</p>
-
-<p class='pindent'>MR. DODD: Well, you would know, would you not, as President
-of the bank, if you did receive payment? How could you help
-knowing?</p>
-
-<p class='pindent'>FUNK: These were probably such small payments that no one
-ever reported them to me. I do not know anything about any
-payment from the SS.</p>
-
-<p class='pindent'>MR. DODD: What would you say if I tell you that Herr Puhl
-said that the bank did receive payment during these years, and
-that there were altogether some 77 shipments of materials such as
-you saw here this morning? Do you say that is untrue, or do you
-agree with it?</p>
-
-<p class='pindent'>FUNK: That might be quite true, but I was never informed
-about these things. I know nothing about it.
-<span class='pageno' title='174' id='Page_174'></span></p>
-
-<p class='pindent'>MR. DODD: Is it conceivable that you, as President of the Reichsbank,
-could not know about 77 such shipments and about a transaction
-that you were being paid to handle? Do you think that is a
-likely story?</p>
-
-<p class='pindent'>FUNK: If the Board of Directors did not report to me about
-these things, I cannot have known about them, and I declare again
-quite definitely that I was not informed about these details. On
-one occasion I was told about a gold deposit of the SS which was
-brought to us. Later on it transpired that it was a delivery from
-the SS. And then I knew about this credit transaction. That is all
-I know about these matters.</p>
-
-<p class='pindent'>MR. DODD: Now, let me tell you something that may help you a
-little bit. As a matter of fact, your bank sent memoranda to people
-concerning this material from time to time, and I think you know
-about it, do you not? You made up memoranda stating what you
-had on hand and whom you were transferring it to. Are you
-familiar with any such memoranda?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: Well, then you had better take a look at Document
-Number 3948-PS, Exhibit USA-847, and see if it refreshes your
-memory. That is 3948-PS.</p>
-
-<p class='pindent'>[<span class='it'>The document was handed to the defendant.</span>]</p>
-
-<p class='pindent'>Now, this document is a memorandum apparently addressed to
-the Municipal Pawn Brokerage in Berlin, and it is dated 15 September
-1942. Now, I am not going to read all of it, although it is
-a very interesting document, but as you can see, the memorandum
-says, “We submit to you the following valuables with the request
-for the best possible utilization.” Then you list 247 platinum and
-silver rings, 154 gold watches, 207 earrings, 1,601 gold earrings,
-13 brooches with stones—I am just skipping through; I am not
-reading all of them—324 silver wrist watches, 12 silver candle sticks,
-goblets, spoons, forks, and knives, and then, if you follow down
-here quite a way, diverse pieces of jewelry and watch casings,
-187 pearls, four stones said to be diamonds. And that is signed
-“Deutsche Reichsbank, Hauptkasse” and the signature is illegible.
-Perhaps, if you look at the original, you might tell us who signed it.</p>
-
-<p class='pindent'>FUNK: No, I do not know who signed it.</p>
-
-<p class='pindent'>MR. DODD: You have the original?</p>
-
-<p class='pindent'>FUNK: I do not know.</p>
-
-<p class='pindent'>MR. DODD: Well, look at the signature there and see if you
-recognize it as the signature of one of your workers.</p>
-
-<p class='pindent'>FUNK: It says—somebody from our cashier’s office signed it. I
-do not know the signature.
-<span class='pageno' title='175' id='Page_175'></span></p>
-
-<p class='pindent'>MR. DODD: Somebody from your bank, was it not?</p>
-
-<p class='pindent'>FUNK: Yes, from the cashier’s department. I do not know the
-signature.</p>
-
-<p class='pindent'>MR. DODD: Do you want this Tribunal to believe that employees
-and people in your bank were sending lists out to municipal pawn
-brokers without it ever coming to your attention?</p>
-
-<p class='pindent'>FUNK: I know nothing at all about these events. They can only
-be explained in that things were apparently delivered to the Reichsbank
-which it was not supposed to keep. That is obvious.</p>
-
-<p class='pindent'>MR. DODD: Well, I would also like you to look at Document
-Number 3949-PS, which is dated 4 days later, 19 September 1942,
-Exhibit USA-848. Now, you will see this is a memorandum concerning
-the conversion of notes, gold, silver, and jewelry in favor of
-the Reich Minister of Finance, and it also says that it is “a partial
-statement of valuables received by our precious metals department.”
-Again I think it is unnecessary to read it all. You can look at it and
-read it, but the last two paragraphs, after telling what the shipments
-contained as they arrived on 26 August 1942, say:</p>
-
-<div class='blockquote'>
-
-<p>“Before we remit the total proceeds, to date 1,184,345.59
-Reichsmark to the Reichshauptkasse for the account of the
-Reich Minister of Finance, we beg to be informed under what
-reference number this amount and subsequent proceeds should
-be transferred.</p>
-
-<p>“It might further be of advantage to call the attention of the
-responsible office of the Reich Minister of Finance in good
-time to the amounts to be transferred from the Deutsche
-Reichsbank.”</p>
-
-</div>
-
-<p class='pindent'>And again that is signed, “Deutsche Reichsbank, Hauptkasse,”
-and there is a stamp on there that says, “Paid by check, Berlin,
-27 October 1942, Hauptkasse.”</p>
-
-<p class='pindent'>FUNK: For this document, that is, this note to the Reich Minister
-of Finance, I believe I am able to give an explanation, and that is
-on the basis of testimony given here by witnesses who came from
-concentration camps. The witness Ohlendorf, if I remember
-correctly, and another one, have testified that the valuables which
-had been taken from the inmates of concentration camps had to be
-turned over and were delivered to the Reich Minister of Finance.
-Now, I assume that the technical procedure was that these things
-were first brought to the Reichsbank by mistake. The Reichsbank,
-however—and I keep repeating it—could do nothing with the pearls,
-jewelry, and similar items which are mentioned here, and therefore
-turned over these items to the Reich Minister of Finance or they
-were used for the account of the Reich Minister of Finance. That is
-<span class='pageno' title='176' id='Page_176'></span>
-apparent from this document. In other words, this merely is a statement
-of account sent by the Reichsbank for the Reich Minister of
-Finance. That is, I believe, the meaning of this document.</p>
-
-<p class='pindent'>MR. DODD: Well, indeed, you did hear Ohlendorf say that these
-unfortunate people who were exterminated in these camps had their
-possessions turned over to the Reich Minister of Finance. I believe
-he testified to that effect here. Now, you also...</p>
-
-<p class='pindent'>FUNK: That is what I heard here. These things were news to
-me. However, I did not know that the Reichsbank...</p>
-
-<p class='pindent'>MR. DODD: You have told us that twice already.</p>
-
-<p class='pindent'>FUNK: ...that the Reichsbank dealt with these matters in such
-detail.</p>
-
-<p class='pindent'>MR. DODD: Are you telling us that you did not know they dealt
-with them in such detail, or that you did not know they dealt with
-them at all? I think that is important. What is your answer, that
-you did not know they went into them in such detail or that you
-did not know anything about it?</p>
-
-<p class='pindent'>FUNK: I personally had nothing to do with it at all.</p>
-
-<p class='pindent'>MR. DODD: Did you know about it?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. DODD: You never heard of it?</p>
-
-<p class='pindent'>FUNK: I did not know at all that any jewelry, watches, cigarette
-cases, and so forth were delivered to the Reichsbank; that is news
-to me.</p>
-
-<p class='pindent'>MR. DODD: Did you know that anything came from concentration
-camps to the Reichsbank? Anything at all?</p>
-
-<p class='pindent'>FUNK: Yes, the gold, of course. I already said that.</p>
-
-<p class='pindent'>MR. DODD: Gold teeth?</p>
-
-<p class='pindent'>FUNK: I have said that—no.</p>
-
-<p class='pindent'>MR. DODD: What gold from the concentration camps?</p>
-
-<p class='pindent'>FUNK: The gold about which Herr Puhl had reported to me,
-and I assumed that these were coins and other gold which had to be
-deposited at the Reichsbank anyway, and which the Reichsbank
-could utilize according to the legal regulations. Otherwise, I know
-nothing about it.</p>
-
-<p class='pindent'>MR. DODD: Just what did Himmler say to you and what did
-you say to Himmler when you had this conversation, as you tell us,
-about this gold from the concentration camp victims? I think the
-Tribunal might be interested in that conversation. What did he say,
-and what did you say, and where was the conversation held?
-<span class='pageno' title='177' id='Page_177'></span></p>
-
-<p class='pindent'>FUNK: I do not remember any more where the conversation was
-held. I saw Himmler very rarely, perhaps once or twice. I assume
-that it was on the occasion of a visit in the field quarters of
-Lammers, where Himmler’s field quarters were also located. It must
-have been there. On that occasion we spoke very, very briefly
-about that.</p>
-
-<p class='pindent'>MR. DODD: Wait just a minute. Will you also tell us when
-it was?</p>
-
-<p class='pindent'>FUNK: Possibly during the year 1943; it might have been 1944,
-I do not remember.</p>
-
-<p class='pindent'>MR. DODD: All right.</p>
-
-<p class='pindent'>FUNK: I attached no importance whatsoever to this matter. In
-the course of the conversation I put the question, “There is a gold
-deposit from you, from the SS, which we have at the Reichsbank.
-The members of the board of directors have asked me whether the
-Reichsbank can utilize that.” And he said, “Yes.” I did not say a
-word about jewelry or things of that kind or gold teeth or anything
-of that sort. The entire conversation referred only very briefly to
-this thing.</p>
-
-<p class='pindent'>MR. DODD: Do you mean to tell us that an arrangement was
-made with your bank independently of you and Himmler, but by
-somebody in the SS and somebody in your bank—that you were not
-the original person who arranged the matter?</p>
-
-<p class='pindent'>FUNK: That is right. It was not I.</p>
-
-<p class='pindent'>MR. DODD: Who in your bank made that arrangement?</p>
-
-<p class='pindent'>FUNK: Possibly it was Herr Puhl or maybe somebody else from
-the Reichsbank Directorate who made the arrangement with one of
-the gentlemen of the economic section in the SS. And I was only
-informed of it by Herr Puhl very briefly.</p>
-
-<p class='pindent'>MR. DODD: Did you know Herr Pohl, P-o-h-l, of the SS?</p>
-
-<p class='pindent'>FUNK: I imagine it was he. Herr Pohl never spoke to me about it.</p>
-
-<p class='pindent'>MR. DODD: You do not know the man?</p>
-
-<p class='pindent'>FUNK: I must certainly have seen him at some time, but Herr
-Pohl never spoke to me about these matters. I never spoke to him.</p>
-
-<p class='pindent'>MR. DODD: Where did you see him, in the bank?</p>
-
-<p class='pindent'>FUNK: Yes, I saw him once in the bank when he spoke to Puhl
-and other gentlemen of the Reichsbank Directorate during a
-luncheon. I walked through the room and I saw him sitting there
-but I personally never spoke with Herr Pohl about these questions.
-This is all news to me, this entire matter.
-<span class='pageno' title='178' id='Page_178'></span></p>
-
-<p class='pindent'>MR. DODD: Well, do you recall the testimony of the witness
-Hoess in this courtroom not so long ago? You remember the man?
-He sat where you are sitting now. He said that he exterminated
-between 2½ and 3 million Jews and other people at Auschwitz.
-Now, before I ask you the next question I want you to recall that
-testimony and I will point something out for you about it that may
-help you. You recall that he said that Himmler sent for him in
-June 1941, and that Himmler told him that the final solution of the
-Jewish problem was at hand, and that he was to conduct these
-exterminations. Do you recall that he went back and looked over
-the facilities in one camp in Poland and found it was not big enough
-to kill the number of people involved and he had to construct gas
-chambers that would hold 2,000 people at a time, and so his extermination
-program could not have got under way until pretty late in
-1941, and you observe that your assistant and credible friend Puhl
-says it was in 1942 that these shipments began to arrive from
-the SS?</p>
-
-<p class='pindent'>FUNK: No, I know nothing about the date. I do not know when
-these things happened. I had nothing to do with them. It is all
-news to me that the Reichsbank was concerned with these things to
-this extent.</p>
-
-<p class='pindent'>MR. DODD: Then I take it you want to stand on an absolute
-denial that at any time you had any knowledge of any kind about
-these transactions with the SS or their relationship to the victims
-of the concentration camps. After seeing this film, after hearing
-Puhl’s affidavit, you absolutely deny any knowledge at all?</p>
-
-<p class='pindent'>FUNK: Only as far as I have mentioned it here.</p>
-
-<p class='pindent'>MR. DODD: I understand that; there was some deposit of gold
-made once, but no more than that. That is your statement. Let me
-ask you something, Mr. Funk...</p>
-
-<p class='pindent'>FUNK: Yes; that these things happened consistently is all news
-to me.</p>
-
-<p class='pindent'>MR. DODD: All right. You know you did on one occasion at
-least, and possibly two, break down and weep when you were being
-interrogated, you recall, and you did say you were a guilty man;
-and you gave an explanation of that yesterday. You remember
-those tears. I am just asking you now; I am sure you do. I am just
-trying to establish the basis here for another question. You remember
-that happened?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. DODD: And you said, “I am a guilty man.” You told us
-yesterday it was because you were upset a little bit in the general
-situation. I am suggesting to you that is it not a fact that this
-<span class='pageno' title='179' id='Page_179'></span>
-matter that we have been talking about since yesterday has been
-on your conscience all the time and that was really what is on your
-mind, and it has been a shadow on you ever since you have been in
-custody? And is it not about time that you told the whole story?</p>
-
-<p class='pindent'>FUNK: I cannot tell more to the Tribunal than I have already
-said, that is the truth. Let Herr Puhl be responsible before God
-for what he put in the affidavit; I am responsible for what I state
-here. It is absolutely clear that Herr Puhl is now trying to put the
-blame on me and to exculpate himself. If he has done these things
-for years with the SS, it is his guilt and his responsibility. I have
-only spoken to him two or three times about these things, that is,
-about the things I have mentioned here.</p>
-
-<p class='pindent'>MR. DODD: You are trying to put the blame on Puhl, are you
-not?</p>
-
-<p class='pindent'>FUNK: No. He is blaming me and I repudiate that.</p>
-
-<p class='pindent'>MR. DODD: The trouble is, there was blood on this gold, was
-there not, and you knew this since 1942?</p>
-
-<p class='pindent'>FUNK: I did not understand.</p>
-
-<p class='pindent'>MR. DODD: Well, I would like to ask you one or two questions
-about two short documents. It will take but a short time. You told
-the Tribunal yesterday that you had nothing to do with any looting
-of these occupied countries. Do you know what the Roges corporation
-was?</p>
-
-<p class='pindent'>FUNK: Yes. I do not know in detail what they did. I know
-only that it was an organization which made official purchases for
-various Reich departments.</p>
-
-<p class='pindent'>MR. DODD: This Roges corporation purchased on the black
-market in France with the surpluses from the occupation cost fund,
-did it not?</p>
-
-<p class='pindent'>FUNK: I was against this type of purchases in the black market.</p>
-
-<p class='pindent'>MR. DODD: I am not asking you whether you were for it or
-against it. I was simply asking you if it is not a fact that they
-did it.</p>
-
-<p class='pindent'>FUNK: I do not know.</p>
-
-<p class='pindent'>MR. DODD: All right. You had better take a look at Document
-Number 2263-PS, which is written by one of your associates,
-Dr. Landfried, whom you also asked for as a witness here and from
-whom you have an interrogatory. This is a letter dated 6 June 1942,
-addressed to the Chief of the OKW Administrative Office:</p>
-
-<div class='blockquote'>
-
-<p>“In answer to my letter of 25 April 1942”—and so on—“100
-million Reichsmark were put at my disposal from the Occupation
-Cost Fund by the OKW. This amount has already
-<span class='pageno' title='180' id='Page_180'></span>
-been disposed of except for 10 million Reichsmark, since the
-demands of the Roges (Raw Material Trading Company),
-Berlin, for the acquisition of merchandise on the black market
-in France, were very heavy. In order not to permit a stoppage
-in the flow of purchases which are made in the interest of the
-prosecution of the war, further amounts from the occupation
-cost fund must be made available. According to information
-from Roges and from the economic department of the Military
-Commander in France, at least 30 million Reichsmark in
-French francs are needed every 10 days for such purchases.</p>
-
-<p>“As, according to information received from Roges, an increase
-of purchases is to be expected, it will not be sufficient to make
-available the remaining 100 million Reichsmark in accordance
-with my letter of 25 April 1942, but over and above this, an
-additional amount of 100 million Reichsmark will be
-necessary.”</p>
-
-</div>
-
-<p class='pindent'>It is very clear from that letter written by your associate Landfried
-that the Roges corporation, which was set up by your
-Ministry, was engaged in black market operations in France with
-money extorted from the French through excessive occupation costs,
-is it not?</p>
-
-<p class='pindent'>FUNK: That the Roges made such purchases is true. These
-things have already been dealt with here in connection with the
-orders and directives which the Four Year Plan gave for these
-purchases on the black market. However, these are purchases which
-were arranged and approved by the state organization. What we
-especially fought against were the purchases without limits in the
-black market. I already mentioned yesterday that I finally succeeded
-in getting a directive from the Reich Marshal that all purchases in
-the black market were to be stopped because through these
-purchases naturally merchandise was withdrawn from the legal
-markets.</p>
-
-<p class='pindent'>MR. DODD: You told us that yesterday. That was 1943. There
-was not much left in France on the black market or white market
-or any other kind of market by that time, was there? That country
-was pretty well stripped by that time, as is shown in the letters.</p>
-
-<p class='pindent'>FUNK: In 1943 I believe a great deal was still coming from
-France. There was continuous production going on in France and it
-was considerable. The official French statistics show that even in
-1943 large quantities of the total production were being diverted to
-Germany. These quantities were not a great deal less than in 1941
-and ’42.</p>
-
-<p class='pindent'>MR. DODD: Well, in any event I also want you to talk a little
-bit about Russia, because I understood you to say yesterday you
-<span class='pageno' title='181' id='Page_181'></span>
-did not have much to do with that. Schlotterer was your man who
-was assigned to work with Rosenberg, was he not?</p>
-
-<p class='pindent'>FUNK: From the beginning I assigned Ministerial Director
-Dr. Schlotterer to Rosenberg, so that only one economic department,
-the competent department for the Minister for the Eastern Occupied
-Territories, would work in Russia, and not two.</p>
-
-<p class='pindent'>DR. DODD: That is all I want to know. He was assigned. And
-he participated in the program of stripping Russia of machines,
-materials, and goods, which went on for some considerable period
-of time; you knew about it.</p>
-
-<p class='pindent'>FUNK: No, that is not true. This man did not have this task.
-These transactions were handled by the Economic Department East
-which, I think, came under the Four Year Plan. As far as I know
-these transactions were not handled by Minister Rosenberg and certainly
-not by the Ministry of Economics.</p>
-
-<p class='pindent'>MR. DODD: It is a different story on different occasions. I think
-the best way is to read your interrogation. On 19 October 1945 you
-were interrogated here in Nuremberg. You were asked this question:</p>
-
-<div class='blockquote'>
-
-<p>“And part of the plan was to take machines, materials and
-goods out of Russia and bring them into Germany, was it not?”</p>
-
-</div>
-
-<p class='pindent'>And you answered:</p>
-
-<div class='blockquote'>
-
-<p>“Yes, most certainly, but I did not participate in that. But in
-any case it was done.”</p>
-
-</div>
-
-<p class='pindent'>The next question:</p>
-
-<div class='blockquote'>
-
-<p>“Question: Yes, and you yourself participated in the discussions
-concerning these plans, and also your representative,
-Dr. Schlotterer?</p>
-
-<p>“Answer: I myself did not participate.</p>
-
-<p>“Question: But you gave the power to act for you in that
-connection to Dr. Schlotterer?</p>
-
-<p>“Answer: Yes; Schlotterer represented me in economic questions
-in the Rosenberg Ministry.”</p>
-
-</div>
-
-<p class='pindent'>FUNK: No, that is not true. This testimony is completely confused,
-because Schlotterer joined the Rosenberg Ministry. He
-became head of the economic department there. Also, this testimony
-is not true to this extent, since we certainly sent more machines
-into Russia than we took out of Russia. When our troops came to
-Russia everything had been destroyed, and in order to put the
-economy there in order, we had to send large quantities of
-machinery and other goods to Russia.</p>
-
-<p class='pindent'>MR. DODD: Do you mean to say that you did not make these
-answers that I have just read to you when you were interrogated?
-<span class='pageno' title='182' id='Page_182'></span></p>
-
-<p class='pindent'>FUNK: Those answers are not correct.</p>
-
-<p class='pindent'>MR. DODD: You know, it is very interesting that you told us
-yesterday that the answers to the questions put to you by Major
-Gans were incorrect. I posed another interrogation to you yesterday
-and you said that was incorrect. Now a third man has interrogated
-you, and you say that one is incorrect.</p>
-
-<p class='pindent'>FUNK: No, I say what I said is wrong.</p>
-
-<p class='pindent'>MR. DODD: Well, of course, that is what I am talking about.</p>
-
-<p class='pindent'>FUNK: That is wrong.</p>
-
-<p class='pindent'>MR. DODD: I will submit that interrogation in evidence; it is
-not in form to be submitted, but I would like to submit it a little
-later, with the Tribunal’s permission.</p>
-
-<p class='pindent'>THE PRESIDENT: You will inform us, when you do, as to the
-number and so on?</p>
-
-<p class='pindent'>MR. DODD: Yes, I will. I have no further questions.</p>
-
-<p class='pindent'>THE PRESIDENT: Do any of the other prosecutors wish to
-cross-examine?</p>
-
-<p class='pindent'>STATE COUNSELLOR OF JUSTICE M. Y. RAGINSKY (Assistant
-Prosecutor for the U.S.S.R.): After Mr. Dodd’s cross-examination
-I have a few supplementary questions to ask.</p>
-
-<p class='pindent'>Defendant Funk, you testified yesterday that your Ministry at
-the time of the attack on the Soviet Union had very limited functions,
-and that you yourself were not a minister in the true sense of
-the word. In this connection I want to ask you a few questions
-regarding the structure of the Ministry of Economics. Tell me, are
-you familiar with the book by Hans Quecke, entitled, <span class='it'>The Reich
-Ministry of Economics</span>? Do you know about this book?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You do not know? Are you
-familiar with the name of Hans Quecke?</p>
-
-<p class='pindent'>FUNK: Hans Quecke?</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Yes. Hans Quecke. He was a
-counsellor in the Ministry of Economics.</p>
-
-<p class='pindent'>FUNK: Quecke was a ministerial director in the Ministry of
-Economics.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: And he, of course, knew about
-the structure of the Ministry of Economics and about its functions.
-Am I right?</p>
-
-<p class='pindent'>FUNK: Certainly. He must have known about that.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I present this book in evidence
-to the Tribunal as Exhibit USSR-451, and you, Witness, will receive
-<span class='pageno' title='183' id='Page_183'></span>
-a photostat copy of the section of this book in order that you can
-follow me. Please open it at Page 65, last paragraph. Have you
-found the passage in question?</p>
-
-<p class='pindent'>FUNK: I have not found it yet. I can only see...</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Page 65, last paragraph of the
-page.</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You have found it, yes?</p>
-
-<p class='pindent'>FUNK: The structure of the Reich Ministry of Economics?</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: It gives the structure of the
-Ministry of Economics as on 1 July 1941. Your permanent deputy
-was a certain Dr. Landfried. Is that the same Landfried whose
-testimony was presented by the Defense Counsel?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I must ask you to follow the
-text:</p>
-
-<p class='pindent'>“Landfried had under him a special department which was in
-charge of fundamental questions of supply of raw materials
-for the military economy.”</p>
-
-<p class='pindent'>Defendant Funk, I am asking you...</p>
-
-<p class='pindent'>FUNK: Just a moment. Where is that?</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: It is in Section 2, Part II.
-Have you found it?</p>
-
-<p class='pindent'>FUNK: No, there is nothing here about war economy. I do not
-see anything about war economy. Auslands-Organisation...</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Part II, Subparagraph 2.</p>
-
-<p class='pindent'>FUNK: It says nothing about war economy here.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I shall read the entire paragraph
-into the record. We shall get down to the Auslands-Organisation
-in good time.</p>
-
-<p class='pindent'>FUNK: This is a special section.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Yes, a special section.</p>
-
-<p class='pindent'>FUNK: Directly subordinate to the State Secretary here is Section
-S, Special Section, basic questions of the supply of raw
-materials, basic questions of war economy, basic questions of...</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: It is precisely about this war
-economy that I wish to speak. He was also in charge of the fundamental
-market policy and of economic questions in the border territories.
-The ministry consisted of five main departments. Am I
-right?
-<span class='pageno' title='184' id='Page_184'></span></p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: The third main department
-was headed by Schmeer? Am I right?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You had a special department
-entitled, “Elimination of the Jews from Economic Life.” That was
-in 1941? Am I right?</p>
-
-<p class='pindent'>FUNK: Yes; that was the time we dealt with these matters; in
-that department the regulations for carrying out these orders were
-dealt with. We discussed them at length yesterday.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Defendant Funk, I ask you to
-follow the text: “The fourth main department was headed by Ministerialdirektor
-Dr. Klucki, and this department was in charge of
-banks, currency, credit and insurance matters.” Is that a fact?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I presume that you must know
-the structure of your own ministry and we need not waste time in
-further discussions. You must know that the fifth main department
-was headed by State Secretary Von Jagwitz. This department was
-in charge of special economic problems in different countries. The
-fifth section of this department attended to questions of military
-economy connected with foreign economy. Am I right?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: The same department dealt
-with special foreign payments as well as with the blocked deposits...</p>
-
-<p class='pindent'>FUNK: I do not understand. This is the Foreign Trade Department.
-They merely dealt with the technical carrying-out of the
-foreign exports.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Take the section dealing with
-foreign currencies. Have you found the passage?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You have found that it deals
-with blocked deposits. Were you at all connected with the collaboration
-existing between your ministry and the Office of Foreign
-Affairs of the NSDAP? Is my question clear to you?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: And your ministry had a
-special section dealing with these matters?</p>
-
-<p class='pindent'>FUNK: Only this office. That can be explained in this manner.
-The Under State Secretary, Von Jagwitz, who was the head of this
-<span class='pageno' title='185' id='Page_185'></span>
-main department, was also active in the Auslands-Organisation. He
-had created a liaison office for himself in the ministry to deal with
-economic questions which came to the ministry—to this department,
-which was the Export Department, the Foreign Department—via
-the Auslands-Organisation. This concerned Von Jagwitz only, who
-at the same time was active in the Auslands-Organisation and maintained
-a liaison office.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Then we are to understand
-that the Foreign Political Department had special economic functions
-abroad, and that it co-operated with your ministry in this
-sense? Is that correct?</p>
-
-<p class='pindent'>FUNK: No, that is not correct.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Then why did this department
-exist?</p>
-
-<p class='pindent'>FUNK: It was not a department, but the Under State Secretary,
-Von Jagwitz, was at the same time active in the Auslands-Organisation.
-I do not know in what position. He was active in the Auslands-Organisation
-before he was taken into the ministry by the Reich
-Marshal. Then he himself created a kind of liaison office between
-his department and the Auslands-Organisation. That is, frequently
-economists from abroad belonging to the Auslands-Organisation of
-the NSDAP came to Berlin, and these people came to Under State
-Secretary Von Jagwitz and discussed their business with him and
-they reported to him about their experience and knowledge of
-foreign countries. I do not know any more about it.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You wish to convince us that
-this was the personal initiative of Von Jagwitz, and that you as
-minister knew nothing at all about it?</p>
-
-<p class='pindent'>FUNK: Certainly, I knew about it. He did it with my knowledge,
-with my knowledge and approval...</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Please follow the text and you
-had better listen to what I want to say. I read the last paragraph
-which states:</p>
-
-<div class='blockquote'>
-
-<p>“To the Main Department V is attached the office of the
-Auslands-Organisation with the Reich Ministry of Economics.
-This office secures the co-operation between the ministry and
-the Auslands-Organisation of the Nazi Party.”</p>
-
-</div>
-
-<p class='pindent'>This means that no mention is made of any private initiative of
-Von Jagwitz, as you tried to persuade us, but this department really
-was a part of your ministry. Have you found the passage?</p>
-
-<p class='pindent'>FUNK: Yes. Herr Von Jagwitz had this liaison office and essentially
-it was limited to his person. It was a liaison office for collaboration
-with the Auslands-Organisation, which was a perfectly
-<span class='pageno' title='186' id='Page_186'></span>
-natural procedure in many cases. I do not see why this should be
-unusual or criminal.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: We shall come back to the
-question at a later stage. Mr. President, I should like to pass over
-to another part. Would it be convenient to have a short recess now?
-I have a few more questions to ask.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well; the Tribunal will recess.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You mentioned yesterday that
-you were the Plenipotentiary for Economy, but not a plenipotentiary
-in the full sense of the word. Schacht was the true plenipotentiary
-and you were merely a secondary one. Do you remember your article
-entitled “Economic and Financial Mobilization”? Do you remember
-what you wrote at that time?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Well, we are not going to
-waste any time on that question. I shall remind you of it. I submit
-to the Tribunal in evidence Exhibit USSR-452 (Document Number
-USSR-452), an article by Funk, published in the monthly journal of
-the NSDAP and of the German Labor Front, entitled “Der Schulungsbrief,”
-in 1939.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] You wrote at that time:</p>
-
-<div class='blockquote'>
-
-<p>“As the Plenipotentiary for Economy appointed by the
-Führer, I must see to it that during the war all the forces of
-the nation should be secured also from the economic point
-of view.”</p>
-
-</div>
-
-<p class='pindent'>Have you found this passage?</p>
-
-<p class='pindent'>FUNK: Yes, I have found it.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Further on you wrote:</p>
-
-<div class='blockquote'>
-
-<p>“The contribution of economy to the great political aims of
-the Führer demands not only a strong and unified direction
-of all the economic and political measures, but also above all
-careful co-ordination.... Industry; food, agriculture, forestry,
-timber industry, foreign trade, transport, manpower, the regulation
-of wages and prices, finance, credits must be coordinated,
-so that the entire economic potential should serve
-in the defense of the Reich. In order to fulfill this task, the
-authorities of the Reich in charge of these spheres are included
-in my authority in my capacity as Plenipotentiary for
-Economy.”</p>
-
-</div>
-
-<p class='pindent'>Do you confirm that this is precisely what you wrote in 1939?
-<span class='pageno' title='187' id='Page_187'></span></p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Is that question not quite
-clear to you?</p>
-
-<p class='pindent'>THE PRESIDENT: He said, “Yes.”</p>
-
-<p class='pindent'>FUNK: I said, “Yes”; I certainly wrote that.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You confirm it. You know
-about the issue in June 1941 of the so-called “Green File” of Göring?
-It was read into the record here. These are directives for the
-control of economy or, rather, directives for the spoliation of the
-occupied territories of the U.S.S.R. How did you personally participate
-in the planning of these directives?</p>
-
-<p class='pindent'>FUNK: I do not know that. I do not know any more whether
-or not I participated at all.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You do not remember? How
-is it possible that these documents were planned without you, Reich
-Minister of Economics, the President of the Reichsbank, and Plenipotentiary
-for Economy and the armament industry?</p>
-
-<p class='pindent'>FUNK: First, at that time I was no longer Plenipotentiary for
-Economy. I was never plenipotentiary for the armament industry.
-The powers of the Plenipotentiary for Economy, shortly after the
-beginning of the war, were turned over to the Delegate for the
-Four Year Plan. That has been repeatedly confirmed and emphasized
-and what I did personally at that time concerning economy
-in the Occupied Eastern Territories can only have been very, very
-little. I do not remember it because the administration of economy
-in the Occupied Eastern Territories was in charge of the Economic
-Staff East and the Delegate of the Four Year Plan, and that office,
-of course, co-operated with the Rosenberg Ministry for the Occupied
-Eastern Territories. Personally I remember only that, as I mentioned
-yesterday, in the course of time the Ministry of Economics
-sent individual businessmen, merchants, from Hamburg and from
-Cologne, <span class='it'>et cetera</span>, to the East in order to secure private economic
-activities in the Eastern Occupied Territories.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Yes, we have already heard
-what “activities” you dealt with. Your name for spoliation is
-“private economic activities.” Do you remember the Prague Conference
-of December 1941—the meeting of the economic organization—or
-must I remind you of it?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Not necessary?</p>
-
-<p class='pindent'>FUNK: During the interrogations my attention was called by
-General Alexandrov to this speech, and I told him at that time
-<span class='pageno' title='188' id='Page_188'></span>
-already that there was a wrong newspaper report about me which
-I had rectified later or after a short time.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Just a minute, Defendant
-Funk. You are slightly anticipating events. You do not yet know
-what I am going to ask you. First listen to me and then reply. You
-have informed the Tribunal that you never attended any meeting
-of Hitler’s at which the political and economic aims of the attack
-on the Soviet Union were discussed, that you did not know of any
-purpose and of any declared plans of Hitler for the territorial dismemberment
-of the Soviet Union, and yet you yourself declared in
-your statement that “the East will be the future colony of Germany,”
-Germany’s colonial territory. Did you say that the East
-would be the future colonial territory of Germany?</p>
-
-<p class='pindent'>FUNK: No; I denied that in my interrogation. I immediately
-said, after this was presented to me, that I was speaking of the old
-German colonial territories. General Alexandrov can confirm that.
-He questioned me at that time.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I have no intention of calling
-General Alexandrov as a witness. I am only asking you if you did
-say so; was it written as stated?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You stated that you did not
-have to be reminded, but that is precisely what was mentioned in
-your speech, and I am going to quote verbatim from this speech:</p>
-
-<div class='blockquote'>
-
-<p>“The vast territories of the eastern European region, containing
-raw materials which have not yet been opened up to
-Europe, will become the promising colonial territory of
-Europe.”</p>
-
-</div>
-
-<p class='pindent'>And exactly what Europe were you discussing in December 1941
-and what former German territories did you wish to mention to
-the Tribunal? I am asking you.</p>
-
-<p class='pindent'>FUNK: I have not said that. I said that I did not speak about
-colonial territories, but of the old colonization areas of Germany.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Yes, but we are not speaking
-here of old territories; we are speaking here of new territories
-which you wished to conquer.</p>
-
-<p class='pindent'>FUNK: The area had been conquered already. We did not have
-to conquer that. That had been conquered by German troops.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: No. It was not known that
-they were conquered, since you were already retreating from them.</p>
-
-<p class='pindent'>You said that you were the President of the Continental Oil
-Company. This company was organized for the exploitation of the
-<span class='pageno' title='189' id='Page_189'></span>
-oil fields of the Occupied Eastern Territories, especially in the
-districts of Grozny and Baku. Please answer me “yes” or “no.”</p>
-
-<p class='pindent'>FUNK: Not only of the Occupied Territories—this company was
-concerned with oil industries all over Europe. It had its beginnings
-in the Romanian oil interests and whenever German troops occupied
-territories where there were oil deposits, that company, which
-was a part of the Four Year Plan, was given the task by the various
-economic offices, later by the armament industry, of producing oil
-in these territories and of restoring the destroyed oil-producing
-districts. The company had a tremendous reconstruction program.
-I personally was the president of the supervisory board and I
-mainly had to do the financing of that company only.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: That I have already heard.
-But you have not answered my question.</p>
-
-<p class='pindent'>I asked you if this company had as object the exploitation of
-the Grozny and Baku oil wells. Did the oil wells of the Caucasus
-form the basic capital of the Continental Oil Company?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: No? I am satisfied with your
-reply.</p>
-
-<p class='pindent'>FUNK: That is not right. We had not conquered the Caucasus
-and therefore the Continental Oil Company could not be active in
-the Caucasus.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: All right. But Rosenberg at
-that time had already made a report on the conquest and exploitation
-of the Caucasus. Do you remember that here, before the
-Tribunal, a transcript of the minutes of a meeting held at Göring’s
-office on 6 August 1942 with the Reich Commissioners of the Occupied
-Territories was read into the record? Do you remember that
-meeting?</p>
-
-<p class='pindent'>FUNK: Yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Did you participate in this
-meeting?</p>
-
-<p class='pindent'>FUNK: That I do not know. Did they speak about the oil territories
-of the Caucasus in that meeting? That I do not know.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: No, I do not wish to say anything
-as yet. I shall ask you a question and you will answer. I
-ask you: Did you participate in that meeting?</p>
-
-<p class='pindent'>FUNK: I cannot remember. It may very well be.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You do not remember?</p>
-
-<p class='pindent'>FUNK: No.
-<span class='pageno' title='190' id='Page_190'></span></p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: In that case you will be shown
-a document. It has already been submitted to the Tribunal, and
-was here read into the record. It is Exhibit Number USSR-170; it
-has already been presented. As stated at that meeting, the most
-effective measures for the economic spoliation of the Occupied Territories
-of the U.S.S.R., Poland, Czechoslovakia, Yugoslavia, and other
-countries were discussed. At this meeting Defendant Göring addressed
-himself to you. Do you remember whether you were
-present at that meeting or not?</p>
-
-<p class='pindent'>FUNK: Yes, indeed. I remember that. But what Göring told me
-then refers to the fact that, a long time after the Russian territories
-had been occupied, we sent businessmen there to bring into those
-territories any goods that might interest the population. For instance
-it says here: “Businessmen must be sent there.... We must
-send them to Venice to buy up these things in order to re-sell them
-in the occupied Russian territories.” That is what Göring told me
-on that occasion. At least, that is what can be read here.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I did not ask you about that,
-Defendant Funk. Were you present at that meeting or not? Could
-you answer that question?</p>
-
-<p class='pindent'>FUNK: Of course. Since Göring talked to me, I must have been
-there. It was on 7 August 1942.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Defendant Funk, you have
-replied here to certain questions asked by Mr. Dodd regarding the
-increase of the gold reserve of the Reichsbank; I should like to ask
-you the following question: You have stated that the gold reserves
-of the Reichsbank were increased only by the gold reserves of the
-Belgian Bank; but did you not know that 23,000 kilograms of gold
-were stolen from the National Bank of Czechoslovakia and transferred
-to the Reichsbank?</p>
-
-<p class='pindent'>FUNK: I did not know that it had been stolen.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Then what do you know?</p>
-
-<p class='pindent'>FUNK: I stated explicitly here yesterday that the gold deposits
-had been increased mostly by the taking over of the gold of the
-Czech National Bank and the Belgian Bank. I spoke especially of
-the Czech National Bank yesterday.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Yes, but I am not asking you
-about the Belgian Bank, but about the Bank of Czechoslovakia.</p>
-
-<p class='pindent'>FUNK: Yes, I mentioned it yesterday. I said so yesterday...</p>
-
-<p class='pindent'>THE PRESIDENT: He said that just now. He said that he had
-spoken about the Czechoslovakian gold deposits.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Mr. President, he did not
-mention Czechoslovakia yesterday and I am asking him this question
-<span class='pageno' title='191' id='Page_191'></span>
-today. But if he replies to this question in the affirmative, I shall
-not interrogate him any further on the matter, since he will have
-confirmed it.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] I now pass on to the next question,
-to the question of Yugoslavia. On 14 April 1941, that is, prior to the
-complete occupation of Yugoslavia, the Commander-in-Chief of the
-German Army issued a directive for the occupied Yugoslav territories.
-This is Exhibit USSR-140; it has already been submitted to
-the Tribunal. Subparagraph 9 of this directive determines the compulsory
-rate of Yugoslav exchange—20 Yugoslav dinars to the
-German mark. And the same compulsory rate of exchange, which
-had been applied to the Yugoslav dinar, was also applied to the
-Reich credit notes issued by the Reich Foreign Currency Institute.</p>
-
-<p class='pindent'>These currency operations permitted the German invaders to
-export from Yugoslavia at a very cheap rate various merchandise
-as well as other valuables. Similar operations were carried out in
-all the Occupied Eastern Territories, and I ask you: Do you admit
-that such operations were one of the means for the economic spoliation
-of the Occupied Eastern Territories?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Very well.</p>
-
-<p class='pindent'>FUNK: That depends on the relation of the exchange rate. In
-some cases, in particular in the case of France, I protested against
-the underevaluation...</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Excuse me just one minute,
-Defendant Funk. You have already spoken about France and I do
-not want to take up the time of the Tribunal unnecessarily. I think
-you ought to answer my question.</p>
-
-<p class='pindent'>FUNK: At the moment I do not know what the exchange rate
-between the dinar and the mark was at that time. In general,
-insofar as I had anything to do with it—I did not make the directive;
-that came from the Minister of Finance and from the Armed
-Forces—insofar as I had anything to do with it I always urged that
-the rate should not differ too greatly from the rate which existed
-and which was based on the purchasing power. At the moment I
-cannot say what the exchange rate for dinars was at that time. Of
-course, Reich credit notes had to be introduced with the troops
-because otherwise we would have had to issue special requisition
-vouchers, and that would have been much worse than introducing an
-official means of payment, as is now being done here in Germany by
-the Allies, because working with requisition vouchers is much more
-disadvantageous and harmful for the population and the entire
-country than working with a recognized means of payment. We
-invented the Reich credit notes ourselves.
-<span class='pageno' title='192' id='Page_192'></span></p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: In other words, you wish to
-state that you had nothing to do with it and that the entire matter
-rested with the Ministry of Finance. Then tell me please, are you
-aware of the testimony given by your assistant, Landfried, whose
-affidavit was submitted by your defense counsel? You will remember
-that Landfried stated and affirmed something totally different. He
-said that in the determination of exchange rates in the occupied
-territories yours was the final and determining voice. Do you not
-agree with this statement?</p>
-
-<p class='pindent'>FUNK: When these rates were determined, I, as President of the
-Reichsbank, was of course consulted and, as can be confirmed by
-every document, I always advocated that the new rates should be
-as close as possible to the old rates established on the basis of the
-purchasing power, that is to say, no underevaluation.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Consequently, the compulsory
-rate of exchange in the occupied countries was introduced with your
-knowledge and according to your instructions?</p>
-
-<p class='pindent'>FUNK: Not on the basis of my directives. I was only asked for
-advice.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Your advice?</p>
-
-<p class='pindent'>FUNK: I had to give my approval. That is, the Reichsbank
-Directorate formally gave the approval, but...</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I am satisfied with your reply.
-I now go on to the next question. On 29 May 1941 the Commander-in-Chief
-in Serbia issued an order regarding the Serbian National
-Bank, which order has already been submitted as Exhibit USSR-135.
-This order liquidated the National Bank of Yugoslavia and divided
-the entire property of the bank between Germany and her satellites.
-Instead of the National Bank of Yugoslavia a fictitious so-called
-Serbian Bank was created, whose directors were appointed by the
-German Plenipotentiary for National Economy in Serbia. Tell me,
-do you know who was the Plenipotentiary for National Economy in
-Serbia?</p>
-
-<p class='pindent'>FUNK: It was probably the Consul General Franz Neuhausen,
-the representative of the Four Year Plan.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Yes. It was Franz Neuhausen.
-Was he a collaborator in the Ministry of Economics?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: He never worked in the
-Ministry of Economics?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: He never worked there?
-<span class='pageno' title='193' id='Page_193'></span></p>
-
-<p class='pindent'>FUNK: Neuhausen? No, he never worked in the Ministry of
-Economics.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Was he a collaborator of
-Göring’s?</p>
-
-<p class='pindent'>FUNK: Yes, that is correct.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: Well, he was a collaborator of
-Göring’s. Do you admit that such specific currency operations, as a
-result of which the Yugoslavian Government and its citizens were
-robbed of several million dinars, could not have been carried out
-without your participation and without the co-operation of the
-departments within your jurisdiction?</p>
-
-<p class='pindent'>FUNK: I do not know in detail the directives according to which
-the liquidation was carried out and by which the new Serbian
-National Bank was founded, but it goes without saying that the
-Reichsbank participated in such a transaction.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I want to ask you two more
-questions. Together with the unconcealed spoliation, consisting in
-the confiscations and requisitions which the German invaders carried
-out in the Occupied Territories of Eastern Europe, they also exploited
-these countries to the limit of their economic resources by
-applying various exchange and economic measures, such as depreciation
-of currency, seizure of the banks, artificial decrease of prices
-and wages, thus continuing the economic spoliation of the occupied
-territories. Do you admit that this was precisely the policy of
-Germany in the Occupied Territories of Eastern Europe?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: You do not admit this?</p>
-
-<p class='pindent'>FUNK: In no way whatsoever.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I now submit to the Tribunal
-Document USSR-453. This is a new document, consisting of notes
-on a conference held by the Reich Commissioner for the determination
-of prices on 22 April 1943. Price experts from all the occupied
-territories attended this conference. I shall now read into the record
-some excerpts from this document. It says on Page 2:</p>
-
-<div class='blockquote'>
-
-<p>“The 5½ million foreign workers are composed of: 1½ million
-prisoners of war, 4 million civilian workers.”</p>
-
-</div>
-
-<p class='pindent'>The document further says:</p>
-
-<div class='blockquote'>
-
-<p>“1,200,000 from the East, 1,000,000 from the former Polish
-territories... 200,000 citizens of the Protectorate... 65,000
-Croatians, 50,000 remainder of Yugoslavia (Serbia)”—and
-so on.</p>
-
-</div>
-
-<p class='pindent'>Further this document also says in connection with the equalization
-of prices:
-<span class='pageno' title='194' id='Page_194'></span></p>
-
-<div class='blockquote'>
-
-<p>“Price equalization should be operated to the debit of the
-producer countries, that is, through the Central Clearing
-Office, which for the most part is to the advantage of the
-occupied countries.”</p>
-
-</div>
-
-<p class='pindent'>On Page 14 it is stated:</p>
-
-<div class='blockquote'>
-
-<p>“These price deliberations were of no importance for the
-occupied territories, since the main interest did not lie in the
-welfare of the population but in the utilization of all the
-economic forces of the country.”</p>
-
-</div>
-
-<p class='pindent'>On Page 16 we find the following, excerpt:</p>
-
-<div class='blockquote'>
-
-<p>“Concerning the Occupied Eastern Territories, Ministerial
-Counselor Roemer has stated that prices there are far below
-German prices, and so far the Reich has already reaped large
-import profits.”</p>
-
-</div>
-
-<p class='pindent'>Mention is made, on Page 19, of Germany’s clearing debt, which
-amounted to 9,300,000 marks. At the same time the clearing balance
-for Czechoslovakia showed a deficit of 2,000,000; for the Ukraine of
-82,500,000; for Serbia of 219,000,000; for Croatia of 85,000,000; and
-for Slovakia of 301,000,000 marks.</p>
-
-<p class='pindent'>And finally, on Page 22 of the document, it says:</p>
-
-<div class='blockquote'>
-
-<p>“The prices in the Occupied Eastern Territories are kept at
-the lowest possible level. We have already realized import
-profits which are being used to cover Reich debts. Wages are
-generally only one-fifth of what they are in Germany.”</p>
-
-</div>
-
-<p class='pindent'>You must admit that the planned robbery perpetrated by the
-German invaders on so gigantic a scale could never have been
-carried out without your active participation as Minister of Economics,
-President of the Reichsbank, and Plenipotentiary for
-Economy?</p>
-
-<p class='pindent'>FUNK: I must again stress that during the war I was no longer
-Plenipotentiary for Economy. But may I state my position to this
-document? First, there is the figure of the number of the workers
-which were brought from the occupied territories and other foreign
-countries into Germany. I have emphasized, myself, and it has been
-confirmed by other statements, that I was basically against bringing
-in foreign manpower from occupied territories to such an extent as
-to impair the economic order in those territories. I am not even
-speaking about recruitment of forced labor. I also opposed that.
-When an expert whom I do not know says that the deliberations
-about price policy were of no importance for the occupied territories,
-because the main interest did not lie with the welfare of the
-population but in the exploitation of economic forces, I must contradict
-that point of view. In any case, it is not my point of view. I do
-not know who the man was who said that, but it is a matter of
-<span class='pageno' title='195' id='Page_195'></span>
-course that a territory cannot produce well unless the economy is
-kept on a good footing and prices are fixed at a level which enables
-the people to exist and to maintain social order. So I have to
-oppose this point of view also. As far as the clearing debt is concerned,
-I explained yesterday in detail that the clearing system
-was in common usage for Germany, and that I have always recognized
-and confirmed that these clearing debts were genuine debts
-which, after the war, had to be repaid in the currency in which they
-were incurred, based on the purchasing power at that time. I do
-not see any spoliation here.</p>
-
-<p class='pindent'>Moreover, I must again stress the fact that I was not competent
-for the economy in the occupied territories, that I had no power to
-give a directive there and that I participated only insofar as I
-detailed officials to individual offices, just as all other departments
-did, and that, of course, there was co-operation between these offices
-and the department at home. But I cannot assume responsibility for
-the economy in the occupied territories. The Reich Marshal definitely
-admitted that as far as economic questions are concerned, it was his
-responsibility.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I understand. You collaborated,
-and now you do not wish to bear the responsibility. You say that
-the expert has made the statement. But do you remember your
-testimony which you gave on 22 October 1945?</p>
-
-<p class='pindent'>FUNK: I do not know what interrogation...</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: When you were asked about
-the compulsory mobilization of foreign workers you were also asked
-if you knew about it and if you had ever protested against it. Is that
-correct? You replied, “No, why should I be the one to protest
-against it?”</p>
-
-<p class='pindent'>FUNK: That is not correct. I protested against the compulsory
-recruitment of workers and against so many workers having been
-taken out of occupied territory that the local economy could no
-longer produce. That is not correct.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I have one last question to ask
-you. Do you remember an article published in the newspaper Das
-Reich, dated 18 August 1940, in connection with your 50th birthday?
-This article is entitled, “Walter Funk, Pioneer of National Socialist
-Economic Thought.” I shall read into the record a few excerpts
-from this article:</p>
-
-<div class='blockquote'>
-
-<p>“From 1931 on, Walter Funk, as personal economic adviser
-and Plenipotentiary of the Führer for Economics, and therefore
-the untiring middleman between the Party and German
-economy, was the man who paved the way to the new
-spiritual outlook of the German industrialists.
-<span class='pageno' title='196' id='Page_196'></span></p>
-
-<p>“If in the outbreak of 1933 the differences which had existed
-for more than a decade in the public life of Germany between
-politics and economy, and especially between politics and the
-industrialists, disappeared overnight, if from the outset, the
-guiding rule of all labor has been an ever-increasing contribution
-towards a common end, this is due to the pioneering
-work of Funk, who since 1939 has directed his speeches and
-his writings to that end.”</p>
-
-</div>
-
-<p class='pindent'>And in the last paragraph of this article:</p>
-
-<div class='blockquote'>
-
-<p>“Walter Funk remained true to himself because he was, and
-is, and will remain a National Socialist, a fighter who dedicates
-all his work to the idealistic aims of the Führer.”</p>
-
-</div>
-
-<p class='pindent'>The whole world knows what the ideals of the Führer were.</p>
-
-<p class='pindent'>Do you admit that this article gives a correct appreciation of
-your personality and your activities?</p>
-
-<p class='pindent'>FUNK: Generally, yes.</p>
-
-<p class='pindent'>MR. COUNSELLOR RAGINSKY: I have no more questions to ask.</p>
-
-<p class='pindent'>[<span class='it'>Dr. Dix approached the lectern.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: What is it you wish to say, Dr. Dix?</p>
-
-<p class='pindent'>DR. DIX: I have only one question for the witness, which was
-brought up by the cross-examination of Mr. Dodd. I could not put
-this question any sooner, since I am asking it only because of what
-Mr. Dodd said.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, go on.</p>
-
-<p class='pindent'>DR. DIX: Witness, Mr. Dodd has put to you a record of your
-interrogation, according to which Schacht, after leaving the Reichsbank,
-still had a room there. You have heard the testimony of
-Schacht here. He testified clearly that he did not have a room at
-the Reichsbank but that the Reich Government put a room in his
-apartment at his disposal and contributed to the rent, and that the
-Reich Government paid a secretary whom he took with him from
-the Reichsbank, but who was now paid by the Reich Government
-and not by the Reichsbank. That was the testimony of Schacht. By
-your answer given to Mr. Dodd it was not quite clear whether you
-have any doubt about the correctness of that statement by Schacht.
-I ask for your opinion.</p>
-
-<p class='pindent'>FUNK: I do not know anything about the apartment of
-Dr. Schacht. I was told at the time that he still came frequently
-to the Reichsbank and that a room was reserved for him. If that
-information was not correct, then it is not my fault. I do not doubt
-that what Dr. Schacht said is correct. He must know the arrangements
-concerning his apartment better than I do.
-<span class='pageno' title='197' id='Page_197'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, do you wish to re-examine?</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, we have found this final questioning
-of the Defendant Dr. Funk harder to follow than the other
-cases, because the translation caused serious difficulties. I have to
-admit, frankly, that I have been able to understand only part of
-what has been said here. The defendant may probably have had the
-same difficulty and therefore I should like to reserve the right
-Mr. President, after I receive the stenographic record, to make one
-or two corrections, if the transcript should show this to be necessary.
-It has also been made more difficult for us, Mr. President, because
-in the course of cross-examination a large number of extensive
-documents was submitted to the Defendant Dr. Funk. We are
-gradually becoming used to those surprises. Moreover, the Defendant
-Funk was supposed to give answers to questions concerning
-documents which he had not issued which had nothing to do with
-his activities, which he...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, the Tribunal saw no sign at all
-of the Defendant Funk not being able to understand thoroughly
-every question put to him. And I think that therefore there is no
-reason for any protest on your behalf and you should go on to put
-any question you wish to put in re-examination—let us say,
-questions which arise out of the cross-examination.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, on our earphones, at least on this
-side, we could not understand quite a number of questions. Whether
-it applied to these particular earphones or to the entire apparatus
-I do not know.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, if the Defendant Funk did not understand
-any questions put to him, he could have said so. He did not
-say so. He answered all the questions from a logical point of view,
-perfectly accurately. You can ask him if you like, if he did not
-understand any of the questions put to him.</p>
-
-<p class='pindent'>DR. SAUTER: Now, Herr Funk, the Prosecution among other
-things has put to you that you participated in the exploitation, the
-spoliation of France. In this connection is it correct that the
-merchandise, the consumer goods which came from France, were in
-many cases manufactured from raw materials which had come from
-Germany?</p>
-
-<p class='pindent'>FUNK: Certainly. We continuously delivered coal, coke, iron,
-and other raw materials in France, so that they could produce
-goods—we delivered especially those raw materials which the
-French did not have in the country themselves. There was a very
-active exchange of production and a very close productive co-operation
-between the German and French economy. Even the same
-organizational methods were used.
-<span class='pageno' title='198' id='Page_198'></span></p>
-
-<p class='pindent'>DR. SAUTER: Dr. Funk, excerpts from an article which appeared
-on the occasion of your birthday have been read before. Do you
-know the author of that article?</p>
-
-<p class='pindent'>FUNK: Yes, from the earlier years.</p>
-
-<p class='pindent'>DR. SAUTER: Did he receive any factual material from you for
-that article?</p>
-
-<p class='pindent'>FUNK: No.</p>
-
-<p class='pindent'>DR. SAUTER: Did he not ask for it?</p>
-
-<p class='pindent'>FUNK: No, I did not know anything about that article beforehand.
-I did not order a birthday article for myself.</p>
-
-<p class='pindent'>DR. SAUTER: Precisely. So you did not know anything about
-that article and therefore, if I understand you correctly, there is no
-guarantee that what is said in this article is completely true.</p>
-
-<p class='pindent'>FUNK: No. But I find that the tendency of the article is generally
-very good. The tendency...</p>
-
-<p class='pindent'>DR. SAUTER: Witness, the American prosecutor confronted you
-yesterday with the matter of your negotiations with Rosenberg in
-the spring of 1941 and the fact that at that time, a few months
-before the march into Russia, you had these negotiations with
-Rosenberg. He apparently wanted to conclude that you had
-admitted, or wanted to admit, that you had known about the
-intention of Hitler to wage an aggressive war against Russia. You
-did not have a chance to say anything on this yesterday. Therefore
-I should like to give you another opportunity now to state very
-clearly what your belief was at that time concerning the intentions
-of Hitler in the spring of 1941, when you negotiated with Rosenberg,
-and what you knew about any possible causes for war before that
-time.</p>
-
-<p class='pindent'>FUNK: As to the question of the American prosecutor, I did not
-understand it to mean that I knew anything about an aggressive
-war against Russia. The prosecutor spoke explicitly about preparations
-for war with Russia. I myself had already made it quite clear
-that I was completely surprised when the task was assigned to
-Rosenberg, and I was informed by Dr. Lammers as well as by Herr
-Rosenberg, that the reason for the assignment was that the Führer
-was expecting a war against Russia, because Russia was deploying
-large numbers of troops along the entire eastern border, because
-Russia had entered Bessarabia and Bukovina and because his negotiations
-with Molotov brought proof that Russia maintained an
-aggressive policy in the Balkans and the Baltic area, whereby Germany
-felt herself threatened. Therefore preparations had to be
-made on the part of Germany for a possible conflict with Russia.
-Also, concerning the meeting which the American prosecutor has
-<span class='pageno' title='199' id='Page_199'></span>
-mentioned, I said explicitly that the measures concerning currency
-which were discussed there were approved by me, because we
-created thereby stable currency conditions in the Occupied Eastern
-Territory. I was therefore opposed to the idea that the German
-Reichsmark, which the Russian population would not have accepted
-because they could not even read it, should be introduced there.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, the Soviet Russian prosecutor has pointed
-out again and again that you were not only Reichsbank President
-and Reichsminister of Economics, but also Plenipotentiary for
-Economy. You have corrected that already and pointed out that
-from the very beginning when you were appointed, your authority
-as Plenipotentiary for Economy was practically taken over by
-Göring, and that, I believe, in December of 1939, your authority as
-Plenipotentiary for Economy was also formally turned over to
-Göring.</p>
-
-<p class='pindent'>MR. DODD: I wish to enter an objection not only to the form
-this examination is taking, but as to its substance. Counsel is in
-effect testifying himself, and he is testifying about matters that the
-witness testified to on direct examination, and it seems clear to us
-that this cannot be helpful at all to the Tribunal as a matter of
-re-direct examination.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, is it really proper for you to get
-the witness to go over again the evidence which he has already given?
-The only object of re-examination is to elucidate any questions which
-have not been properly answered in cross-examination. The witness
-has already dealt with the topics with which you are now dealing,
-in the same sense which you are now putting into it.</p>
-
-<p class='pindent'>DR. SAUTER: I have repeated the statements only because I
-want to put a question to the witness now concerning a document
-which was submitted only yesterday, which had not been submitted
-until then, and to which I could therefore not take any position; and
-because the Soviet Russian prosecutor has again made the assertion
-here that the defendant also during the war was Plenipotentiary for
-Economy, although that is not correct. Mr. President...</p>
-
-<p class='pindent'>THE PRESIDENT: I have heard myself the witness say over and
-over again that he was not the Plenipotentiary General for Economy
-during the war. He has repeatedly said that.</p>
-
-<p class='pindent'>DR. SAUTER: But it has been repeated from this side. Mr. President,
-yesterday a document was submitted which bears the Document
-Number EC-488.</p>
-
-<p class='pindent'>THE PRESIDENT: What is the document you want to deal with?</p>
-
-<p class='pindent'>DR. SAUTER: Number EC-488. It was presented yesterday, and
-is a letter dated 28 January 1939. On the front page it is marked in
-<span class='pageno' title='200' id='Page_200'></span>
-large letters “Secret.” Here in the original is the heading, which is
-in capital letters, and it reads, “The Plenipotentiary for War
-Economy.” So much for the heading of the letter paper. Then the
-word “War” is crossed out, so that you can read only, “The Plenipotentiary
-for Economy.”</p>
-
-<p class='pindent'>Therefore, before 28 January 1939 the title of Plenipotentiary for
-War Economy must have been changed to a new title, “Plenipotentiary
-for Economy.” I now ask that the defendant...</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, I see. The copy that we have before us
-has not got the word “War” in it at all.</p>
-
-<p class='pindent'>DR. SAUTER: It can be seen on the photostat.</p>
-
-<p class='pindent'>THE PRESIDENT: I see it. But what is the question you want
-to put?</p>
-
-<p class='pindent'>DR. SAUTER: At the time when this letter was written, the
-Plenipotentiary was the Defendant Funk. I should like to ask to
-be permitted to put the question to him, how it can be explained
-that the title of his office—that is, Plenipotentiary for War
-Economy—was changed. The question would be how it could be
-explained that the title of his office, “Plenipotentiary for War
-Economy” had been changed to the new title, “Plenipotentiary for
-Economy.”</p>
-
-<p class='pindent'>FUNK: The reason is...</p>
-
-<p class='pindent'>DR. SAUTER: One moment, Dr. Funk, please.</p>
-
-<p class='pindent'>THE PRESIDENT: I did not ask you to stop putting your
-question. You can put your question. Go on. What is the question?</p>
-
-<p class='pindent'>DR. SAUTER: Go on, Dr. Funk.</p>
-
-<p class='pindent'>FUNK: The reason was that according to the old Reich Defense
-Law, Schacht had been appointed Plenipotentiary for War Economy,
-and on the basis of this second Reich Defense Law, which appointed
-me, I was appointed Plenipotentiary for Economy, because at that
-time it was quite clear that the special tasks concerning war
-economy—that is to say, armament industry, war economy proper—could
-no longer remain with the Plenipotentiary for Economy, but
-that he had essentially to co-ordinate the civilian economic
-departments.</p>
-
-<p class='pindent'>DR. SAUTER: In connection with that, Mr. President, may I call
-your attention to another document which was submitted yesterday.
-That is Number 3562-PS. Here the heading already has the correct
-new title, “Plenipotentiary for Economy.” That is no more “Plenipotentiary
-for War Economy,” and that is also a new document
-which was submitted only yesterday. Mr. President...</p>
-
-<p class='pindent'>MR. DODD: Just to keep the record straight, Mr. President, that
-Document 3562-PS is in evidence, and it was submitted by
-<span class='pageno' title='201' id='Page_201'></span>
-Lieutenant Meltzer at the time he presented the case against the
-individual Defendant Funk.</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, am I not right in thinking that the
-Defendant Funk stated from the outset in his examination in chief
-that he was appointed Plenipotentiary General for Economy?</p>
-
-<p class='pindent'>MR. DODD: Yes, indeed, Sir. That is as I thoroughly understand it.</p>
-
-<p class='pindent'>THE PRESIDENT: And you have not challenged that?</p>
-
-<p class='pindent'>MR. DODD: We have not challenged the fact that he said so. But
-we do challenge the fact that he, in fact, was only for economy. We
-do maintain that he, in fact, had much to do with the war effort as
-the Plenipotentiary.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes. But he was not to be named that?</p>
-
-<p class='pindent'>MR. DODD: No. And that Document EC-488 was not offered,
-anyway, for that purpose, but rather to show that the defendant
-was engaged in talking about what prisoners of war would do after
-an attack.</p>
-
-<p class='pindent'>DR. SAUTER: Yesterday a document was produced about the
-interrogation of a certain Hans Posse. It is Document 3894-PS. The
-witness Hans Posse was formerly State Secretary in the Ministry
-of Economics and as such Deputy Plenipotentiary for Economy. That
-record has been submitted by the Prosecution in order to show that
-allegedly there was a struggle for power, as it says here, between
-Funk and Göring.</p>
-
-<p class='pindent'>However, I should like to quote to the witness a few other points
-from that record so that several other points can also be used as
-evidence:</p>
-
-<p class='pindent'>Witness, State Secretary Hans Posse says, for instance—and I
-should like to ask whether this is still your opinion today—that is
-Document 3894-PS, Page 2 of the German translation, at the bottom
-of the page—he was asked, “How often did you report to Funk in
-connection with your duties as Deputy to the Plenipotentiary?”</p>
-
-<p class='pindent'>The witness answered then, “The Plenipotentiary for Economy
-never really went into action.”</p>
-
-<p class='pindent'>FUNK: I must repeat what I said again and again, and what has
-been confirmed by everybody who has been heard on that question.
-That was a post which was merely on paper.</p>
-
-<p class='pindent'>DR. SAUTER: Then the witness was asked to what final end
-you, Dr. Funk, had worked.</p>
-
-<p class='pindent'>It says, “Dr. Posse, is it correct that the office of Plenipotentiary
-for Economy was established to the final end of uniting all economic
-functions with a view to the preparation for war?”
-<span class='pageno' title='202' id='Page_202'></span></p>
-
-<p class='pindent'>Then the witness answered, “The purpose was what I have just
-said—to co-ordinate the various conflicting economic interests. But
-there was no talk about the preparation for war.”</p>
-
-<p class='pindent'>And on the same page, on Page 4, at the bottom, the witness
-says, I quote:</p>
-
-<div class='blockquote'>
-
-<p>“It is correct that the aim was to co-ordinate all economic
-questions, but the purpose was not to prepare for war. Of
-course, if war preparation should become necessary, it was
-the task of the Plenipotentiary for Economy to concern
-himself with these questions and to act as a co-ordinator.”</p>
-
-</div>
-
-<p class='pindent'>FUNK: Herr Posse was an old, sick man, whom I had put in this
-post. He was formerly State Secretary under Schacht, and when
-I took over the ministry, I received a new State Secretary through
-Göring who, unfortunately, later became insane. And then State
-Secretary Dr. Landfried came to me, and Posse, who formally was
-still in the Ministry of Economics as State Secretary, was without
-a job. Therefore I made him an executive officer attached to the
-Plenipotentiary for Economy.</p>
-
-<p class='pindent'>Here, of course, he had constant difficulties from the very
-beginning. The High Command of the Armed Forces or the War
-Economy Staff wanted to reduce the authority of the Plenipotentiary,
-as can be seen from the letter which was presented yesterday. And
-the civilian economy department did not want to follow his directives
-because they already had been subordinated to and had to
-follow the directives of the Delegate for the Four Year Plan.
-Therefore, as a matter of fact, that unhappy Plenipotentiary for
-Economy held a post which to all intents and purposes existed only
-on paper.</p>
-
-<p class='pindent'>THE PRESIDENT: Would this not be a convenient time to break
-off now?</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='203' id='Page_203'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I have two more questions which
-I wish to put to the Defendant Dr. Funk.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Dr. Funk, before the recess we
-stopped at Document 3894-PS, the testimony of your State Secretary
-Posse. I should like to read one passage on Page 7 of the
-German text and ask you whether you agree with it. The witness
-Posse was asked by the Prosecution whether he, as Deputy Plenipotentiary
-for Economy, knew about the international relations,
-especially about the war situation and so forth, and he says, on
-Page 7, in the middle:</p>
-
-<div class='blockquote'>
-
-<p>“We never knew anything about the international situation
-and we never heard anything about it, and if the international
-situation was mentioned in our discussions we could
-always voice merely our personal opinions.”</p>
-
-</div>
-
-<p class='pindent'>And a few lines further down:</p>
-
-<div class='blockquote'>
-
-<p>“We”—he means apparently himself and you, Dr. Funk—“We
-always hoped that there would be no war.”</p>
-
-</div>
-
-<p class='pindent'>Do you agree with this opinion of your former State Secretary
-Posse?</p>
-
-<p class='pindent'>FUNK: Yes. I have said repeatedly that until the end I did not
-believe that there would be a war, and the same is true of my
-colleagues, and everyone who spoke to me at that time will corroborate
-this. Herr Posse was, of course, still less informed about
-political and military events than I was. Consequently, that also
-applies to him.</p>
-
-<p class='pindent'>DR. SAUTER: Then I have a final question to put, Witness. You
-have seen the film which the Prosecution has presented. Now, you
-were the President of the Reichsbank. Consequently you are familiar,
-possibly only superficially with the conditions in the vaults of
-the Reichsbank, at least, I assume, in Berlin, if not in Frankfurt,
-where the film was taken; and you also know how, especially
-during the war, these items which had been deposited with the
-bank in trunks or packages and the like were safeguarded. Possibly,
-Dr. Funk, on the basis of your own knowledge of the conditions
-you can make a statement regarding this short film which
-we have seen.</p>
-
-<p class='pindent'>FUNK: I was completely confused by this film and most deeply
-shocked. Photography and especially films are always very dangerous
-documents because they show many things in a light different
-from what they really are. I personally have the impression,
-and I believe the Prosecution will probably corroborate this, that
-all these deposits of valuables and this entire collection of valuable
-<span class='pageno' title='204' id='Page_204'></span>
-items came from the potassium mines where, at my instigation, all
-gold, foreign currency and other valuables of the Reichsbank had
-been stored away when, because of a terrific bombing attack on
-Berlin, we were no longer able to work in the Reichsbank. The
-Reichsbank building alone in this one raid on 3 February 1945 was
-hit by 21 high explosive bombs; and it was only by a miracle that
-I was able to reach the surface from this deep cellar together with
-5,000 other people. Gold, foreign currency, and all other deposits
-of valuables were then taken to a potassium mine in Thuringia and
-from there apparently to Frankfurt, I assume. So this concerns, to
-a large extent, normal deposits by customers who had placed their
-valuables, their property, in these safe deposits which could not be
-got at by the Reichsbank. Consequently I cannot tell from this
-film which of these items were deliveries by the SS and which
-were genuine deposits. The Prosecutor certainly is correct when
-he says that no one would deposit gold teeth in a bank. It is, however,
-quite possible that certain functionaries of concentration
-camps made genuine deposits in the Reichsbank which contained
-such articles, to safeguard them for future use. I think that is possible.
-However, in conclusion I must say once more that I had no
-knowledge whatsoever of these things and of the fact that jewelry,
-diamonds, pearls, and other objects were delivered from concentration
-camps to the Reichsbank to such an extent. I knew nothing
-about it; it was unknown to me, and I personally am of the opinion
-that the Reichsbank was not authorized to do this kind of business.
-It is certainly clear from one document, which contains an account
-for the Minister of Finance, that most likely everything from the
-concentration camps was first brought to the Reichsbank and then
-the unfortunate officials of the Reichsbank had to sort it, send it
-on to the Minister of Finance—or rather to the pawnbroker who
-was under the Minister of Finance—and prepare a statement of
-account. Therefore, I must request that someone be examined on
-these matters—first of all Herr Puhl himself, and perhaps someone
-else who was concerned with these things—in order to explain
-what actually took place and above all, to show that I personally
-had no knowledge whatsoever of these matters except for the few
-facts which I myself have described to the Court.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I have finished my interrogation of
-the Defendant Funk, and I should now like to ask permission to
-examine the only witness whom I can call at this time, the witness
-Dr. Hayler.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>MR. DODD: [<span class='it'>Interposing.</span>] Mr. President, may I raise one matter
-before the witness is excused? This Document 3894-PS, that
-we have quoted from and that the defendant has quoted from,
-<span class='pageno' title='205' id='Page_205'></span>
-contains a number of other quotations and I think it would be well
-if we submitted the whole document in the four languages; and I
-shall be prepared to do that so the Tribunal will have the benefit
-of the whole text. So far we have both been quoting from it, but
-I think it would be most helpful to the Court if it had the whole text.</p>
-
-<p class='pindent'>And may we ask, Mr. President, shall we make arrangements
-or should I do anything about getting the witness Puhl here?</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, have you any request to make
-with reference to the witness Puhl, who made an affidavit?</p>
-
-<p class='pindent'>DR. SAUTER: Regarding the witness Emil Puhl I beg to request,
-Mr. President, that he be brought here for cross-examination. I was
-going to make that request in any case.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, certainly, Dr. Sauter, the witness Puhl
-should be brought here. He will be brought here as soon as possible.</p>
-
-<p class='pindent'>DR. SAUTER: Thank you.</p>
-
-<p class='pindent'>THE PRESIDENT: Now the defendant can return to the dock.</p>
-
-<p class='pindent'>[<span class='it'>The witness Dr. Hayler took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name?</p>
-
-<p class='pindent'>HAYLER (Witness): Franz Hayler.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Hayler, how old are you?</p>
-
-<p class='pindent'>HAYLER: 46 years.</p>
-
-<p class='pindent'>DR. SAUTER: Are you a professional civil servant, or how did
-you get into the Ministry of Economics under Dr. Funk?</p>
-
-<p class='pindent'>HAYLER: I was an independent business man and merchant
-and as such first became the head of the “Economic Group Retail
-Trade” within the organization of industrial economy. In this
-capacity I had very close contact with the Ministry of Economics.
-After Minister Funk had been appointed Minister for Economics I
-reported to him regarding the scope of my work, and on that occasion
-I made his acquaintance. When I was then put in charge of
-the “Reich Group Trade,” the working relations between the organization
-directed by me and the Ministry, especially between the
-then State Secretary Landfried and the Minister himself, became
-very friendly.</p>
-
-<p class='pindent'>After the separation of the ministries in the autumn of 1943,
-the main task of the Ministry of Economics was to provide for the
-<span class='pageno' title='206' id='Page_206'></span>
-German people, that is, the civilian population. As head of the
-trade organization I was the person responsible for the sale of
-merchandise, that is, for the procurement of supplies, and during
-a conference with Minister Funk regarding the co-operation between
-trade and the Ministry, Herr Landfried, who was then State Secretary,
-made the suggestion that Minister Funk call me into his Ministry
-and make me his deputy. Herr Landfried believed that under
-the existing conditions he himself was not strong enough to carry
-out this difficult task since the Ministry had been deprived of its
-influence on production. Then, when Minister Funk told him in
-reply to his suggestion that he, Landfried, was the deputy of the
-Minister, Landfried replied that he could not continue to carry out
-these tasks and that he asked to be permitted to retire and proposed
-that I be his successor. About two or three weeks later I was put
-in charge of the affairs of the State Secretary.</p>
-
-<p class='pindent'>DR. SAUTER: When was this conference?</p>
-
-<p class='pindent'>HAYLER: This conference took place in October 1943; my
-appointment came on 20 November 1943.</p>
-
-<p class='pindent'>DR. SAUTER: So that until the autumn of 1943, Dr. Hayler, you
-were employed in your organizations only in an honorary capacity?</p>
-
-<p class='pindent'>HAYLER: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: That was, I think, retail trade?</p>
-
-<p class='pindent'>HAYLER: Yes, trade.</p>
-
-<p class='pindent'>DR. SAUTER: And as from 1943 you became official in the Reich
-Ministry of Economics in the capacity of State Secretary?</p>
-
-<p class='pindent'>HAYLER: I became an official with this position of State Secretary
-on 30 January 1944.</p>
-
-<p class='pindent'>DR. SAUTER: In this position you were one of the closest collaborators
-of Dr. Funk?</p>
-
-<p class='pindent'>HAYLER: I was his deputy.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Hayler, during a conference that we had on
-the day before yesterday, I discussed with you the question of
-whether the Defendant Dr. Funk was a particularly radical man
-or whether, on the contrary, he acted with moderation and consideration
-toward others. What do you have to say to this question
-which may have certain importance in forming an opinion on the
-personality of the Defendant Funk?</p>
-
-<p class='pindent'>HAYLER: Funk is above all very human, and always has been.
-Radicalism is quite foreign to his entire character and being. He is
-more of an artist, a man of very fine artistic feeling and scholarly
-ideas. I believe one can say that at no time was he a doctrinaire
-or dogmatic. On the contrary, he was conciliatory and anxious to
-<span class='pageno' title='207' id='Page_207'></span>
-settle disputes. For this reason, in Party circles in particular, he
-was considered too soft, too indulgent, in fact he was accused many
-times of being too weak. He tried to protect domestic economy
-from political encroachment and from unnecessary severity; and
-because of his respect and his regard for enterprising endeavor and
-out of his own responsibility to economy and to the people, he
-fought against unnecessary intervention in various enterprises even
-during the war. He protected industry against mergers and closures.
-This finally led to his being deprived of the responsibility for production
-in the decisive phase of the war.</p>
-
-<p class='pindent'>I recall from the time of my collaboration with him, when I was
-still in charge of the trade organization, that Funk on various
-occasions interceded for men in the industrial world who were in
-political difficulties. I believe, however, that because of these individual
-cases, such as his intervention on behalf of Consul General
-Hollaender or of Herr Pietsch, and because of his attempts to promote
-peace, he at that time had to expect grave consequences; also
-because of his intervention in the case of Richard Strauss, as is
-surely known, and in similar cases. I do not think these individual
-cases are of such importance as perhaps the following: After the
-catastrophe of 9 November 1938 the process of Aryanization was to
-be intensified in the Ministry of Economics; and at that time a
-few political men were forced upon the Ministry, especially Herr
-Schmeer. I remember distinctly that at that time Landfried in
-particular, as well as Funk, slowed down considerably this radicalization
-of the Ministry; and Funk and the Ministry were blamed
-for doing so.</p>
-
-<p class='pindent'>After 8 and 9 November I once had a conference regarding the
-events of that date with Himmler, in which I voiced my complaints.
-Himmler on that occasion finally reproached both Funk and myself
-by saying, among other things:</p>
-
-<div class='blockquote'>
-
-<p>“Finally, you people on the economic side and connected with
-the economic management are also to blame that things have
-gone too far. People like Herr Schacht cannot be expected to
-do anything except go slow all the time and oppose the will
-of the Party; but if you and Funk and all you people on the
-economic side had not slowed things down so much, these
-excesses would not have happened.”</p>
-
-</div>
-
-<p class='pindent'>DR. SAUTER: Yes, Dr. Hayler; another question. You also worked
-with Dr. Funk in matters concerning the economy of the occupied
-territories. Dr. Funk is accused of having played a criminal part
-in despoiling the occupied territories as well as in destroying their
-currency and economic systems. Could you enlighten the Court as
-briefly as possible on the Defendant Funk’s attitude and activities?
-As briefly as possible.
-<span class='pageno' title='208' id='Page_208'></span></p>
-
-<p class='pindent'>HAYLER: I believe two facts must be stated first of all: First,
-the influence of the Ministry of Economy on the occupied territories
-was relatively limited. Secondly, during the year in which I was
-in the Ministry these questions were no longer particularly important.</p>
-
-<p class='pindent'>Generally speaking, the position was as follows: Funk was constantly
-accused of thinking more of peace than of war. The opinions
-he proclaimed both in his speeches and in print referred to
-a European economic policy; and I assume that these talks and
-publications or articles are before the Court.</p>
-
-<p class='pindent'>DR. SAUTER: Yes, they are here.</p>
-
-<p class='pindent'>HAYLER: Funk looked at the occupied territories from exactly
-the same point of view. He raised repeated objections to the over-exploitation
-of the occupied territories and expressed the view that
-wartime co-operation should form the basis of later co-operation
-in peace. His view was that confidence and willingness to co-operate
-should be fostered in the occupied territories during the war. He
-expressed the view that the black market cannot be combated by
-the black market and that, since we were responsible for the occupied
-territories, we must avoid anything likely to disturb the currency
-and economic system of these territories.</p>
-
-<p class='pindent'>I think I remember that he also discussed the question with
-the Reich Marshal and defended his own point of view. He also
-repeatedly opposed unduly heavy occupation expenses, and always
-favored the reduction of our own expenditure, that is, of German
-expenditure in the occupied territories. In other words, he regarded
-the occupied territories in exactly the same way as other European
-countries; and this attitude is best illustrated by the speech he
-made in Vienna, I believe, in which he publicly acknowledged as
-genuine debts the clearing debts, the high totals of which were due
-mainly to differences in price, that is, inflationist tendencies, in the
-countries which delivered the goods.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Hayler, the Defendant Funk is furthermore
-accused of playing a criminal part in the enslavement of foreign
-workers. This accusation applies particularly to the period during
-which you were a co-worker of Dr. Funk. Can you tell us briefly
-how Funk thought and acted in regard to this point?</p>
-
-<p class='pindent'>HAYLER: There can be no question of Funk’s co-operation in
-questions regarding the employment of foreign labor at this time,
-but only within the scope of his responsibility in the Central Planning
-Board. But it remains to be seen whether the Central Planning
-Board was at all responsible for the employment of workers
-or whether the Central Planning Board did nothing more than
-ascertain the manpower needs of the various production spheres.
-<span class='pageno' title='209' id='Page_209'></span>
-However, regardless of what the tasks of the Central Planning
-Board may have been, Funk’s position in the Central Planning
-Board was the following:</p>
-
-<p class='pindent'>Funk, as Minister of Economy, was responsible for the supplies
-for the civilian population and for export. In the period following
-the separation of the ministries, no additional foreign worker I
-believe was employed in the production of supplies for civilians or
-for export. On the contrary, Funk was constantly confronted with
-the fact that during that time German and foreign workers were
-continually being removed from the production of consumer goods
-and put into armament production. Consequently, I cannot imagine
-that an accusation of this sort can be made against Funk with
-reference to this period of time.</p>
-
-<p class='pindent'>On this occasion I should like to emphasize another point which
-seems important to me. Provisioning the foreign workers was a
-very serious question. I believe that even Herr Sauckel will corroborate
-the fact that, when this question came up, Funk was at
-once ready—even though there was already a great scarcity of
-provisions for the German people due to many air raids and destructions—to
-release large quantities of supplies and put them at the
-disposal of the foreign workers.</p>
-
-<p class='pindent'>DR. SAUTER: If I understand you correctly, he tried to see to
-it that the foreign workers who had to work in Germany were
-supplied as well as was possible with consumer articles: food, shoes,
-clothes, and so on.</p>
-
-<p class='pindent'>HAYLER: Particularly shoes and clothing; Funk was not the
-competent authority for food.</p>
-
-<p class='pindent'>DR. SAUTER: Shoes and clothing?</p>
-
-<p class='pindent'>HAYLER: Yes, I have specific knowledge of this. And as a
-result Funk had considerable difficulty; for the Gauleiter, in view
-of the great scarcity of goods, did their best to secure supplies for
-the inhabitants of their own Gaue for whom they were responsible,
-and in so doing used every means which came to hand. Funk
-constantly had to oppose the arbitrary acts of the Gauleiter, who
-broke into the supply stores in their Gaue and appropriated stocks
-intended for the general use.</p>
-
-<p class='pindent'>DR. SAUTER: Dr. Hayler, do you know whether Dr. Funk—I am
-still referring to the time when you worked with him—represented
-the viewpoint that the foreign worker should not be brought to
-Germany to work here but that rather the work itself should be
-taken from Germany into the foreign countries so that the foreign
-worker could perform his work in his home country and remain at
-home? Please answer that.
-<span class='pageno' title='210' id='Page_210'></span></p>
-
-<p class='pindent'>HAYLER: I know very well that Funk represented that viewpoint;
-and it is in accordance with his general attitude, for the
-political disquiet and dissatisfaction which accompany the displacement
-of such large masses of human beings temporarily uprooted
-was in opposition to the policy of appeasement and reconstruction
-which was definitely Funk’s goal.</p>
-
-<p class='pindent'>DR. SAUTER: I now come to the last question which I wish to
-put to you, Dr. Hayler. When the German armies retreated and
-when German territories were occupied by enemy armies, difficulties
-arose regarding the supplying of these territories with money.
-At that time Hitler is supposed to have planned a law according to
-which the acceptance and passing on of foreign occupation money
-was to be punished even by death. I am not interested now,
-Dr. Hayler, in finding out why Hitler planned to do this; but I am
-interested in finding out, if you can tell me, how the Defendant
-Funk reacted to this demand by Hitler and what success he had.</p>
-
-<p class='pindent'>HAYLER: Two facts can be established in regard to this point,
-which should be of interest to the Tribunal. I have rarely seen
-Funk as depressed as at that time, after he had received information
-about the so-called “scorched earth decree.” I believe he
-was the first minister to issue at that time two very clear decrees,
-one from the Ministry of Economics, in which he gave definite
-instructions that wherever German people were an administration
-of economy in some sort of form must remain; where it is necessary
-that people be provided for, the State must continue to provide for
-these people.</p>
-
-<p class='pindent'>The second decree was issued at the same time by the President
-of the Reichsbank, in which he decreed that the money market had
-to be cared for by the remaining offices of the Reichsbank in the
-same way that economy was to be cared for.</p>
-
-<p class='pindent'>Regarding your question itself, I recall very distinctly that the
-Führer himself, it was said, had demanded of the Ministry of Economics
-the issuing of a legal regulation according to which the
-acceptance of occupation money was forbidden to every German
-on pain of death. Herr Funk opposed this demand very energetically,
-I believe with the help of Herr Lammers. He himself telephoned
-headquarters repeatedly and finally succeeded in having the
-Führer’s directive withdrawn.</p>
-
-<p class='pindent'>DR. SAUTER: Have you finished, Dr. Hayler?</p>
-
-<p class='pindent'>HAYLER: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I have no further questions to put
-to the witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Do the other Defendants’ Counsel wish to ask
-any questions?
-<span class='pageno' title='211' id='Page_211'></span></p>
-
-<p class='pindent'>[<span class='it'>No response.</span>]</p>
-
-<p class='pindent'>Does the Prosecution wish to cross-examine?</p>
-
-<p class='pindent'>MR. DODD: When did you join the Nazi Party, Mr. Witness?</p>
-
-<p class='pindent'>HAYLER: Did I understand you correctly—when did I become
-a member of the NSDAP?</p>
-
-<p class='pindent'>MR. DODD: That is right.</p>
-
-<p class='pindent'>HAYLER: December 1931.</p>
-
-<p class='pindent'>MR. DODD: Did you hold any offices in the Party at any time?</p>
-
-<p class='pindent'>HAYLER: No; I never held office in the Party.</p>
-
-<p class='pindent'>MR. DODD: You were the head of a trade group in 1938, the
-Reichsgruppe “Handel”?</p>
-
-<p class='pindent'>HAYLER: I was the head of the Economic Group “Retail Trade”
-from 1934 on, and from 1938 on, head of the Reich Group “Trade.”
-This organization was a part of the organization of industrial economy
-and was under the Reich Ministry of Economics.</p>
-
-<p class='pindent'>MR. DODD: Membership in the group that you were the head
-of was compulsory, wasn’t it?</p>
-
-<p class='pindent'>HAYLER: Yes.</p>
-
-<p class='pindent'>MR. DODD: When did you join the SS?</p>
-
-<p class='pindent'>HAYLER: I joined the SS in 1933, in the summer.</p>
-
-<p class='pindent'>MR. DODD: That was a kind of Party office, wasn’t it, of
-a sort?</p>
-
-<p class='pindent'>HAYLER: No, it was not an office. I became connected with the
-SS because of the fact that in Munich 165 businessmen were locked
-up and because I knew Himmler from my student days—I had not
-seen him again until then—the businessmen in Munich asked me
-to intercede for them in the summer of 1933. But I had no office
-in the Party or in the SS.</p>
-
-<p class='pindent'>MR. DODD: When did you become a general in the SS?</p>
-
-<p class='pindent'>HAYLER: I never was a general in the SS. After I had been
-appointed State Secretary, the Reichsführer bestowed on me the
-rank of a Gruppenführer in the SS.</p>
-
-<p class='pindent'>MR. DODD: A Gruppenführer—isn’t that the equivalent of a
-general in the SS?</p>
-
-<p class='pindent'>HAYLER: Yes and no. In the SS there was the rank of Gruppenführer
-and there was the rank of Gruppenführer and general of
-the Police or of the Waffen-SS; but the Gruppenführer was not a
-general if it was only an honorary rank. This could easily be seen
-from our uniforms, because we did not wear a general’s epaulets
-or a general’s uniform.
-<span class='pageno' title='212' id='Page_212'></span></p>
-
-<p class='pindent'>MR. DODD: You know Ohlendorf pretty well, don’t you?</p>
-
-<p class='pindent'>HAYLER: Yes.</p>
-
-<p class='pindent'>MR. DODD: He worked for you at one time. He was under your
-supervision. Isn’t that so?</p>
-
-<p class='pindent'>HAYLER: I worked with Ohlendorf from 1938 on.</p>
-
-<p class='pindent'>MR. DODD: You know, he has testified before this Tribunal that
-he supervised the murdering of 90,000 people; did you know that?</p>
-
-<p class='pindent'>HAYLER: I heard about that.</p>
-
-<p class='pindent'>MR. DODD: Did you know about it at the time that it was
-going on?</p>
-
-<p class='pindent'>HAYLER: No.</p>
-
-<p class='pindent'>MR. DODD: Did you know Pohl, the SS man—P-o-h-l?</p>
-
-<p class='pindent'>HAYLER: May I ask you for that name again?</p>
-
-<p class='pindent'>MR. DODD: Pohl—P-o-h-l?</p>
-
-<p class='pindent'>HAYLER: I do not remember knowing an SS man Pohl.</p>
-
-<p class='pindent'>MR. DODD: Do you know a man called Obergruppenführer Pohl
-of the SS?</p>
-
-<p class='pindent'>HAYLER: No—Yes, I know an Obergruppenführer Pohl. Obergruppenführer
-Pohl was the chief of the administrative office of
-the SS.</p>
-
-<p class='pindent'>MR. DODD: Did you have conversations and meetings with him
-from time to time?</p>
-
-<p class='pindent'>HAYLER: Officially I had a few conversations with Pohl. Usually
-they were very unpleasant.</p>
-
-<p class='pindent'>MR. DODD: Well, that’s another matter. How often would you
-say, between 1943 and the end, the time of your surrender, that
-you met with Pohl to discuss matters of mutual interest between
-the SS and your own Ministry of Economics? Approximately, because
-I don’t expect you to give an accurate account, but about how
-many times, would you say?</p>
-
-<p class='pindent'>HAYLER: I must give a short explanation about this. Between
-the...</p>
-
-<p class='pindent'>MR. DODD: Give that afterwards. Give me the figure first.</p>
-
-<p class='pindent'>HAYLER: Yes. Perhaps three or four times, perhaps only twice.
-I do not know exactly.</p>
-
-<p class='pindent'>MR. DODD: Are you telling us three or four times a year or
-three or four times during the whole period between 1943 and 1945?</p>
-
-<p class='pindent'>HAYLER: During my time in office, yes, three or four times; it
-was only one year.
-<span class='pageno' title='213' id='Page_213'></span></p>
-
-<p class='pindent'>MR. DODD: Did you talk to him about the Reichsbank’s or the
-Ministry of Economics’ co-operating in the financing of the building
-of factories near the concentration camps?</p>
-
-<p class='pindent'>HAYLER: No.</p>
-
-<p class='pindent'>MR. DODD: You know about that, do you?</p>
-
-<p class='pindent'>HAYLER: No. This question was never discussed with me.</p>
-
-<p class='pindent'>MR. DODD: What did you talk to him about?</p>
-
-<p class='pindent'>HAYLER: A great controversy had arisen between the Ministry
-of Economics and the SS because after I had taken over the State
-Secretariat in the Ministry of Economics, Himmler had instructed
-me to turn over to the SS a factory which belonged to the Gau
-Berlin. I fought against this and did not obey Himmler’s instructions.
-The files about this must surely still be in existence. I then
-was instructed to discuss this matter with Pohl. In these conferences
-and in a personal conversation which Himmler requested
-and ordered, I still fought against Himmler’s instructions, because
-I was fundamentally against the SS having industrial enterprises
-of its own.</p>
-
-<p class='pindent'>MR. DODD: Did you talk to the Defendant Funk about this
-difficulty with Himmler and Pohl?</p>
-
-<p class='pindent'>HAYLER: Yes, because these difficulties resulted in Himmler’s
-writing me a letter in December in which he told me that he
-ceased to have confidence in me and that he had no desire to
-work with me any more. I reported this to the Defendant Funk
-in December.</p>
-
-<p class='pindent'>MR. DODD: Did Funk tell you that his bank was helping
-Himmler out in the building of factories near the concentration
-camps?</p>
-
-<p class='pindent'>HAYLER: I know nothing about that.</p>
-
-<p class='pindent'>MR. DODD: You never heard of that before now?</p>
-
-<p class='pindent'>HAYLER: Up until now I have never heard anything about
-Funk’s or the Ministry of Economics’ co-operation in the financing
-of such buildings or about anything of the sort.</p>
-
-<p class='pindent'>MR. DODD: It is perfectly clear, I think, but I want to make
-certain, that from 1943 to 1945, while you were the deputy to
-Funk in the Ministry of Economics, the questions of purchasing
-on the black market, and so on, in the occupied countries ceased
-to be of any real importance, didn’t they? You said that; I understood
-you to say that a few minutes ago yourself.</p>
-
-<p class='pindent'>HAYLER: In 1944—and my time in office virtually did not
-start until 1944, since in December I had a Ministry which was
-totally bombed out and we did not get started working again
-<span class='pageno' title='214' id='Page_214'></span>
-until January 1944—these questions were no longer of decisive
-importance, since a process of retrogression had already set in.</p>
-
-<p class='pindent'>MR. DODD: All right. You also were, Mr. Witness, at the Vienna
-speech to which you referred, which was made in 1944; and it had
-nothing to do with the occupied countries but was directed only at
-the satellite states. Are you aware of that or not?</p>
-
-<p class='pindent'>HAYLER: The speech in Vienna?</p>
-
-<p class='pindent'>MR. DODD: Yes, the speech in Vienna in 1944.</p>
-
-<p class='pindent'>HAYLER: Yes, it is true; I have already said that. Both the
-speech in Königsberg and the speech in Vienna did not deal
-directly with the occupied territories, but with Europe as a
-whole. I...</p>
-
-<p class='pindent'>MR. DODD: Did it deal with the occupied territories directly
-or indirectly? Now, have you read that speech?</p>
-
-<p class='pindent'>HAYLER: I heard the speech. Quite definitely it had nothing to
-do with them directly.</p>
-
-<p class='pindent'>MR. DODD: Finally, in view of your testimony concerning
-Funk and what he thought about forced labor, you know, don’t
-you, that he took an attitude of unconcern about the forcing of
-people to come to Germany? Do you know that?</p>
-
-<p class='pindent'>HAYLER: No.</p>
-
-<p class='pindent'>MR. DODD: Well, you know he has said on interrogation that
-he didn’t bother his head about it, although he knew that people
-were being forced to go to Germany against their will. Are you
-aware of that?</p>
-
-<p class='pindent'>HAYLER: No, I am not aware of that. I had with Funk...</p>
-
-<p class='pindent'>MR. DODD: All right. If you did know it, would that make
-some difference to you; and would you change your testimony some?</p>
-
-<p class='pindent'>HAYLER: I am not aware of the fact that Funk is supposed to
-have had this attitude or...</p>
-
-<p class='pindent'>MR. DODD: Very well. Perhaps I can help you by reading to
-you from his interrogation of 22 October 1945, made here in
-Nuremberg. Among other things, he was asked these few questions
-and made a few answers:</p>
-
-<div class='blockquote'>
-
-<p>“As a matter of fact, you were present at many meetings
-of the Central Planning Board, were you not?”</p>
-
-</div>
-
-<p class='noindent'>Funk answered and said:</p>
-
-<div class='blockquote'>
-
-<p>“I was present at the meetings of the Central Planning
-Board only when something was required for my small
-sector; that is to say, something which had to do with the
-<span class='pageno' title='215' id='Page_215'></span>
-export and consumer goods industries as, for example, iron.
-I had to put up a fight on each occasion to get just a few
-thousand tons for my consumer goods industry.”</p>
-
-</div>
-
-<p class='noindent'>The next question was:</p>
-
-<div class='blockquote'>
-
-<p>“Yes, but during those meetings you attended, you heard,
-did you not, discussions concerning forced labor?”</p>
-
-</div>
-
-<p class='noindent'>Funk answered: “Yes.”</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘And you knew from those meetings that the
-policy was to bring in more and more foreign workers to
-the Reich against their will?’ ”</p>
-
-</div>
-
-<p class='noindent'>Funk answered: “Yes, certainly.”</p>
-
-<div class='blockquote'>
-
-<p>“Question: ‘And you never objected to that, I take it?’ ”</p>
-
-</div>
-
-<p class='noindent'>Funk answered:</p>
-
-<div class='blockquote'>
-
-<p>“No, why should I have objected? It was somebody else’s
-task to bring these foreign workers into the Reich.</p>
-
-<p>“Did you believe it was legal to take people against their
-will from their homes and bring them into Germany?” was
-the last question that I want to quote to you. He answered:
-“Well, many things happen in wartime which aren’t strictly
-legal. I have never racked my brains about that.”</p>
-
-</div>
-
-<p class='pindent'>Now, if you know that to be his attitude from his statements
-made under oath on an interrogation here, would that change
-your view about Funk and would it cause you to change the
-testimony which you have given before the Tribunal here today?</p>
-
-<p class='pindent'>HAYLER: I can testify only to those things which I myself
-know. I cannot remember any such statements by Funk. I do
-know and I remember distinctly that we frequently spoke about
-the occupied territories, about the later development in Europe
-which was to, and could, result from co-operation. We also spoke
-about the procuring of workers and that Funk fundamentally
-had a viewpoint different from the one that prevailed and that
-he was not in agreement with these things. I can merely repeat
-this and if you question me here as a witness, I can say only
-what I know.</p>
-
-<p class='pindent'>MR. DODD: Did you go over all of your questions and answers
-with Dr. Sauter before you took the stand? You knew what
-you were going to be asked when you came here, didn’t you?</p>
-
-<p class='pindent'>HAYLER: Dr. Sauter gave me an idea what he would question
-me about and what he was interested in.</p>
-
-<p class='pindent'>MR. DODD: I have no further questions.</p>
-
-<p class='pindent'>THE PRESIDENT: Do any other members of the Prosecution
-wish to cross-examine? Dr. Sauter, do you want to re-examine?
-<span class='pageno' title='216' id='Page_216'></span></p>
-
-<p class='pindent'>DR. SAUTER: No.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness can retire.</p>
-
-<p class='pindent'>[<span class='it'>The witness left the stand.</span>]</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, there are a few interrogatories
-missing, some of which have already arrived and are being translated.
-I request that at a later occasion, perhaps after the case
-against Defendant Schirach, I be permitted to read these interrogatories.
-And then, Mr. President, I should like to say something
-of a general nature. I have already read extracts from various
-documents and requested that all of them be admitted as evidence
-and I should like to repeat this request for all these documents.
-With that I shall have finished my case for Funk.</p>
-
-<p class='pindent'>Mr. President, may I make another request of you at this
-moment, namely, that during the next few days the Defendant
-Von Schirach be excused from being present at the sessions in
-Court so that he can prepare his case. In his absence I shall look
-after his interests or else, when I am not here, my colleague
-Dr. Nelte will. Thank you very much.</p>
-
-<p class='pindent'>THE PRESIDENT: Who is appearing for the Defendant
-Schirach?</p>
-
-<p class='pindent'>DR. SAUTER: I am; and when I cannot be present, then Dr. Nelte
-will. One of us will always be in Court and look after his interests.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, very well, Dr. Sauter. Now the Tribunal
-will adjourn for 10 minutes.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, there was a document which
-you didn’t refer to. I think it was an affidavit of a witness called
-Kallus. Were you offering that in evidence? It was an interrogatory
-of Heinz Karl Kallus.</p>
-
-<p class='pindent'>DR. SAUTER: The Kallus interrogatory, Mr. President, has
-already arrived and at the moment it is in the process of translation,
-I shall submit it as soon as the translation has been received
-by the Prosecution.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, we have got a translation into English.</p>
-
-<p class='pindent'>DR. SAUTER: I believe, Mr. President, that what you have
-is an affidavit by Kallus, and in addition there is a Kallus interrogatory,
-which is in process of translation and which I shall
-submit later.
-<span class='pageno' title='217' id='Page_217'></span></p>
-
-<p class='pindent'>THE PRESIDENT: This takes the form of an interrogatory,
-questions and answers, what I have in my hand. I am only asking
-whether you want to offer that.</p>
-
-<p class='pindent'>DR. SAUTER: Yes, I offer that in evidence. I request that
-judicial notice be taken of it.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well; you gave it a number then, did
-you? What number will it be?</p>
-
-<p class='pindent'>DR. SAUTER: Exhibit Number 5, if you please.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>DR. SAUTER: Thank you very much.</p>
-
-<p class='pindent'>THE PRESIDENT: Now, Dr. Kranzbühler.</p>
-
-<p class='pindent'>FLOTTENRICHTER OTTO KRANZBÜHLER (Counsel for Defendant
-Dönitz): Mr. President, first I should like to ask the permission
-to have a secretary, in addition to my assistant, in the
-courtroom, in order to facilitate the submission of documents.</p>
-
-<p class='pindent'>With the permission of the Tribunal, I shall first submit a number
-of documents; and I shall use the document book of the Prosecution
-and the document books which I have submitted. These document
-books consist of four volumes. The table of contents is in Volume I
-and in Volume III.</p>
-
-<p class='pindent'>In the first document of the document book of the Prosecution,
-Exhibit USA-12 (Document Number 2887-PS), I should like to correct
-an error in translation which may be of significance. It says
-there, in the German text, under “1939,” “Konteradmiral, Befehlshaber
-der Unterseeboote,” and that in the English text has been
-translated by “Commander-in-Chief.” The correct translation should
-be “Flag Officer of Submarines.” That point is of importance in
-regard to the fact that Admiral Dönitz, until his appointment as
-Commander-in-Chief of the Navy in 1943, was not a member of the
-group which the Prosecution terms criminal.</p>
-
-<p class='pindent'>I should like to call the attention of the Tribunal back to Exhibit
-GB-190 (Document Number D-652 (a-b)). That is a sea-chart which
-the Prosecution has submitted. This chart shows the position of
-the German submarines to the west of England on 3 September
-1939, and the Prosecution uses that chart as evidence for the
-question of aggressive war.</p>
-
-<p class='pindent'>The Prosecution says, rightly, that these U-boats must have
-left their home bases at an earlier date. The first document, which
-I offer as Dönitz-1, is to prove, first, that this belongs in the category
-of measures resorted to in times of crisis such as were taken
-by every nation in Europe at this time, and that they were in
-no way preparatory measures for an aggressive war against England,
-because such a war was not planned.
-<span class='pageno' title='218' id='Page_218'></span></p>
-
-<p class='pindent'>I shall read from this document—document book, Page 1. It
-is an excerpt from the War Diary of the Naval Operations Staff
-of September 1939, and I read the entry of 15 August:</p>
-
-<div class='blockquote'>
-
-<p>“Prepared (for Case White) the following measures:”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: What page?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Page 1 of the document
-book, Volume I.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER:</p>
-
-<div class='blockquote'>
-
-<p>“15. 8. Prepared (for Case White) the following measures:</p>
-
-<p>“On 15. 8. <span class='it'>Spee</span> and all Atlantic submarines ready to sail.</p>
-
-<p>“On 22. 8. Transport <span class='it'>Westerwald</span> ready to sail.</p>
-
-<p>“On 25. 8. <span class='it'>Deutschland</span> ready to sail.”</p>
-
-</div>
-
-<p class='noindent'>And then we find the list of these ships:</p>
-
-<div class='blockquote'>
-
-<p>“21. 8. Report B-service about emergency measures of French
-fleet.</p>
-
-<p>“23. 8. Report B-service: Continuation of French emergency
-measures of fleet to 3rd grade. English and French blockade
-measures off ports.</p>
-
-<p>“25. 8. B-service reports: German and Italian steamers are
-being watched and reported by France.”</p>
-
-</div>
-
-<p class='noindent'>And then the instructions:</p>
-
-<div class='blockquote'>
-
-<p>“31. 8. Arrival Order I of OKW for conduct of war: Forcible
-solution in the East, attack against Poland 1 September,
-0445 hours. In the West responsibility for starting hostilities
-unequivocally to be left to England and France. Strictly
-respect neutrality of Holland, Belgium, Luxembourg, Switzerland.
-The western border not to be crossed. At sea no
-hostile actions or such that could be interpreted as hostile.
-Air Force only in defense.</p>
-
-<p>“In case of opening of hostilities by Western Powers: Defense
-only, economical use of forces. Reserve start of aggressive
-operations. The army to hold the ‘Westwall.’ Naval economic
-war concentrated against England. To augment effect probable
-declaration of zones of danger. Prepare these and
-submit them. The Baltic to be safeguarded against enemy
-invasion.”</p>
-
-</div>
-
-<p class='noindent'>So far this document. With the next document, Dönitz-2, I should
-like to prove that the British submarines, too, were active before
-the start of the war and appeared in the Bay of Helgoland at the
-very beginning of the war. It is on Page 2 of the document book.
-I probably need only point out that as early as 1 September electric
-<span class='pageno' title='219' id='Page_219'></span>
-motor noises were heard in the Bay of Helgoland and that on
-4 September several reports arrived concerning English submarines
-sighted in the Bay of Helgoland.</p>
-
-<p class='pindent'>I come now to the document with reference to which Admiral
-Dönitz is accused of participating in the planning of the attack
-against Norway. That is Exhibit GB-83 (Document Number C-5).
-The Prosecution has submitted it as proof of the fact that Admiral
-Dönitz played a decisive part in the occupation of Norway. I shall
-refer to this document in more detail when examining the witness.
-I merely want to establish certain dates now. On the document—and
-I am about to submit the original to the Tribunal—there is
-a stamp which establishes when the document was received at the
-High Command. This stamp shows the date 11 October 1939.</p>
-
-<p class='pindent'>THE PRESIDENT: You are speaking of GB-83?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes. And I refer now to
-Exhibit GB-81 (Document Number C-66), Page 6 of my document
-book. According to this the decisive report by Grossadmiral Raeder
-to the Führer had already been made on 10 October 1939, that is,
-a day before GB-83 was received at the High Command.</p>
-
-<p class='pindent'>With the next document I should like to prove that considerations
-as to bases had nothing to do with the question of an aggressive
-war, as far as the Flag Officer of Submarines, Admiral Dönitz,
-was concerned. I am submitting Documents Dönitz-3 and Dönitz-4.
-They are on Page 3 and 5 of the Document Book. Dönitz-3 is a war
-diary of the Flag Officer of Submarines of 3 November 1939, and I
-read from the second paragraph, the 10th line from the top:</p>
-
-<div class='blockquote'>
-
-<p>“At the same time Naval Operations Staff reports that there
-are possibilities for the establishment of a ‘Base North’ which
-seem to be very promising. In my opinion the immediate
-introduction of all possible steps in order to arrive at a clear
-judgment of the existing possibilities is of the greatest importance.”</p>
-
-</div>
-
-<p class='noindent'>And then there follows a discussion of the advantages and disadvantages
-of such a base, which is absolutely identical with the
-considerations mentioned in GB-83. It is a question of Murmansk
-in connection with Base North, as can be seen from Document
-Dönitz-4; and it is known that these considerations were in full
-accord with the Soviet Union.</p>
-
-<p class='pindent'>Furthermore, I should like to show that the question of bases
-continuously comes up in enemy navies without reference to...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, you are going a little bit
-fast over these documents and I am not quite sure that I am quite
-following what use you are making of them. This base mentioned
-in the report is Murmansk?
-<span class='pageno' title='220' id='Page_220'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes; Murmansk. And I
-want to use it as proof, Mr. President, that the question of bases
-has nothing to do with the question of whether one wants to wage
-aggressive war with the country in which these bases are situated.
-The considerations as to Murmansk were taken in full accord with
-the Soviet Union, and in the same manner Admiral Dönitz took the
-question of Norwegian bases into consideration. That is the subject
-of my proof.</p>
-
-<p class='pindent'>THE PRESIDENT: But the fact that Murmansk was suggested
-as a base, to be taken with the consent of the Soviet Union—if it
-was the case—doesn’t have any relevance, does it, to taking a base
-in Norway without the consent of Norway.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, the relevancy
-seems to me to exist in the fact that Admiral Dönitz, as
-Commander of U-boats, in both cases received merely the order
-to state his opinion about bases in a certain country but that in the
-last analysis he had as little to say in the case of Narvik and
-Trondheim as in the case of Murmansk.</p>
-
-<p class='pindent'>COLONEL Y. V. POKROVSKY (Deputy Chief Prosecutor for the
-U. S. S. R.): In Document Number 3, the one just being referred to
-by the defense counsel for the Defendant Dönitz, mention is definitely
-made of the northern bases; but nothing is said in this document
-of any plans of the Soviet Union. And to discuss, here and
-now, some plan or other of the Soviet Union is in my opinion quite
-out of order, since there are no plans of the Soviet Union in connection
-with the northern bases, and there never have been.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: If the representative of
-the Soviet Union has any doubts that these bases were considered
-in full accord with the Soviet Union, then I shall prove that by
-calling a witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Anyhow, the document doesn’t say anything
-about it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The document says
-nothing about it.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal doesn’t think you ought to make
-statements of that sort without any evidence; and at the moment
-you are dealing with a document which doesn’t contain any evidence
-of the fact.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: May I perhaps read Document
-Number Dönitz-4?</p>
-
-<p class='pindent'>THE PRESIDENT: It is Dönitz-3, isn’t it?
-<span class='pageno' title='221' id='Page_221'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have already come to
-Dönitz-4. I had read from Dönitz-3. I shall now read from Dönitz-4
-the entries for 17 April 1939:</p>
-
-<div class='blockquote'>
-
-<p>“Commander of U-boats receives instructions from Naval
-Operations Staff to try out Base North. Naval Operations
-Staff considers the trying out of the base by <span class='it'>U-36</span> due to
-sail within the next days, highly desirable. Supply goods for
-tanker <span class='it'>Phoenizia</span> in Murmansk going with fishing steamer to
-Murmansk on 22 November.”</p>
-
-</div>
-
-<p class='pindent'>It seems to me that this entry very clearly shows that that could
-have happened only in accord with the Soviet Union. Furthermore,
-I want to show that considerations as to bases...</p>
-
-<p class='pindent'>THE PRESIDENT: Wait a minute. Dr. Kranzbühler, the Tribunal
-thinks you oughtn’t to make these observations on these documents
-which really don’t support what you are saying. Document
-Number 3, for instance, doesn’t bear any such interpretation, because
-it refers to attacks which it was suggested should be made against
-ships coming from Russian ports, in Paragraph 2. And equally the
-other document you referred to, Dönitz-4, on Page 5, doesn’t bear
-the interpretation which you are putting upon it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I am afraid
-that the contents of both documents have been presented too quickly
-by me. For anyone who is familiar with such war diaries, many
-things are self-evident which otherwise are not so easy to understand.</p>
-
-<p class='pindent'>Document Dönitz-3 states in that part which I have read that
-possibilities for the establishment of a Base North exist. These possibilities
-can be only political possibilities, because one can establish
-a base in a foreign country only if that country agrees. Document
-Dönitz-4 shows that the base in question is Murmansk and that this
-base is being tried out with a supply ship, a fishing steamer, and a
-U-boat. That convincingly shows in my opinion...</p>
-
-<p class='pindent'>THE PRESIDENT: The objection the Tribunal was raising was
-to the statement by you that the Soviet Union had agreed, and these
-documents do not bear out any such statement.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am of the opinion that
-in Document Dönitz-4 that can clearly be seen. It is not possible...</p>
-
-<p class='pindent'>COL. POKROVSKY: I definitely protest against the fact that,
-apart from what has been stated in the documents, certain unfounded
-conjectures or assertions have been made with a view to
-interpreting the documents in the manner in which Dr. Kranzbühler
-has endeavored to interpret them from the initial stages of his
-defense. I do not belong to the category of fortune tellers and palmists.
-I cannot conjecture what hypothetical conclusions may be
-<span class='pageno' title='222' id='Page_222'></span>
-drawn from one or another of the documents. I am a lawyer and
-I am accustomed to operate with documents such as they appear,
-and I am accustomed to operate with the contents of a document
-such as they are expressed.</p>
-
-<p class='pindent'>I consider that the Tribunal has quite correctly expressed to the
-defense counsel the absolute impossibility of drawing the conclusions
-he is attempting to reach, and I would ask that counsel for
-the defense be reminded of his duty to limit himself exclusively
-to such interpretations as may be deduced from the document.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE (Deputy Chief Prosecutor for the
-United Kingdom): Your Honor, I would be grateful if the Tribunal
-would consider a general point of procedure. We have a number of
-objections to a considerable number of Dr. Kranzbühler’s documents.
-I have got out a short list grouping, as far as is possible, our objections,
-which I can hand to the Tribunal and, of course, to Dr. Kranzbühler,
-now. It is a matter for consideration by the Tribunal
-whether it would be useful to see that list before the Tribunal
-adjourns tonight, and maybe here tender certain observations of
-Dr. Kranzbühler upon them. Then the Tribunal might be able to
-give a decision with regard to certain of the documents before
-sitting again tomorrow and thereby save some time. I suggest that
-to the Tribunal for their consideration as perhaps the most profitable
-procedure under the circumstances.</p>
-
-<p class='pindent'>THE PRESIDENT: Are you suggesting that at a certain point of
-time we should adjourn for the consideration of your list and then
-hear Dr. Kranzbühler on it?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: That is what you suggest?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, Sir. I was going to explain
-my list, put my list to the Tribunal, and explain it; and then the
-Tribunal could hear Dr. Kranzbühler upon it and adjourn at whatever
-time it is suitable.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: May I make a statement
-in that regard, Mr. President?</p>
-
-<p class='pindent'>THE PRESIDENT: Certainly.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I do not agree with such
-a proceeding, Mr. President. Before this Tribunal I have said very
-little as defense counsel so far; but I am of the opinion that it is
-my turn now and that I have to be granted permission to submit
-my documents in that order in which I plan to and which I consider
-correct for my defense.</p>
-
-<p class='pindent'>I ask the Tribunal just to imagine what would have happened
-if, before the presentation of their case by the Prosecution, I had
-<span class='pageno' title='223' id='Page_223'></span>
-said that I should like to speak about the relevancy of the documents
-of the Prosecution. I believe that this comparison shows that
-I should not have thought of proceeding in this way. I shall try,
-before submitting my documents, to explain their relevancy to a
-greater extent than I have thought necessary until now. But I ask
-the Tribunal to grant that I present my case now and to limit the
-Prosecution to making their suggestions when I submit my documents
-individually.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: The inconvenience of that course,
-My Lord, is that I shall then be interrupting Dr. Kranzbühler every
-two or three documents and making a specific objection to an individual
-document, which will take a great deal of time. I thought it
-would be more convenient if I indicated to the Tribunal my objections
-to the documents in the usual way by classes rather than
-individually.</p>
-
-<p class='pindent'>I put it to the Tribunal to rule on whatever method they think
-would be most convenient for them. The last thing I want is to
-interfere with Dr. Kranzbühler’s presentation; but, on the other
-hand, the method that he suggests will mean individual objections,
-because, of course, an objection is useless if it is put in after
-Dr. Kranzbühler has developed the document. Or, if it is not useless,
-it is at any rate of very much less weight.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, supposing that Sir David
-presents his objections to the documents now, whether in groups
-or in whatever way he likes, and you then answer him individually
-upon each document, pointing out the relevance in your view of
-each document; how does it harm you? The Tribunal will then consider
-your arguments and will rule upon them, and then you will
-know what documents the Tribunal has ruled out, and you can then
-refer to any of the other documents in any way you please.</p>
-
-<p class='pindent'>The only object of it and the only effect of it is to prevent the
-Prosecution’s having to get up and interrupt, put on the earphones,
-and take the time for an individual objection to each document to
-which they wish to object as it turns up. I cannot see that it can
-interfere with you in the least.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have no
-objection to the Prosecution’s stating their objections now. I merely
-wish to avoid my having to reply to each individual objection. If
-I am permitted to state my views when each individual document
-comes up, then I have no objection to the Prosecution’s stating their
-objections now to individual documents.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, the Tribunal would like you to
-state now your objections to these documents. They will then allow
-Dr. Kranzbühler to proceed with his discussion of the documents,
-<span class='pageno' title='224' id='Page_224'></span>
-answering your argument as to the admissibility of each document
-that you object to when he comes to it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If Your Lordship please. Will
-Your Lordship just allow me a moment to get my papers? I am
-afraid I have only the Prosecution’s objections in English, but it
-may help those of the Tribunal who do not understand English to
-have the numbers, at any rate, in front of them.</p>
-
-<p class='pindent'>My Lord, the first group are documents which the Prosecution
-submits have no probative value. These are D-53. My Lord, the
-“D” in this case stands for Dönitz Document Book 53, Page 99; and
-D-49, Pages 130 and 131; D-51 and D-69.</p>
-
-<p class='pindent'>My Lord, the first of these, D-53, is a letter from a prisoner-of-war
-camp, purporting to be signed by 67 U-boat commanders and
-in purely general terms. The Prosecution submits that that is not
-helpful, either from its form or from its material.</p>
-
-<p class='pindent'>My Lord, D-49, which is at Pages 130 to 131, is again in entirely
-general terms and contains no indication of the moral or legal basis
-for the opinion expressed.</p>
-
-<p class='pindent'>D-51 and D-69 are both newspaper reports.</p>
-
-<p class='pindent'>THE PRESIDENT: Wait a minute, Sir David. 130? I have not
-got a Page 131. Is it an affidavit, or was it called an affidavit?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: “On the basis of the documents of the Navy
-Court archives at...”</p>
-
-<p class='pindent'>Oh yes, I think the Document Book has got a bit out of order.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, My Lord, maybe so.</p>
-
-<p class='pindent'>THE PRESIDENT: Is it a sworn affidavit by somebody or other?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, My Lord. 130 comes immediately
-before.</p>
-
-<p class='pindent'>THE PRESIDENT: I have got it now, yes, 131 comes somewhere
-before 130.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is it, My Lord. It is an
-affidavit by a former fleet judge, and Your Lordship sees that the
-description which the Prosecution gives of it as being in entirely
-general terms is, I submit, justified by the wording of the document,
-and it is difficult to see the basis which the learned opponent
-seems to profess for his statements.</p>
-
-<p class='pindent'>My Lord, D-51, Page 134, is an extract from the <span class='it'>Völkischer
-Beobachter</span> of March 1945, and the Prosecution submits that the
-topic on which it is is irrelevant to the matters developed against
-the Defendant Dönitz. Number 69 is another newspaper report
-from the same paper of 14 November 1939, giving a list of armed
-<span class='pageno' title='225' id='Page_225'></span>
-British and French passenger ships. Now, My Lord, the second
-group which we developed are those irrelevant documents, D-5,
-D-9, D-10, D-12, D-13, D-29, D-48, D-60, D-74.</p>
-
-<p class='pindent'>Now, My Lord, the first of these, D-5, on the subject of Norway,
-seeks to introduce by way of a footnote a summary of the documents
-which the Tribunal dealt with when considering the documents
-in the case of the Defendant Raeder, with regard to which
-the Tribunal expressed its doubts, although it allowed them to be
-translated. The Tribunal will remember that with regard to the
-Dönitz documents it was thought convenient to have them translated
-without a preliminary argument. Now, My Lord, the same
-argument applies to a footnote, to a speech of the Defendant
-Von Ribbentrop, a summary of documents which came into German
-possession long after the speech of the Defendant Ribbentrop
-was made. The Prosecution submits it is irrelevant.</p>
-
-<p class='pindent'>And the documents 9, 10, 12, and 13 deal with the rescue of
-Allied survivors in the years 1939 to 1941 inclusive.</p>
-
-<p class='pindent'>THE PRESIDENT: Oh, yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, that last statement,
-“and all apparently unsworn,” is an error. It ought to be that D-13
-is apparently unsworn.</p>
-
-<p class='pindent'>Now, My Lord, with regard to that the position is that whereas
-it is quite true that a nonrescue order was issued by the defendant
-before 27 May 1940, the really important period is round about
-17 September 1942. It seemed to the Prosecution unnecessary to go
-into these details for the earlier period. There is no real doubt that
-there were some rescues. The only point which the Prosecution is
-putting against the defendant is that he did issue an order, which
-the Prosecution has proved, forbidding rescue when there was
-any danger.</p>
-
-<p class='pindent'>THE PRESIDENT: What was the date you gave us, 17 November
-1942?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, the nonrescue order
-is before 27 May 1940. We cannot give the exact date, but we know
-from a reference in another order that it must have been before
-27 May 1940. And the order with regard to the destruction of
-the crews of merchant ships is 17 September 1942.</p>
-
-<p class='pindent'>Now, My Lord, the Document Number 29 contains four documents
-dealing with the evidence of the witness Heisig. The first
-purports to be an affidavit by a witness who speaks to the sort of
-statements the Defendant Dönitz usually made and does not remember
-what was said on the particular occasion referred to by the
-witness Heisig; and it contains a good deal of argument.
-<span class='pageno' title='226' id='Page_226'></span></p>
-
-<p class='pindent'>The second is a letter sent to counsel for the Defendant Dönitz,
-and, with the exception of one sentence, denying that the defendant
-spoke in the sense alleged by Heisig; the remainder of the statement
-which, of course, is unsworn, is either argument or is vague
-or irrelevant. The remaining two documents, both apparently
-unsworn, contain allegations against the character of the witness
-Heisig. The Tribunal will remember that no allegations were made
-against him; that there was no cross-examination in regard to his
-character when he gave his evidence. And the second deals with
-other lectures which are not those in question.</p>
-
-<p class='pindent'>Now, My Lord, the next document, D-48, deals with the alleged
-good treatment of Allied prisoners in German Naval prisoner-of-war
-camps, on which subject no issue has been raised with this
-defendant. D-60, Page 209 deals with Italian- and French-declared
-danger zones, which, the Prosecution submits, has no relevance to
-those declared by the Germans. D-74 and D-60, Page 256, deal with
-the relationship between the British and French merchant marines
-and their respective navies; and the Prosecution submits that they
-are irrelevant as far as the British Navy is concerned, if they have
-any relevance cumulative of D-67.</p>
-
-<p class='pindent'>Now, My Lord, the third group are details of the Contraband
-Control System and they are D-60, Pages 173 to 198; D-72; D-60,
-Pages 204 and 205 and Pages 219 to 225. My Lord, these documents
-deal with the details of the contraband control, what articles were
-contraband, declarations of different governments; and it is submitted
-that details of the contraband control are remote from the
-issues raised and entirely irrelevant. I do not think in the presentation
-against either of the Naval defendants questions of declarations
-of contraband were mentioned at all, certainly not in regard
-to the Defendant Dönitz; and, in the submission of the Prosecution,
-it’s really introducing matters which are, I am sure, not helpful to
-the problems of this case.</p>
-
-<p class='pindent'>The fourth group, which can only be described in very general
-terms, are allegations against the Allies. My Lord, the general
-objection I set out in the first paragraph is this: Those documents
-consist of various allegations against the Allies; they appear to have
-little or no relevance to the issues and, if submitted, might necessitate
-the Prosecution’s seeking the facilities to rebut the allegations;
-in which case a large volume of evidence in rebuttal might
-be entailed.</p>
-
-<p class='pindent'>Then I have isolated those which deal with allegations that the
-Allies did not pick up survivors; there are two: 43, 67; Pages 96
-and 90. 31 and 32 deal with Allied attacks on German air-sea
-rescue planes; 33 accuses a Soviet submarine of sinking a hospital
-ship.
-<span class='pageno' title='227' id='Page_227'></span></p>
-
-<p class='pindent'>And three, Numbers 37, 38, and 40, the last being a newspaper
-report, allege that the Allies shot survivors. My Lord, the question
-of Allied treatment of survivors is dealt with exhaustively by
-extract from the German Naval Diary and, My Lord, that we are
-not objecting to because there it is important not as evidence of
-the facts stated but as evidence of the matters that had an effect
-on the German Naval Command. For that purpose I am quite
-ready that Dr. Kranzbühler should put them in and the Tribunal
-should consider them. And there is another document which deals
-with that point quite fully, and I am quite prepared to let that
-go in.</p>
-
-<p class='pindent'>Then, My Lord, the remainder allege either ruthless actions or
-breaches of International Law by the Allies; and these are Number
-19, Page 24, the Göring exhibit; Numbers 7 and C-21, Page 91;
-47, Pages 120, 121, which is also a newspaper report; 52, 60, Pages
-152 and 208; D-75, 81, 82, 85, and 89.</p>
-
-<p class='pindent'>Now, as I understand the defense that is developed here—the
-allegation with regard to the order which we say sets out the
-destruction of survivors—it is not that it was a reprisal, but the
-defense is that the order did not mean destruction but merely
-meant nonrescue. On that basis it seems difficult, indeed impossible,
-to appreciate how these matters become relevant at all.</p>
-
-<p class='pindent'>And similarly with regard to the order for shooting Commandos.
-The justification alleged for the order is set out in the order itself.
-I haven’t heard any defendant develop any justification of that
-order in giving evidence before the Tribunal. Every one of the
-defendants so far has said this order was given by Hitler and
-“whether we approved of it or not we had to carry it out.”</p>
-
-<p class='pindent'>So that, in my submission, there isn’t even the argument which
-is foreshadowed, that breaches of the laws and usages of war can
-be in certain occasions properly committed as reprisals. It is not
-put forward from that point of view; there is no admission here,
-as I understand the Defense, of breaches for which reprisal is the
-answer. Therefore, the Prosecution submits that these documents
-are also irrelevant.</p>
-
-<p class='pindent'>My Lord, again I tried to put it as shortly as possible because
-I didn’t want to occupy too much time, but I tried to correct them
-and describe those which seemed of greatest importance.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal would like to know why this
-matter of the admissibility of these documents hasn’t been argued
-before. In the other cases with which we have dealt, the question
-of the admissibility has been dealt with first of all by your offering
-your criticisms and objections, and then the defendant’s counsel’s
-being heard in reply. Then the Tribunal has ruled.
-<span class='pageno' title='228' id='Page_228'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, as I understand the
-position, we did put in objections to the documents and Dr. Kranzbühler
-suggested that he would very much prefer the documents
-to be translated and the objections taken at a later stage. And I
-was certainly informed that the Tribunal agreed with that and
-ordered the document to be translated.</p>
-
-<p class='pindent'>THE PRESIDENT: That may be, for the purposes of translation.
-But that doesn’t mean that they are necessarily admissible. And
-in most of the other cases, if not all, as you will remember, we
-have had an argument in open session in which you, or one other
-member of the Prosecution, have made your objections, and then
-the defendant’s counsel has replied to those objections.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, Dr. Kranzbühler has
-just handed—yes...</p>
-
-<p class='pindent'>The ruling is:</p>
-
-<div class='blockquote'>
-
-<p>“The Tribunal has ruled that the documents mentioned in
-your application may be translated, but that the question of
-their admissibility is to be decided later.”</p>
-
-</div>
-
-<p class='pindent'>My Lord, I am afraid I am at fault there. It didn’t occur to
-me, if I may be quite frank with the Tribunal, that I should have
-come before the beginning of the case Dönitz to make this argument.
-I am very sorry, and I must accept responsibility. I assumed,
-without real justification, that that meant the argument of admissibility
-would come at the beginning, or at some convenient time,
-in the case of Dönitz. I am very sorry, My Lord, and I can only
-express my regret.</p>
-
-<p class='pindent'>My Lord, there is this excuse: We had three of the books on
-Saturday, and we only got the last one yesterday. Therefore, we
-really couldn’t have done it before today, even if I had thought
-of it.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the Tribunal considers that
-in view of the large number of documents to which the Prosecution
-objects, it will be highly inconvenient to have you answer
-Sir David Maxwell-Fyfe’s argument as you go through your documents;
-and therefore that you must answer now and deal with
-them in the way in which the other counsel have dealt with these
-objections to the admissibility of documents. Then the Tribunal
-will be able to consider the arguments that Sir David Maxwell-Fyfe
-has put forward and the arguments that you put forward in
-support of the documents.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I should
-like to point out that just because of the many objections which
-the Prosecution makes against the documents, I have for practical
-<span class='pageno' title='229' id='Page_229'></span>
-purposes to present all my documents, for the line of thought
-pursued in presenting documentary evidence implies a definite
-order of presentation and I cannot take out one document or
-another without disturbing this line of thought. Therefore, I believe
-it would save considerable time if the Tribunal would permit me
-to answer the objections when I come to the particular document.</p>
-
-<p class='pindent'>THE PRESIDENT: What difference could it make, assuming
-that the decision of the Tribunal is the same, whether you argue
-the matter now or whether you argue the matter afterwards? The
-documents which will remain, which will have been held to be
-admissible, will be the same. Therefore, there is no difference.
-I can’t see any argument in favor of what you are saying.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, my documentary
-material, exactly like that of the Prosecution, is organized
-with a definite purpose in mind and according to a definite idea.
-If, of the 50 documents which are contained in my documentary
-material, I have to argue about 40, then 10 are lacking. Therefore,
-it seems to me proper for me to discuss all 50, in the order in which
-I intended to submit them to the Tribunal.</p>
-
-<p class='pindent'>If the Tribunal is of the opinion that the reasons given for the
-relevancy of the different documents are not sufficient, then the
-objectionable document can be withdrawn or refused. However,
-it seems expedient to me that I present my arguments in the order
-which I have been intending to follow, and not in the order in
-which the Prosecution is now making its objections. That defeats
-my purpose and disturbs my line of thought and, as defense counsel,
-I believe it is my task to present my own line of thought and not to
-reply to the line of thought pursued by the Prosecution or to their
-objections.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, if that is so, then you can present
-your argument upon the relevancy of the documents in the order
-in which they come.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: But you have to do it now.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: You can begin with D-5, which is the first,
-and then go on with D-9 and D-10; take them in the order in
-which they stand.</p>
-
-<p class='pindent'>Dr. Kranzbühler, the Tribunal doesn’t see any reason why you
-should be dealt with in a different way from which the other
-defendants have been treated. Therefore, they think that you
-ought to be prepared to deal with these documents in the way in
-which they are grouped here. They would prefer that you should
-<span class='pageno' title='230' id='Page_230'></span>
-deal with them now, if you can deal with them in a reasonably
-short space of time. Then they will be able to determine the
-question of which documents shall be admitted during the adjournment.
-Otherwise, they will have to adjourn tomorrow for a consideration
-of that matter, which will still further hold up the trial.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, of course,
-I can make general statements as to the groups which the Prosecution
-has referred to, but I cannot refer to the individual documents
-with the necessary detail to establish their relevancy
-unequivocally. That is impossible for me, confronted as I am by
-a list which I have not seen before. Therefore I should like to ask,
-if I am to give reasons for each individual document now, that I
-be given an opportunity to do that tomorrow morning. However,
-if the Tribunal wishes only to hear general remarks about the
-groups, I can do that right now.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well, Dr. Kranzbühler. The Tribunal
-will adjourn now, and we will hear you upon these documents at
-9:30 tomorrow morning.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In open session, Mr. President?</p>
-
-<p class='pindent'>THE PRESIDENT: In open session, certainly, yes.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 8 May 1946, at 0930 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='231' id='Page_231'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-FOURTH DAY</span><br/> Wednesday, 8 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>MARSHAL: May it please the Tribunal, the report is made that
-Defendant Schirach is absent.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, with the
-permission of the Tribunal, I shall now state my opinion on the
-documents to which the Prosecution has objected.</p>
-
-<p class='pindent'>Before I refer to the individual documents, I should like to say
-two things concerning the groups.</p>
-
-<p class='pindent'>First: I ask the Tribunal to recall that in general questions on
-naval warfare I also defend Admiral Raeder. I already mentioned,
-when I first applied for documents, that all the charges against naval
-warfare cannot be dealt with separately as concerning Dönitz or
-Raeder; therefore Dr. Siemers and I agreed that I should deal with
-these charges together. I ask the Tribunal in evaluating the question
-to take into consideration whether the charges are relevant.</p>
-
-<p class='pindent'>Second: A large number of the objections which the Prosecution
-has made are directed against the fact that the war measures of the
-Allies are mentioned in the documents. I believe that I have been
-completely misunderstood especially in this field. I am not interested
-and it is not my intention to disparage any war methods, and I
-shall demonstrate later in detail that the documents are not suitable
-for this. But I should like to state from the beginning that I want
-to show with these documents what naval warfare was really like.
-I could not demonstrate this by showing only the German methods;
-but I also have to submit to this Tribunal the methods of the Allies
-in order to prove that the German methods, which are similar to
-the Allies’ methods, were legal. The Tribunal has even recognized
-this to be correct by approving the use of British Admiralty orders
-and an interrogatory of the Commander-in-Chief of the American
-Navy, Admiral Nimitz.</p>
-
-<p class='pindent'>I am very grateful that these documents were approved; and my
-own documents in this field are along the same line.</p>
-
-<p class='pindent'>I shall now refer to the individual documents against which objections
-have been raised; first to the Document Dönitz-5, which is
-in Document Book 1, Page 7.
-<span class='pageno' title='232' id='Page_232'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the Tribunal has examined
-all these documents; so I think you can deal with them as far as
-possible in groups.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Very well.</p>
-
-<p class='pindent'>THE PRESIDENT: If possible, follow the order of Sir David
-Maxwell-Fyfe.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, it will
-not be possible for me to follow the order of Sir David, because
-then I shall have to return repeatedly to the line of ideas which I
-have already mentioned. I believe it will facilitate and speed up
-the proceedings if I form groups according to the order in which I
-intended to present them; and I should like to remind the Tribunal
-that that was expressly approved for me yesterday.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, it would be very much
-more convenient to the Tribunal if you followed the order in the
-groups. But if you find that impossible, the Tribunal would not
-make it a matter of an order.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should be very grateful,
-Mr. President, if I could keep the order which I had prepared.
-It corresponds to the order of Sir David.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Concerning the question
-of aggressive war, I have another document to submit which is
-Dönitz-5. It is an excerpt from <span class='it'>Documente der Deutschen Politik</span>,
-and concerns the question of bases in Norway. I consider this document
-relevant because it shows that on the part of the British
-Admiralty an interrogatory was prepared on the question of the
-necessity of such a base, which corresponds exactly to the one with
-which the Prosecution has charged Admiral Dönitz in Document
-GB-83 as proof for aggressive war.</p>
-
-<p class='pindent'>Thereby I wish to say that the answers on such interrogatories
-have nothing to do with any considerations concerning an aggressive
-war, which a subordinate office could not even make. The document
-is in Group 2 of Sir David’s classification.</p>
-
-<p class='pindent'>THE PRESIDENT: Are you saying that the footnote stands on
-the same footing as the other part of the document?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The footnote is the
-essential part for me, Mr. President. I had the other part copied
-only to keep the connection with the footnote.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, who wrote the footnote? Doesn’t the
-footnote represent information which was not before the German
-Admiralty at the time?
-<span class='pageno' title='233' id='Page_233'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No, no.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, does the footnote state that it was
-before the German Admiralty at the time?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No, Mr. President. The
-footnote was not known to the German Admiralty at the time.</p>
-
-<p class='pindent'>THE PRESIDENT: That is what I said; the footnote was not
-known to the German Admiralty. Who wrote it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The footnote is part of
-this document, which can be found in the collection <span class='it'>Dokumente der
-Deutschen Politik</span>...</p>
-
-<p class='pindent'>THE PRESIDENT: Is the Defendant Ribbentrop the author of it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No, Mr. President. The
-<span class='it'>Dokumente der Deutschen Politik</span> are an official collection, and the
-footnotes have been written by the editor of that collection on the
-basis of official material.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, I see.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now I come to the documents
-concerning naval warfare in general. A large part of those
-are in Sir David’s Group 3. The first document is Dönitz-60, on
-Page 152. It concerns an American note of 6 October 1939, and is in
-connection with the Document Dönitz-61, to which the Prosecution
-has not objected. It is in Volume III of the document book, Mr. President.
-Volume III, Page 152. This document is an American reply
-to the document which you will find two pages before this, on
-Page 150. Both documents deal with the warning of neutral nations
-against suspicious actions of their merchant vessels. The question is
-relevant in respect to Exhibit GB-193 of the Prosecution. In this
-document a charge is made against an order that ships which act
-suspiciously—that is, proceed without lights—should be sunk.</p>
-
-<p class='pindent'>The next document is from Sir David’s Group 1, Dönitz-69, on
-Page 170, in Book 3. It is an excerpt from several copies of the
-<span class='it'>Völkischer Beobachter</span> of November and December 1939. In these
-copies are published lists of armed British and French passenger
-ships. This document also is in connection with a preceding document
-and the one following. All these documents deal with the
-question of treatment of passenger ships by the naval warfare
-command.</p>
-
-<p class='pindent'>THE PRESIDENT: I think you had better give the numbers of
-the documents. You said the next document and the one before it.
-I think you had better give the numbers of the documents.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes. That is Document
-69, Mr. President, Dönitz-69, and it is on Page 170, in Book 3.
-<span class='pageno' title='234' id='Page_234'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Yes, I know it is, but you said something
-about documents that were akin, or some words to that effect, to
-the documents next to it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It is in relation to
-Dönitz-68, on Page 169 of the document book.</p>
-
-<p class='pindent'>THE PRESIDENT: Was that objected to?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well, then, you need not bother with it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I only wanted to show,
-Mr. President, that this document is only part of the proof about
-the treatment of passenger ships, and should prove that the German
-press had warned against the using of armed passenger ships. The
-next documents objected to by the Prosecution concern Group 3,
-“The Contraband and Control System.” These are the documents
-Dönitz-60, from Page 173 to Page 197 of the document book, and
-I should like to form three groups of these.</p>
-
-<p class='pindent'>The first group, from Page 173 to Page 181, concerns the question
-of contraband. I consider this question relevant because Document
-GB-191 has stated that the German U-boats sank a large
-number of Allied ships while these ships were on a legal merchant
-trip. The development of rules against contraband will show the
-Tribunal that from 12 December 1939 on, a legal import to England
-no longer existed but actually only contraband. These documents
-concerning contraband are important, furthermore, for the German
-point of view, which became known under the slogan of “Hunger
-Blockade” and which played an important part in all German deliberations
-about the conduct and the intensification of naval warfare.
-The documents contain in detail the German contraband regulations,
-the British regulations, and two German statements concerning these
-contraband regulations.</p>
-
-<p class='pindent'>The next group is Dönitz-60, from Page 183 to Page 191. That
-concerns the regulations about putting into control ports; that is to
-say, the British Admiralty removed the control over neutral merchant
-shipping from the high seas into certain British ports. This
-group is also relevant in connection with Exhibit GB-191 because
-in this document the German Naval Operations Staff is accused
-of carrying out war measures against England without consideration
-of the danger to neutrals. The group which I have dealt with
-shows that it was not possible for the British Admiralty either to
-take war measures without endangering the neutrals, because, by
-the establishment of control ports, the neutrals were forced into
-German zones of operations and thereby, of course, endangered.
-This danger was confirmed by the neutrals themselves, and the
-documents on Pages 186 to 189 will prove this.
-<span class='pageno' title='235' id='Page_235'></span></p>
-
-<p class='pindent'>An excerpt from the document of the Prosecution GB-194 on
-Page 198 belongs to that same group. It contains a renewed American
-protest against the control ports.</p>
-
-<p class='pindent'>The third group goes from Page 192 to 197, also Dönitz-60, and
-is concerned with the question of an export embargo. This export
-blockade was declared against Germany in an Order in Council of
-27 November 1939. This measure is important in the question of
-legal trade because thereby legal export was no longer possible
-either. The export blockade therefore is a basis for the total
-blockade which was later declared by Germany against England.
-Since the Exhibit GB-191 disputes the legality of a total blockade I
-must prove the basic grounds and also the export blockade.</p>
-
-<p class='pindent'>The next document objected to is Dönitz-72 on Page 185. It
-deals with a note by Great Britain to Belgium of 22 September. In
-this note the British Government states that they will not tolerate
-any increase of trade between Belgium and Germany. I use it as
-evidence for the fact that the economic pressure which can be seen
-from this note was a natural and accepted means of warfare. This
-question is relevant concerning the document of the Prosecution,
-Exhibit GB-224. There on Page 6 under heading (c) it is stated that
-Germany would necessarily have to exert economic pressure on the
-neutrals, and these statements were submitted by the Prosecution
-as measures contrary to international law.</p>
-
-<p class='pindent'>The next group contains the following documents: Dönitz-60,
-Page 204; Dönitz-72, Page 207; Dönitz-60, Page 208; Dönitz-60,
-Page 209; and Dönitz-75, Page 218. All of these documents concern
-the development of German zones of operation and the recognition
-of the zones of operation which were declared by the opponents.
-These documents are relevant for the question of the treatment of
-neutrals. In Exhibit GB-191 the charge was made against the Naval
-Operations Staff that without any consideration it had given the
-order to torpedo neutral ships. My evidence shall prove that that
-happened only in those areas which the neutrals had been warned
-against using and that this is a permissible measure of warfare, as
-shown also by the practices of the enemy.</p>
-
-<p class='pindent'>I should like to refer individually to two documents which concern
-the practices of the opposing side. Dönitz-60, Page 208, concerns
-the statement by Mr. Churchill of 8 May 1940 regarding the
-torpedoing of ships in the Jutland area. This document and the
-next one, Dönitz-60, Page 209, I wanted to put to a witness.
-Dönitz-60, Page 209, concerns a French statement about a danger
-zone near Italy. I am using both documents as evidence for the
-practical state of naval warfare and should like to discuss them
-with a witness. It goes without saying that the methods of the
-enemy also had some influence on German practices.
-<span class='pageno' title='236' id='Page_236'></span></p>
-
-<p class='pindent'>The next group contains documents Dönitz-60, Pages 219, 222,
-and 224. They deal with the British system of navicerts. The
-navicerts, as can be seen from these documents, were certificates
-which all neutral ships had to get from the British Consulate before
-they could put to sea. Ships which refused to use navicerts were
-confiscated. The navicert system is relevant in two respects.</p>
-
-<p class='pindent'>First, it is mentioned in the German statement concerning the
-total blockade against England on 17 August 1940 as one reason for
-that blockade. Secondly, from the German point of view it was a
-nonneutral act on the part of the neutrals if they submitted to that
-system. This question plays a considerable part in determining to
-what extent Germany herself from that time on took consideration
-of neutrals in the zones of operations. Finally, the navicert system
-shows the development of an entirely new naval warfare law, and
-that is a very important subject for me.</p>
-
-<p class='pindent'>The next document is Dönitz-60, Page 256. It is a French decree
-of 11 November 1939 concerning the creation of insignia for the
-crews of merchant ships who could be mobilized. This document is
-relevant for the question of whether the crews of merchant ships
-at that stage of the war should be considered combatants or noncombatants.
-The details of the decree seem to me to show that they
-would have to be considered combatants.</p>
-
-<p class='pindent'>With the two following documents I should like to object to the
-probative value of the document of the Prosecution, Exhibit GB-191.
-This concerns my Documents Dönitz-81, Page 233, and Dönitz-82,
-Page 234. I had said that these two documents would dispute the
-probative value of the Document GB-191. That is the report of the
-British Foreign Office about German naval warfare. On Page 1
-this report attacks Article 72 of the German Prize Regulations in
-which it states that ships can be sunk if they cannot be brought
-into port. Document GB-191 says that this is contrary to the traditional
-British conception.</p>
-
-<p class='pindent'>My Document Dönitz-81 shows the sinking of the German
-freighter Olinda by the British cruiser <span class='it'>Ajax</span> on the first day of the
-war. It is only one example to show that the statement made in the
-report of the British Foreign Office, according to which the British
-fleet had not sunk ships if they could not or would not bring them
-to port, is incorrect.</p>
-
-<p class='pindent'>In the same report of the British Foreign Office, German U-boats
-are accused of never differentiating between armed and unarmed
-merchant ships. Later I shall submit to the Court the orders concerning
-armed and unarmed merchant ships.</p>
-
-<p class='pindent'>By my next document I merely wish to defend the U-boats
-against having each mistake interpreted as bad intent. Therefore,
-in Dönitz-82, I submit a statement by the British Foreign Office
-<span class='pageno' title='237' id='Page_237'></span>
-which confirms that it is extremely difficult, if not impossible, in
-some cases to distinguish between armed merchant ships and unarmed
-merchant ships.</p>
-
-<p class='pindent'>The next document, Dönitz-85, Page 242, contains a statement
-by the American Secretary of the Navy, Mr. Knox, concerning the
-question of keeping secret the sinking of German U-boats by American
-naval forces. For me it is essential in connection with the
-document of the Prosecution, Exhibit GB-194. In this document the
-measures which the naval war staff took to keep secret the sinkings
-by U-boats, that is, using as a pretense the fiction of sinking through
-mines, are presented as fraudulent. I should like to give this as an
-example that during a war military measures can naturally be kept
-secret, but that that is no proof for or against their legality.</p>
-
-<p class='pindent'>The next document is Dönitz-89, on Page 246. It is a list drawn
-up by the Naval Operations Staff of violations of neutrality committed
-by the United States from September 1939 to 29 September
-1941. The document is essential to counter the document of the
-Prosecution, Exhibit GB-195, which contains an order from Adolf
-Hitler of July 1941 in which it is stated that in the future even the
-merchant ships of the United States must be treated within the
-German zone of blockade in the same manner as all other neutral
-ships, that is to say, they should be sunk.</p>
-
-<p class='pindent'>The Prosecution has interpreted this order as proof of a cynical
-and opportunistic conduct of U-boat warfare by Admiral Dönitz.
-I wish to show, by submitting this list, that from the German point
-of view it was completely understandable and is justifiable if in
-the summer of 1941 one did not grant the United States a better
-position than any other neutral.</p>
-
-<p class='pindent'>Now I come to the subject of the treatment of shipwrecked survivors.
-These documents are in Volume I of the document book.
-The first document, Dönitz-9, on Page 11, offers a description of
-over-scrupulous measures taken by German U-boats to save survivors
-in September and October 1939. This is essential for Admiral
-Dönitz...</p>
-
-<p class='pindent'>THE PRESIDENT: There must surely be a group of these, is
-there not? Haven’t you got a number of documents which deal with
-shipwrecks?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, there are a number
-of documents.</p>
-
-<p class='pindent'>THE PRESIDENT: Can you not deal with them all together?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President, I
-can assemble them. They are Documents Dönitz-9, Page 11,
-Dönitz-10, Page 12, Dönitz-12, Page 18, and Dönitz-13, Pages 19
-to 26, and Page 49, and Dönitz-19 on Page 34. All these documents
-<span class='pageno' title='238' id='Page_238'></span>
-are related to Exhibit GB-196 of the Prosecution. That is an
-order from the winter of 1939-1940 in which the rescue measures
-of U-boats are limited. Sir David objected to that group that it
-was not important if, after this order of the winter 1939-1940,
-rescues were still carried out. I cannot share this opinion. If the
-Prosecution accuses Admiral Dönitz of having given an order about
-the limitation of rescue measures in the winter of 1939-1940, then
-it is essential to point out for what reasons such an order was issued
-and what practical consequences it had in fact. It is my assertion
-that that order can be traced, first, to the fighting conditions of the
-U-boats along the British coasts, and second, to over-scrupulous
-rescue measures taken by the commanders. The order did not prohibit
-measures of rescue generally, and that will be shown by the
-statements made by the commanders, which I have submitted under
-Dönitz-13.</p>
-
-<p class='pindent'>THE PRESIDENT: Is it possible for you to give us a page where
-we can find these GB documents? For instance, GB-196.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes. It is in the British
-document book on Page 33. In the document book of the Prosecution,
-Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: GB-195?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Page 32, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: Thank you.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should like to state my
-position on a formal objection. Some of these statements are not
-sworn statements. I refer to Article 19 of the Charter, according
-to which the Tribunal is to use all matters of evidence which have
-probative value. I believe that a written report by an officer about
-his activity as commanding officer has probative value, even if it is
-not sworn to. A report of this kind before a German naval court
-would be accepted in evidence without question.</p>
-
-<p class='pindent'>The last document in this group, Dönitz-19, Page 34, concerns
-the document of the Prosecution, Exhibit GB-199. It is a radio
-message on Page 36 of the British document book of the Prosecution.
-It concerns a radio message which the U-boat commanded by
-Kapitänleutnant Schacht received from Admiral Dönitz, and deals
-with the rescue or nonrescue of Englishmen and Italians.</p>
-
-<p class='pindent'>Document Dönitz-19 is a log book of Schacht’s U-boat and shows,
-first, the armament and crew of the <span class='it'>Laconia</span>, whose crew is the one
-in question, and second, it explains why comparatively few of the
-numerous Italians and comparatively many of the less numerous
-Englishmen were rescued. The events were known to Admiral
-Dönitz from radio messages.</p>
-
-<p class='pindent'>Document Dönitz-29...
-<span class='pageno' title='239' id='Page_239'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, as I told you, the Tribunal
-has read all of these documents and examined them, and therefore
-it isn’t necessary for you to go into them as a small group, and
-it isn’t necessary for you to go into each document, if you will indicate
-the nature of the groups.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then I should like to
-mention the Documents Dönitz-29 on Pages 54 to 59 of the document
-book; Dönitz-31, Page 64; Dönitz-32 on Page 65; Dönitz-33 on
-Page 66; Dönitz-37 on Page 78; Dönitz-38 on Page 80 and Dönitz-40
-on Page 86; these documents are also concerned with the subject of
-survivors. Dönitz-29 is concerned with a statement of the witness
-Heisig.</p>
-
-<p class='pindent'>The Prosecution has declared that I could not question the
-character of the witness Heisig because I had not made that point
-during the cross-examination of Heisig. In this connection I wish to
-state that in my opinion I attacked the credibility of Heisig during
-the cross-examination as far as it was possible at the time. I knew
-of the existence of that witness only three days before he appeared
-here.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, you are now proceeding to
-deal with each document. You have given us quite a number of
-documents which all fall in this group, of the treatment of shipwrecks
-and we have already seen those documents and therefore, we
-can consider them as a group. We do not need to have these details
-about the question of the credibility of Heisig, which is already
-before us.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I believe
-it is very difficult to judge the relevancy of documents if I am not
-permitted to say what the connection is. For instance, the next
-three documents, Dönitz-31, 32 and 33, are related to GB-200. That
-is an order by the Flag Officer of the U-boats dealing with the
-treatment of so-called rescue ships. The Tribunal will recall that
-the Prosecution has stated it did not object to the order as such
-with reference to the sinking of rescue ships, but only to the
-tendency to kill the survivors also by sinking rescue ships.</p>
-
-<p class='pindent'>My documents pertaining to this issue are to show that thus they
-apply moral standards which do not exist in wartime. I wish to
-show this comparison with the sea rescue planes. The sea rescue
-planes were rightfully shot down by the British Air Force, because
-there was no agreement which prohibited that. The British Air
-Force was therefore naturally not kept from shooting down rescue
-planes by moral consideration, if international law permitted it; and
-we have exactly the same point of view concerning the rescue ships.</p>
-
-<p class='pindent'>In the case of the sinking of the steamer <span class='it'>Steuben</span>, I should like
-to correct an error. That is Document Dönitz-33. It does not deal,
-<span class='pageno' title='240' id='Page_240'></span>
-as Sir David mentioned yesterday, with the sinking of a hospital
-ship by a Russian U-boat, but it concerns the sinking of a German
-transport ship which carried wounded. This sinking was, therefore,
-completely justified and I would like to show with this document
-that the Naval Operations Staff did not for a moment consider it
-unjustified. I believe, Mr. President, that I shall have to speak in
-more detail about the Documents Dönitz-37, 38, and 40, for it is
-precisely these documents which have been objected to by the Prosecution,
-because they show the conduct of the Allies in certain war
-measures.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, as I have told you more
-than once, the Tribunal does not wish to hear you on each individual
-document. We have already considered the documents and we want
-you to deal with them in groups. You have already given us the
-documents in a group and have indicated to what subject they
-relate.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, may I at
-least mention the documents of the Prosecution to which my documents
-refer?</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, certainly.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Dönitz-37 refers to a
-document of the Prosecution, Exhibit GB-638. That is the statement
-by Admiral Dönitz concerning the case of the <span class='it'>Athenia</span>. At the end
-of that statement the question of the punishment of the U-boat
-commander is mentioned and the Prosecution apparently accuses
-Admiral Dönitz of not punishing the commander except in a disciplinary
-manner. I want to prove with this Document Dönitz-37
-that a commanding officer will tolerate certain war measures once
-even if they were not correct or at least partly not correct.</p>
-
-<p class='pindent'>Dönitz-38 is in connection with Document Dönitz-39, which has
-not been objected to by the Prosecution. It brings out only one detail
-from the Document Dönitz-39. This document states the attitude
-of the Naval Operations Staff to alleged reports about the Allies’
-firing on survivors and similar incidents. By Dönitz-38 I only intend
-to show that the very careful attitude of the Naval Operations Staff
-was not based on lack of proof for they even had affidavits to prove
-it, and in spite of that rejected any possibility of reprisals.</p>
-
-<p class='pindent'>Dönitz-40 is in connection with Document Dönitz-42 which I
-submitted and against which no objection has been raised. In this
-document quite sober considerations are raised as to whether survivors
-could be fired on or not. I should like to show that such
-considerations perhaps appear inhumane and impossible after a war,
-but that during war such questions are examined and in certain
-cases are answered in the affirmative, according to military necessity.
-<span class='pageno' title='241' id='Page_241'></span></p>
-
-<p class='pindent'>The next two documents, Göring-7, on Page 89, and C-21, on
-Page 91, deal with the document of the Prosecution, Exhibit GB-205.
-That was a radio message concerning the sinking of an Allied sailing
-cutter. GB-205 is on Page 53 of the Prosecution’s document book.
-The Prosecution in connection with this document has accused our
-naval warfare command of trying to terrorize the crews of neutral
-ships. Both my documents, Göring-7 and C-21, give only a few
-examples to the effect that that terrorizing is nothing illegal but
-that naturally each belligerent in taking military measures considers
-the psychological effect of these measures on the enemy.</p>
-
-<p class='pindent'>The next group is Document Dönitz-43, on Page 95; Dönitz-90,
-on Page 258, and Dönitz-67, on Page 96. They all deal with the
-subject of whether a ship is obliged to carry out rescues if this
-would endanger the ship itself, and relates to the document of the
-Prosecution, GB-196 on Page 33 of the document book of the Prosecution
-and GB-199 on Page 36 of the Prosecution’s book. They show
-first the methods of the British navy...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, you have told us the subject
-they relate to. That is to say, they relate to the subject whether
-a ship is obliged to rescue if in danger, and that, you say, is an
-answer to GB-196 and 199. Why should you tell us anything more
-than that?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: If that is sufficient, then
-I shall proceed, Mr. President. The last document in this group is
-Dönitz-53, Page 99. It is a statement signed by some 60 U-boat commanders
-from an English prisoner-of-war camp, and it deals with
-the fact that they never received an order to kill survivors. The
-Prosecution objected to it because it was considered too general
-and was not sworn to. I believe that it contains a very concrete
-statement concerning the alleged order for destruction. Furthermore,
-it is an official report by the German commanders as prisoners
-of war to their superior, the English camp commandant; and I
-received it through the British War Office. I request the Tribunal
-particularly to approve this document, because it has a high probative
-and moral value for myself and for my client.</p>
-
-<p class='pindent'>The last group of the documents objected to comes under the
-heading “Conspiracy.” It is in the document book, Volume II,
-Mr. President, Dönitz-47, and relates to Exhibit GB-212. Dönitz-47
-is on Page 120. The document of the Prosecution is Exhibit GB-212.
-On Page 75 an incident is mentioned, namely, that Admiral Dönitz
-approved the fact that a traitor in a prisoner-of-war camp was done
-away with. Dönitz-47 will show that the removal of traitors is an
-emergency measure which is approved by all governments in time
-of war.
-<span class='pageno' title='242' id='Page_242'></span></p>
-
-<p class='pindent'>Dönitz-48 deals with the subject of the treatment of prisoners
-of war. It is related to the document of the Prosecution, Exhibit
-GB-209. Dönitz-48 is on Page 122 in my document book, and GB-209
-is on Page 68 of the document book of the Prosecution. In connection
-with GB-209, which deals with the possibility of abandoning
-the Geneva Convention, the Prosecution accuses Dönitz of wanting
-to risk the lives of 150,000 American and over 50,000 British
-prisoners of war without scruple. In my opinion, it is not sufficient
-merely to dispute such a statement which is made by the Prosecution,
-but I must prove that those prisoners of war for whom
-Admiral Dönitz himself was responsible were not only treated
-according to international law but in an exemplary manner and as
-can be seen from a British statement, which is contained in evidence,
-“with fairness and consideration.”</p>
-
-<p class='pindent'>The next document Dönitz-49 deals with the treatment of native
-populations. It is on Page 130. It is relevant to the documents of
-the Prosecution GB-210, Prosecution document book Page 69, and
-GB-211, Prosecution document book Page 72. According to these
-two documents of the Prosecution Admiral Dönitz is connected with
-the conspiracy for committing crimes against the native populations
-of occupied territories. Here again, I would like to show that in
-that sector for which he was personally responsible, he did everything
-necessary to protect the inhabitants of the occupied territories.
-Therefore I have submitted evidence concerning the sentences imposed
-by the naval courts for the protection of the inhabitants,
-which have been confirmed by Admiral Dönitz even in the case of
-death sentences against German soldiers.</p>
-
-<p class='pindent'>The Prosecution states that this document is also very general.
-The document has an appendix with about 80 individual examples
-of sentences. I have not included these examples, in order to save
-the translators this work; but if the Tribunal considers it necessary,
-I will certainly have that appendix translated.</p>
-
-<p class='pindent'>The last group contains Dönitz-51, on Page 134, and Dönitz-52,
-on Page 135. They are in connection with the Prosecution’s Document
-GB-188, on Page 10 of the British document book. That is the
-speech made by Admiral Dönitz on the occasion of Adolf Hitler’s
-death. In connection with that document and another, the Prosecution
-has accused him of being a fanatical Nazi and, as such, of
-prolonging the war at the expense of the men, women, and children
-of his country. The very documents of the Prosecution, however,
-show that he considered a delay of capitulation necessary in order
-to make it possible to get as many people as possible from the East
-to the West and thus bring them to safety.
-<span class='pageno' title='243' id='Page_243'></span></p>
-
-<p class='pindent'>The Documents Dönitz-51 and Dönitz-52 will prove that in fact
-many hundreds of thousands, if not millions, of German people
-were brought to safety during these last weeks of the war.</p>
-
-<p class='pindent'>THE PRESIDENT: We shall see that from the documents presumably.
-That is part of the details in the documents, isn’t it,
-what you say?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I do not need to say
-anything further about it, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: Are these all the documents? Dr. Kranzbühler,
-the Tribunal is inclined to think that it would save time
-after the Tribunal has ruled upon these documents, if you called
-the Defendant Dönitz first. Would you be willing to do that?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I was not
-prepared for it, but I am in a position to do so.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, the object of it of course is to try and
-save time, and the Tribunal thinks that in the course of the examination
-of the defendant a considerable number of these documents
-might possibly be dealt with in the course of direct and cross-examination.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. The
-difficulty, however, is that during the examination of Admiral
-Dönitz I should like to count on the knowledge of the contents of
-the documents; and I should also like to discuss some documents
-with him. But I do not know whether the Tribunal will approve
-these documents now or not.</p>
-
-<p class='pindent'>THE PRESIDENT: But what I am suggesting is that the Tribunal
-should consider now the relevance of these documents, the
-admissibility of these documents, and then tell you—make a rule—as
-to what documents are admitted. You will then know what
-documents are admitted. Then you can call Admiral Dönitz and
-of course examine him with reference to the documents which are
-admitted; and as I have told you, the Tribunal has already looked
-at these documents. They will now reconsider them, in order to see
-whether they are admissible, and the Tribunal will in that way, to
-a large extent, be fully acquainted with the documents.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, I agree to that,
-Mr. President. I will call Admiral Dönitz if the Tribunal deems it
-proper.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, you have been dealing
-with a Document Dönitz-60, which contains a great number of pages
-to which you wish to refer. When we have ruled upon them you
-will have to give separate exhibit numbers to each one of the documents—to
-each one of the pages which we will rule are admissible
-and which you wish to offer in evidence.
-<span class='pageno' title='244' id='Page_244'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, may I
-point out that this is one book. Dönitz-60 is one book. That is why
-I have not given it an exhibit number, because I submit it as one.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, but it contains so many pages that it
-will be more convenient, will it not, to give each separate page a
-separate exhibit number?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: It seems to relate to a great variety of
-subjects.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, a collection of documents.</p>
-
-<p class='pindent'>THE PRESIDENT: Now as you dealt with the various subjects
-in entirely different order than the way in which Sir David Maxwell-Fyfe
-dealt with them, I think it would be convenient if we heard
-anything he wants to say about it. Only if you do wish to say something,
-Sir David.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Certainly, My Lord. My Lord,
-I have heard the Tribunal say that they have had an opportunity
-of examining the documents and therefore I propose to be extremely
-brief in any remarks I have to make: and may I make one explanation
-before I deal with the very few points?</p>
-
-<p class='pindent'>My friend, Colonel Pokrovsky, wanted to make it clear—as I
-think it was clear to the Tribunal yesterday—that there had been
-no objection to Documents 3 and 4 because in these they deal with
-a secret base in the North which is only of importance for the attacks
-against wood transports from the North Russian ports. The objectionable
-matter, as I think the Tribunal pointed out, was introduced
-in a statement of Dr. Kranzbühler which has no foundation
-in the documents. Colonel Pokrovsky was very anxious that I
-should make that clear on behalf of the Prosecution.</p>
-
-<p class='pindent'>My Lord, I think there are really only two points which I need
-emphasize in reply to the Tribunal. The first is on my Group 3,
-the details of the Contraband Control System. My Lord, I submit
-that on this there is an essential <span class='it'>non sequitur</span> in Dr. Kranzbühler’s
-argument. He says that, first of all, the carrying of contraband by
-merchant ships, to carry his argument to its logical conclusion,
-would entitle a belligerent to sinking at sight. That, I submit, with
-great respect to him, is completely wrong; and it does not follow
-that because you establish certain rules and lists of contraband that
-the right to sink at sight is affected at all.</p>
-
-<p class='pindent'>Similarly, his second point with regard to the British navicert
-system. That system was used in World War I and is a well-known
-system. But again, the essential <span class='it'>non sequitur</span> or absence of connection
-is this, that if a neutral goes to one of the control ports and
-<span class='pageno' title='245' id='Page_245'></span>
-gets a navicert, that does not put that neutral into so un-neutral an
-act as to make it the equivalent of a ship of war, which is the
-position that my friend—that Dr. Kranzbühler—would have to take
-if that argument were to succeed.</p>
-
-<p class='pindent'>His third division wishes to put in documents showing economic
-pressures on, for example, Belgium, with regard to the import of
-goods. The naval defendants are not being charged with economic
-pressure; they are charged with killing people on the high seas.
-Now again, I have dealt with it very shortly, and the Prosecution
-submits and takes the view very strongly that the whole of that
-documentary evidence is several steps removed from the issues in
-the case.</p>
-
-<p class='pindent'>Now the second group of matters which I wanted to refer to. I
-can take as an example the document making several score of
-allegations of un-neutral acts against the United States. The case
-for the Prosecution on sinking at sight is that sinking at sight
-against various groups of neutrals was adopted as a purely political
-matter, according to the advantage or, when it was abstained from,
-the disadvantage which Germany might get from her relations with
-these neutrals. And it does not help in answering that allegation
-of the Prosecution. That is a matter of fact which can be judged,
-whether the Prosecution is right. It does not help on that to say
-that the United States committed certain nonneutral acts. If anything,
-it would be supporting the contention of the Prosecution that
-sinking on sight was applied arbitrarily according to the political
-advantages which could be obtained from it.</p>
-
-<p class='pindent'>And the only other point—and again my friend, Colonel
-Pokrovsky, wishes me to emphasize it—is that these, the collection
-of unsworn statements, are of course in a very different position,
-from any legal standard, from reports made by officers in the
-course of their duty. Those are admissible in all military courts,
-probably in every country in the world. These are an <span class='it'>ad hoc</span> collection.
-They are not only unsworn but they are vague, indefinite,
-and insufficiently related to the order which is adhered to in the
-case of the Prosecution.</p>
-
-<p class='pindent'>My Lord, I have tried to cut it very short, but I did want the
-Tribunal to appreciate that on all these groups and especially, if I
-may say so, on Groups 3 and 4, the Prosecution feels very strongly
-on this matter in the case. I am grateful to the Tribunal for giving
-me the opportunity of saying this.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='246' id='Page_246'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>MARSHAL: If it please the Tribunal, the Defendant Streicher
-is absent from this session.</p>
-
-<p class='pindent'>THE PRESIDENT: I will deal with the documents in the order
-in which they were dealt with by Fleet Judge Kranzbühler.</p>
-
-<p class='pindent'>The Tribunal rejects Dönitz-5, Page 7 of the document book.</p>
-
-<p class='pindent'>The Tribunal rejects Dönitz-60, Page 152.</p>
-
-<p class='pindent'>The Tribunal allows Dönitz-69, Page 170.</p>
-
-<p class='pindent'>The Tribunal rejects Dönitz-60, Pages 173 to 197.</p>
-
-<p class='pindent'>The Tribunal rejects Dönitz-72, Page 185.</p>
-
-<p class='pindent'>The Tribunal rejects Dönitz-60, Page 204.</p>
-
-<p class='pindent'>It rejects Dönitz-74, Page 207.</p>
-
-<p class='pindent'>It allows Dönitz-60, Page 208.</p>
-
-<p class='pindent'>It rejects Dönitz-60, Page 209.</p>
-
-<p class='pindent'>It rejects Dönitz-75, Page 218.</p>
-
-<p class='pindent'>It rejects Dönitz-60, Page 219, Page 222 and Page 224.</p>
-
-<p class='pindent'>It allows Dönitz-60, Page 256.</p>
-
-<p class='pindent'>It rejects Dönitz-81, Page 233 and 234; 234 being Dönitz-82.</p>
-
-<p class='pindent'>It rejects Dönitz-85, Page 242.</p>
-
-<p class='pindent'>It rejects Dönitz-89, Page 246.</p>
-
-<p class='pindent'>It allows Dönitz-9, Page 11, and Dönitz-10, Page 12.</p>
-
-<p class='pindent'>It rejects Dönitz-12, Page 18.</p>
-
-<p class='pindent'>It allows Dönitz-13, Pages 19 to 26, and Page 49.</p>
-
-<p class='pindent'>It allows Dönitz-19, Page 34.</p>
-
-<p class='pindent'>It allows Dönitz-29, Pages 54 to 59, leaving out—that is to say,
-not allowing—Page 58.</p>
-
-<p class='pindent'>It rejects Dönitz-31, Page 64.</p>
-
-<p class='pindent'>It rejects Dönitz-32, Page 65.</p>
-
-<p class='pindent'>It rejects Dönitz-33, Page 66.</p>
-
-<p class='pindent'>It allows Dönitz-37, Page 78.</p>
-
-<p class='pindent'>It rejects Dönitz-38, Page 80.</p>
-
-<p class='pindent'>It rejects Dönitz-40, Page 86.</p>
-
-<p class='pindent'>It rejects Göring Number 7, Page 89.</p>
-
-<p class='pindent'>With reference to the next exhibit, Page 91, the Tribunal would
-like to know from Fleet Judge Kranzbühler whether that is already
-in evidence or not. It is Page 91 in the Dönitz Document Book in
-English, Volume II, Page 91.</p>
-
-<p class='pindent'>It is headed “C-21, GB-194.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is an excerpt from
-a document which the Prosecution has submitted here and which
-is therefore already in evidence.
-<span class='pageno' title='247' id='Page_247'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Very well, then; we need not be troubled
-about it.</p>
-
-<p class='pindent'>The Tribunal rejects Dönitz-43, Page 95.</p>
-
-<p class='pindent'>It allows Dönitz-90, Page 258.</p>
-
-<p class='pindent'>It allows Dönitz-67, Page 96.</p>
-
-<p class='pindent'>It allows Dönitz-53, Page 99.</p>
-
-<p class='pindent'>It rejects Dönitz-47, Page 120.</p>
-
-<p class='pindent'>It allows Dönitz-48, Page 122.</p>
-
-<p class='pindent'>It rejects Dönitz-49, Page 131.</p>
-
-<p class='pindent'>It rejects Dönitz-51 and 52, Pages 134 and 135.</p>
-
-<p class='pindent'>That is all.</p>
-
-<p class='pindent'>The Tribunal will adjourn today at a quarter to five and it will
-be sitting in closed session thereafter.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: With the permission of
-the Tribunal, I call Admiral Dönitz as witness.</p>
-
-<p class='pindent'>[<span class='it'>The Defendant Dönitz took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name?</p>
-
-<p class='pindent'>KARL DÖNITZ (Defendant): Karl Dönitz.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The defendant repeated the oath in German.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, since 1910 you
-have been a professional officer; is that correct?</p>
-
-<p class='pindent'>DÖNITZ: Since 1910 I have been a professional soldier, and an
-officer since 1913.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes. During the World
-War, the first World War, were you with the U-boat service?</p>
-
-<p class='pindent'>DÖNITZ: Yes, from 1916.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Until the end?</p>
-
-<p class='pindent'>DÖNITZ: Until the end of the war.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: After the first World
-War, when did you again have contact with the U-boat service?</p>
-
-<p class='pindent'>DÖNITZ: On 27 September 1935 I became the commanding
-officer of the U-boat Flotilla Weddigen, the first German U-boat
-flotilla after 1918. As an introduction to taking up that command,
-that is, in September 1935, I spent a few days in Turkey, in order
-to go there in a U-boat and to bridge the gap from 1918.
-<span class='pageno' title='248' id='Page_248'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Thus from 1918 to 1935
-you had nothing to do with U-boats?</p>
-
-<p class='pindent'>DÖNITZ: No, nothing at all.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What was your rank
-when you went to the U-boat service in 1935?</p>
-
-<p class='pindent'>DÖNITZ: I was a Fregattenkapitän.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What did the German
-U-boat service at that time consist of?</p>
-
-<p class='pindent'>DÖNITZ: The U-boat Flotilla Weddigen, of which I became the
-commanding officer, consisted of three small boats of 250 tons
-each, the so-called “Einbäume.” Besides, there were six somewhat
-smaller boats which were in a U-boat school, which was not under
-my command, for the purpose of training. Then there were afloat
-and in service perhaps another six of these small boats.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Who informed you of
-that command as C. O. of the U-boat flotilla?</p>
-
-<p class='pindent'>DÖNITZ: Admiral Raeder.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Admiral Raeder on
-that occasion issue the order that the U-boat arm should be prepared
-for a specific war?</p>
-
-<p class='pindent'>DÖNITZ: No. I merely received the order to fill in that gap
-from 1918, to train the U-boats for the first time in cruising, submersion,
-and firing.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you prepare the
-U-boats for war against merchant shipping?</p>
-
-<p class='pindent'>DÖNITZ: Yes. I instructed the commanders as to how they
-should behave if they stopped a merchantman and I also issued an
-appropriate tactical order for each commander.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you mean to say that
-the preparation for war against merchantmen was a preparation
-for war according to Prize Regulations?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is to say, the preparations
-were concerned with the stopping of ships on the surface?</p>
-
-<p class='pindent'>DÖNITZ: The only instruction which I gave concerning the war
-against merchantmen was an instruction on how the U-boat should
-behave in the stopping and examining, the establishing of the
-destination and so on, of a merchantman. Later, I believe in the
-year 1938, when the draft of the German Prize Regulations came,
-I passed this on to the flotillas for the instruction of the commanders.
-<span class='pageno' title='249' id='Page_249'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You developed a new
-tactic for U-boats which became known under the name “wolf pack
-tactics.” What was there to these pack tactics, and did that mean
-anything in connection with the warfare against merchantmen
-according to the Prize Regulations?</p>
-
-<p class='pindent'>DÖNITZ: The U-boats of all navies had so far operated singly,
-contrary to all other categories of ships which, by tactical co-operation,
-tried to get better results. The development of the “wolf pack
-tactics” was nothing further than breaking with that principle of
-individual action for each U-boat and attempting to use U-boats
-exactly in the same manner as other categories of warships, collectively.
-Such a method of collective action was naturally necessary
-when a formation was to be attacked, be it a formation of
-warships, that is, several warships together, or a convoy. These
-“wolf pack tactics,” therefore, have nothing to do with war against
-merchantmen according to Prize Regulations. They are a tactical
-measure to fight formations of ships, and, of course, convoys, where
-procedure according to Prize Regulations cannot be followed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were you given the mission,
-or even obliged to prepare for war, against a definite enemy?</p>
-
-<p class='pindent'>DÖNITZ: I did not receive such a general mission. I had the
-mission of developing the U-boat service as well as possible, as it
-is the duty of every front-line officer of all armed forces of all
-nations, in order to be prepared against all war emergencies. Once,
-in the year 1937 or 1938, in the mobilization plan of the Navy, my
-order read that, in case France should try to interrupt the rearmament
-by an attack on Germany, it would be the task of the German
-U-boats to attack the transports in the Mediterranean which
-would leave North Africa for France. I then carried out maneuvers
-in the North Sea with this task in mind. If you are asking me
-about a definite aim or line of action, that, so far as I remember,
-was the only mission which I received in that respect from the
-Naval Operations Staff. That occurred in the year 1936 or 1937.
-According to my recollection, that plan had been issued lest the
-rearmament of Germany, at that time unarmed, might be interrupted
-by some measure or other.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the year 1939, then,
-was the German U-boat service prepared technically and tactically
-for a naval war against England?</p>
-
-<p class='pindent'>DÖNITZ: No. The German U-boat service, in the fall of 1939,
-consisted of about thirty to forty operational boats. That meant
-that at any time about one-third could be used for operations. In
-view of the harsh reality the situation seemed much worse later.
-There was one month, for instance, when we had only two boats
-<span class='pageno' title='250' id='Page_250'></span>
-out at sea. With this small number of U-boats it was, of course,
-only possible to give pinpricks to a great naval power such as England.
-That we were not prepared for war against England in the
-Navy, is, in my opinion, best and most clearly to be seen from the
-fact that the armament of the Navy had to be radically changed
-at the beginning of the war. It had been the intention to create
-a homogeneous fleet which, of course, since it was in proportion
-much smaller than the British fleet, was not capable of waging a
-war against England. This program for building a homogeneous
-fleet had to be discontinued when the war with England started;
-only these large ships which were close to completion were finished.
-Everything else was abandoned or scrapped. That was necessary
-in order to free the building capacity for building U-boats. And
-that, also, explains why the German U-boat war, in this last war,
-actually only started in the year 1942, that is to say, when the
-U-boats which had been ordered for building at the beginning of
-the war were ready for action. Since peacetime, that is in 1940,
-the replacement of U-boats hardly covered the losses.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution has
-repeatedly termed the U-boat arm an aggressive weapon. What
-do you say to this?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is correct. The U-boat has, of course, the
-assignment of approaching an enemy and attacking him with torpedoes.
-Therefore, in that respect, the U-boat is an aggressive
-weapon.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you mean to say by
-that that it is a weapon for an aggressive war?</p>
-
-<p class='pindent'>DÖNITZ: Aggressive or defensive war is a political decision and,
-therefore, it has nothing to do with military considerations. I can
-certainly use a U-boat in a defensive war because, in defensive war
-also, the enemy’s ships must be attacked. Of course, I can use a
-U-boat in exactly the same way in a politically aggressive war. If
-one should conclude that the navies which have U-boats are planning
-an aggressive war, then all nations—for all the navies of these
-nations had U-boats, in fact many had more than Germany, twice
-and three times as many—planned aggressive war.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In your capacity as Flag
-Officer of U-boats, did you yourself have anything to do with the
-planning of the war as such?</p>
-
-<p class='pindent'>DÖNITZ: No, nothing at all. My task was to develop U-boats
-militarily and tactically for action, and to train my officers and men.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Before the beginning of
-this war did you give any suggestions or make any proposals concerning
-a war against a definite enemy?
-<span class='pageno' title='251' id='Page_251'></span></p>
-
-<p class='pindent'>DÖNITZ: No, in no instance.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you do so after this
-war had started concerning a new enemy?</p>
-
-<p class='pindent'>DÖNITZ: No, not in that case either.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution has submitted
-some documents which contain orders from you to the U-boats
-and which date from before the beginning of this war. An order
-for the placing of certain U-boats in the Baltic and west of England,
-and an order before the Norway action for the disposition of
-U-boats along the Norwegian coast. I ask you, therefore, when, at
-what time, were you as Flag Officer of U-boats, or from 1939 on as
-Commander of U-boats, informed about existing plans?</p>
-
-<p class='pindent'>DÖNITZ: I received information on plans from the Naval
-Operations Staff only after these plans had been completed; that is
-to say, only if I was to participate in some way in the carrying out
-of a plan, and then only at a time necessary for the prompt execution
-of my military task.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Let us take the case of
-the Norway action, Admiral. When did you find out about the
-intention to occupy Norway, and in what connection did you receive
-that information?</p>
-
-<p class='pindent'>DÖNITZ: On 5 March 1940 I was called from Wilhelmshaven,
-where I had my command, to Berlin, to the Naval Operations Staff,
-and at that meeting I was instructed on the plan and on my task.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I present you now with
-an entry from the War Diary of the Naval Operations Staff, which I
-will submit to the Tribunal as Dönitz Exhibit Number 6. It is on
-Page 8 of Document Book 1.</p>
-
-<div class='blockquote'>
-
-<p>“5 March 1940: The Flag Officer of U-boats participates in a
-conference with the Chief of Staff of the Naval Operations
-Staff in Berlin.</p>
-
-<p>“Object of the conference: Preparation of the occupation of
-Norway and Denmark by the German Wehrmacht.”</p>
-
-</div>
-
-<p class='pindent'>Is that the meeting which you have mentioned?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the case of Norway,
-or in the previous case of the outbreak of war with Poland, did you
-have the opportunity to examine whether the tactical instructions
-which you had to give to your U-boats led or were to lead to the
-waging of an aggressive war?</p>
-
-<p class='pindent'>DÖNITZ: No, I had neither the opportunity nor indeed the
-authority to do that. I should like to ask what soldier of what
-<span class='pageno' title='252' id='Page_252'></span>
-nation, who receives any military task whatsoever, has the right
-to approach his general staff and ask for examination or justification
-as to whether an aggressive war can evolve from this task.
-That would mean that the soldiers...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the Tribunal has itself to
-decide as a matter of law whether the war was an aggressive war.
-It does not want to hear from this witness, who is a professional
-sailor, what his view is on the question of law.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I believe
-my question has been misunderstood. I did not ask Admiral Dönitz
-whether he considered the war an aggressive war or not; but I
-asked him whether he had the opportunity or the task, as a soldier,
-of examining whether his orders could become the means for an
-aggressive war. He, therefore, should state his conception of the
-task which he had as a soldier, and not of the question of whether
-it was or was not an aggressive war.</p>
-
-<p class='pindent'>THE PRESIDENT: He can tell us what his task was as a matter
-of fact, but he is not here to argue the case to us. He can state the
-facts—what he did.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Does one not also,
-Mr. President, have to allow a defendant to say what considerations
-he had or what considerations he did not have? What I mean
-is that the accusations of the Prosecution arise from this, and the
-defendant must have the opportunity of stating his position regarding
-these accusations.</p>
-
-<p class='pindent'>THE PRESIDENT: We want to hear the evidence. You will
-argue his case on his behalf on the evidence that he gives. He is
-not here to argue the law before us. That is not the subject of
-evidence.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I shall question him on
-his considerations, Mr. President.</p>
-
-<p class='pindent'>Admiral, in connection with the orders which you issued to the
-U-boats before the war or in connection with the orders which you
-issued before the beginning of the Norway action—did you ever
-have any considerations as to whether it would lead to aggressive
-war?</p>
-
-<p class='pindent'>DÖNITZ: I received military orders as a soldier, and my purpose
-naturally was to carry out these military tasks. Whether the
-leadership of the State was thereby politically waging an aggressive
-war or not, or whether they were protective measures, was not
-for me to decide; it was none of my business.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: As Commander of U-boats,
-from whom did you receive your orders about the waging of U-boat
-warfare?
-<span class='pageno' title='253' id='Page_253'></span></p>
-
-<p class='pindent'>DÖNITZ: From the Chief of the SKL, the Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Who was that?</p>
-
-<p class='pindent'>DÖNITZ: Grossadmiral Raeder.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What were the orders
-which you received at the beginning of the war, that is, the beginning
-of September 1939, for the conduct of U-boat warfare?</p>
-
-<p class='pindent'>DÖNITZ: War against merchantmen according to the Prize
-Regulations, that is to say, according to the London Pact.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What ships, according to
-that order, could you attack without previous warning?</p>
-
-<p class='pindent'>DÖNITZ: At that time I could attack without warning all ships
-which were guarded either by naval vessels or which were under
-air cover. Furthermore, I was permitted to exercise armed force
-against any ship which, when stopped, sent radio messages, or
-resisted the order to stop, or did not obey the order to stop.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now, there is no doubt
-that, a few weeks after the beginning of the war, the war against
-merchantmen was intensified. Did you know whether such an intensification
-was planned, and if you do, why it was planned?</p>
-
-<p class='pindent'>DÖNITZ: I knew that the Naval Operations Staff intended,
-according to events, according to the development of the enemy’s
-tactics, to retaliate blow for blow, as it says or said in the order, by
-intensified action.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What were the measures
-of the enemy and, on the other hand, what were your own experiences
-with the measures taken by the enemy which led to an intensification
-of action?</p>
-
-<p class='pindent'>DÖNITZ: Right at the beginning of the war it was our experience
-that all merchantmen not only took advantage of their
-radio installations when an attempt was made to stop them, but
-that they immediately sent messages as soon as they saw any U-boat
-on the horizon. It was absolutely clear, therefore, that all merchantmen
-were co-operating in the military intelligence service. Furthermore,
-only a few days after the beginning of the war we found out
-that merchantmen were armed and made use of their weapons.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What orders on the part
-of Germany resulted from these experiences?</p>
-
-<p class='pindent'>DÖNITZ: They first brought about the order that merchantmen
-which sent radio messages on being stopped could be attacked without
-warning. They also brought about the order that merchantmen
-whose armament had been recognized beyond doubt, that is, whose
-<span class='pageno' title='254' id='Page_254'></span>
-armament one knew from British publication, could be attacked
-without warning.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: This order concerning
-attacks on armed merchantmen was issued on 4 October 1939; is
-that right?</p>
-
-<p class='pindent'>DÖNITZ: I believe so.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was there a second order,
-soon after that, according to which all enemy merchantmen could
-be attacked, and why was that order issued?</p>
-
-<p class='pindent'>DÖNITZ: I believe that the Naval Operations Staff decided on
-this order on the basis of the British publication which said that now
-the arming of merchantmen was completed. In addition, there was
-a broadcast by the British Admiralty on 1 October to the effect that
-the merchantmen had been directed to ram German U-boats and
-furthermore—as stated at the beginning—it was clear beyond doubt
-that every merchantman was part of the intelligence service of the
-enemy, and its radio messages at sight of a U-boat determined the
-use of surface or air forces.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you have reports
-about that from U-boats, according to which U-boats were actually
-endangered by these tactics of enemy merchantmen and were
-attacked by enemy surface or air forces?</p>
-
-<p class='pindent'>DÖNITZ: Yes. I had received quite a number of reports in this
-connection, and since the German measures were always taken
-about 4 weeks after it had been recognized that the enemy employed
-these tactics, I had very serious losses in the meantime—in
-the period when I still had to keep to the one-sided and, for me,
-dangerous obligations.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: By these obligations, are
-you referring to the obligation to wage war against merchantmen
-according to the Prize Regulations during a period when the enemy’s
-merchant ships had abandoned their peaceful character?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you protest later
-against the directives of the Naval Operations Staff which led to an
-intensification of the war on merchantmen, or did you approve these
-directives?</p>
-
-<p class='pindent'>DÖNITZ: No, I did not protest against them. On the contrary,
-I considered them justified, because, as I said before, otherwise I
-would have had to remain bound to an obligation which was one-sided
-and meant serious losses for me.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was this intensification
-of the war against merchantmen by the order to fire on armed
-<span class='pageno' title='255' id='Page_255'></span>
-merchantmen, and later the order to attack all enemy merchantmen,
-based on the free judgment of the Naval Operations Staff, or was it
-a forced development?</p>
-
-<p class='pindent'>DÖNITZ: This development, as I have said before, was entirely
-forced. If merchantmen are armed and make use of their arms, and
-if they send messages which summon protection, they force the
-U-boat to submerge and attack without warning.</p>
-
-<p class='pindent'>That same forced development, in the areas which we patrolled,
-was also the case with the British submarines, and applied in exactly
-the same way to American and Russian submarines.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: If, on one side, a merchantman
-sends a message and opens fire, and on the other side the
-submarine, for that reason, attacks without warning, which side has
-the advantage of this development, according to your experience?
-The side of the merchantman or the side of the submarine?</p>
-
-<p class='pindent'>DÖNITZ: In an ocean area where there is no constant patrolling
-by the enemy, by naval forces of any kind or by aircraft, as along
-the coast, the submarine has the advantage. But in all other areas
-the ship acquires the main attack weapons against a submarine,
-and the submarine is therefore compelled to treat that ship as a
-battleship, which means that it is forced to submerge and loses its
-speed. Therefore, in all ocean areas, with the exception of coastal
-waters which can be constantly controlled, the advantage of arms
-lies with the merchantman.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Are you of the opinion
-that the orders of the Naval Operations Staff actually remained
-within the limits of what was militarily necessary due to enemy
-measures, or did these orders go beyond military necessity?</p>
-
-<p class='pindent'>DÖNITZ: They remained absolutely within the bounds of what
-was necessary. I have explained already that the resulting steps
-were always taken gradually and after very careful study by the
-Naval Operations Staff. This very careful study may also have been
-motivated by the fact that for political reasons any unnecessary
-intensification in the West was to be avoided.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, these orders we
-have mentioned were based at that time only on German
-experiences and without an accurate knowledge of the orders which
-had been issued on the British side. Now, I should like to put these
-orders to you; we now have information on them through a ruling
-of the Tribunal, and I should like to ask you whether these individual
-orders coincide with your experiences or whether they are
-somewhat different. I submit the orders of the British Admiralty
-as Exhibit Dönitz-67. It is on Page 163 in Document Book 3. As
-<span class='pageno' title='256' id='Page_256'></span>
-you know, this is the Handbook of the British Navy of 1938, and
-I draw your attention to Page 164, to the paragraph on reporting
-the enemy.</p>
-
-<p class='pindent'>DÖNITZ: There is no pagination here.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It is D. M. S. 3-1-55, the
-paragraph on radio. The heading is “Reporting the Enemy.”</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I will read the paragraph
-to you:</p>
-
-<div class='blockquote'>
-
-<p>“As soon as the master of a merchant ship realizes that a ship
-or aircraft in sight is an enemy, it is his first and most important
-duty to report the nature and position of the enemy
-by wireless telegraph. Such a report promptly made may be
-the means of saving not only the ship herself but many
-others; for it may give an opportunity for the destruction of
-her assailant by our warships or aircraft, an opportunity
-which might not recur.”</p>
-
-</div>
-
-<p class='pindent'>Then there are more details which I do not wish to read, on the
-manner and method, when and how these radio signals are to be
-given. Is this order in accordance with your experience?</p>
-
-<p class='pindent'>DÖNITZ: Yes. In this order, there is not only a directive to send
-wireless signals if the ship is stopped by a U-boat—that alone would,
-according to international law, justify the U-boat in employing
-armed force against the ship—but beyond that it is stated that as
-soon as an enemy ship is in sight this signal is to be transmitted
-in order that the naval forces may attack in time.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: So this order is in accord
-with the experiences which our U-boats reported?</p>
-
-<p class='pindent'>DÖNITZ: Entirely.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I shall draw your attention
-now to the Paragraph D. M. S. 2-VII, on Page 165, that is the
-paragraph on opening fire: “Conditions under which fire may be
-opened.”</p>
-
-<div class='blockquote'>
-
-<p>“(a) Against enemy acting in accordance with international
-law.—As the armament is solely for the purpose of self-defense,
-it must only be used against an enemy who is clearly
-attempting to capture or sink the merchant ship. On the outbreak
-of war it should be assumed that the enemy will act
-in accordance with international law, and fire should therefore
-not be opened until he has made it plain that he intends
-to attempt capture. Once it is clear that resistance will be
-necessary if capture is to be averted, fire should be opened
-immediately.
-<span class='pageno' title='257' id='Page_257'></span></p>
-
-<p>“(b) Against enemy acting in defiance of international law.—If,
-as the war progresses, it unfortunately becomes clear that
-in defiance of international law the enemy has adopted a
-policy of attacking merchant ships without warning, it will
-then be permissible to open fire on an enemy vessel, submarine,
-or aircraft, even before she has attacked or demanded
-surrender, if to do so will tend to prevent her gaining a favorable
-position for attacking.”</p>
-
-</div>
-
-<p class='pindent'>Is this order, that is to say, the order “(a)” and “(b),” in accord
-with the experiences made?</p>
-
-<p class='pindent'>DÖNITZ: In practice no difference can be established between
-“(a)” and “(b).” I should like to draw attention in this connection
-to D. M. S. 3-III, Page 167, under IV; that is the last paragraph of
-“(b)” of the number mentioned.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment, do you
-mean “(b)-V”?</p>
-
-<p class='pindent'>DÖNITZ: It says here “(b)-IV”. There...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is not printed,
-Mr. President.</p>
-
-<div class='blockquote'>
-
-<p>DÖNITZ: “In ships fitted with a defensive armament, open
-fire to keep the enemy at a distance”—that is (b)-IV—“if you
-consider that he is clearly intending to effect a capture and
-that he is approaching so close as to endanger your chances
-of escape.”</p>
-
-</div>
-
-<p class='pindent'>That means therefore that as soon as the ship sights a U-boat,
-which during war must be assumed to be there for a reason to
-effect a capture—the ship will, in its own defense, open fire as soon
-as it comes within range; that is when the submarine has come
-within range of its guns. The ship, in using its guns for an offensive
-action, can act in no other way.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, did the armed
-enemy vessels act then in the manner which you have described;
-that is, did they really fire as soon as a submarine came within
-range?</p>
-
-<p class='pindent'>DÖNITZ: Yes. As early as—according to my recollection, the
-first report came from a U-boat about that on 6 September 1939.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: With this order, however,
-we find a further supplement under AMS 1-118, dated 13 June 1940,
-on Page 165, and here we read:</p>
-
-<div class='blockquote'>
-
-<p>“With reference to D.M.S. Part 1, Article 53, it is now considered
-clear that in submarine and aerial operations the
-enemy has adopted a policy of attacking merchant ships without
-warning. Subparagraph (b) of this article should therefore
-be regarded as being in force.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='258' id='Page_258'></span></p>
-
-<p class='pindent'>That means, then, that the order which we read before, “(b)”
-was to be considered in effect only from 13 June 1940. Do you
-mean to say that actually before that, from the very beginning,
-you acted according to the order “(b)”?</p>
-
-<p class='pindent'>DÖNITZ: I have already stated that between an offensive and
-defensive use of armament on the part of a ship against a submarine,
-there is practically no difference at all, that it is a purely
-theoretical differentiation. But even if one did differentiate between
-them, then beyond doubt the Reuter report—I believe dated
-9 September—which said incorrectly that we were conducting
-unlimited submarine warfare was designated to inform ships’
-captains that now case “(b)” was valid.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I put to you now a
-directive on the handling of depth charges on merchant ships. It
-is on Page 168, the reference list. The heading is “Reference List
-(D),” the date is “14 September 1939.” I read:</p>
-
-<div class='blockquote'>
-
-<p>“The following instructions have been sent out to all W.P.S.’s:
-It has now been decided to fit a single depth charge chute,
-with hand release gear and supplied with 3 charges, in all
-armed merchant vessels of 12 knots or over.”</p>
-
-</div>
-
-<p class='pindent'>Then there are more details and at the end a remark about the
-training of the crews in the use of depth charges. The distribution
-list shows numerous naval officers.</p>
-
-<p class='pindent'>Did you experience this use of depth charges by merchant
-vessels and were such depth charge attacks by merchant ships
-observed?</p>
-
-<p class='pindent'>DÖNITZ: Yes, repeatedly.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Speaking of a ship with
-a speed of 12 knots or more, can one say that a depth charge attack
-against a U-boat is a defensive measure?</p>
-
-<p class='pindent'>DÖNITZ: No. Each depth charge attack against a submarine is
-definitely and absolutely an offensive action; for the submarine submerges
-and is harmless under water, while the surface vessel which
-wants to carry out the depth charge attack approaches as closely
-as possible to the position where it assumes the U-boat to be, in
-order to drop the depth charge as accurately as possible on top
-of the U-boat. A destroyer, that is, a warship, does not attack a
-submarine in any different way.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You are therefore basing
-the manner in which you attacked enemy ships on these tactics
-employed by enemy merchantmen. However, neutral ships also
-suffered, and the Prosecution charges the German U-boat command
-expressly with this. What do you have to say to that?
-<span class='pageno' title='259' id='Page_259'></span></p>
-
-<p class='pindent'>DÖNITZ: Neutral merchantmen, according to the political orders,
-the orders of the Naval Operations Staff, were only attacked without
-warning when they were found in operational zones which had
-been definitely designated as such, or naturally only when they
-did not act as neutrals should, but like ships which were participating
-in the war.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution has
-offered a document in evidence, according to which, in certain
-ocean areas, attack without warning against neutrals was authorized,
-beginning January 1940. I am referring to Prosecution Document
-GB-194. I will read to you the sentence which the Prosecution
-is holding against you.</p>
-
-<p class='pindent'>THE PRESIDENT: Can you tell us where it is?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It is in the British document
-book, Page 30, Mr. President. In the document book of the
-Prosecution, Page 30.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] I will read you the sentence which
-is held against you:</p>
-
-<div class='blockquote'>
-
-<p>“In the Bristol Channel, attack without warning has been
-authorized against all ships where it is possible to claim that
-mine hits have taken place.”</p>
-
-</div>
-
-<p class='pindent'>This order is dated 1 January 1940. Can you tell me whether
-at that time neutrals had already actually been warned against
-using this shipping lane?</p>
-
-<p class='pindent'>DÖNITZ: Yes. Germany had sent a note to the neutrals on
-24 November 1939, warning them against using these lanes and
-advising neutrals to use the methods of the United States, whereby
-American ships—in order to avoid any incidents—had been forbidden
-to enter the waters around England.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I will hand you the note
-of which you speak, and I will at the same time submit it to the
-Tribunal as Exhibit Dönitz-73, to be found on Page 206 of the
-document book. It is in Document Book 4, Page 206.</p>
-
-<p class='pindent'>This is an excerpt from the War Diary of the Naval Operations
-Staff, dated 24 November 1939. It has the following text:</p>
-
-<div class='blockquote'>
-
-<p>“To the Missions, according to enclosed list.</p>
-
-<p class='line' style='text-align:center;margin-top:1em;margin-bottom:1em;'>“Telegram.</p>
-
-<p>“Supplement to wire release of 22 October.</p>
-
-<p>“Please inform the Government there of the following:</p>
-
-<p>“Since the warning issued on (date to be inserted here)
-regarding the use of English and French ships, the following
-two new facts are to be recorded:
-<span class='pageno' title='260' id='Page_260'></span></p>
-
-<p>“a) The United States has forbidden its ships to sail in a
-definitely defined area.</p>
-
-<p>“b) Numerous enemy merchant ships have been armed. It is
-known that these armed ships have instructions to use their
-weapons aggressively and to ram U-boats.</p>
-
-<p>“These two new facts give the Reich Government occasion to
-renew and emphasize its warning, that in view of the increasingly
-frequent engagements, waged with all means of modern
-war technique, in waters around the British Isles and in the
-vicinity of the French coast, the safety of neutral ships in
-this area can no longer be taken for granted.</p>
-
-<p>“Therefore the German Government urgently recommends
-the choice of the route south and east of the German-proclaimed
-danger zone, when crossing the North Sea.</p>
-
-<p>“In order to maintain peaceful shipping for neutral states
-and in order to avoid loss of life and property for the
-neutrals, the Reich Government furthermore feels obliged
-to recommend urgently legislative measures following the
-pattern of the U.S. Government, which in apprehension of the
-dangers of modern warfare, forbade its ships to sail in an
-exactly defined area, in which, according to the words of
-the President of the United States, the traffic of American
-ships may seem imperiled by belligerent action.</p>
-
-<p>“The Reich Government must point out that it rejects any
-responsibility for consequences brought about by disregarding
-recommendations and warnings.”</p>
-
-</div>
-
-<p class='pindent'>This is the note to which you referred, Admiral?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In other words, in your
-opinion, these sinkings in the Bristol Channel could be carried out
-lawfully as from 1 January?</p>
-
-<p class='pindent'>DÖNITZ: Yes; these ocean areas were clearly limited areas in
-which hostilities took place continuously on both sides. The neutrals
-had been warned expressly against using these areas. If they
-entered this war area, they had to run the risk of being damaged.
-England proceeded likewise in its operational areas in our waters.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Since you considered
-these sinkings legal, why was the order given to attack without
-being sighted, if possible, in order to maintain the fiction that mine
-hits had taken place? Doesn’t that indicate a bad conscience?</p>
-
-<p class='pindent'>DÖNITZ: No. During a war there is no basic obligation to
-inform the enemy with what means one does one’s fighting. In
-<span class='pageno' title='261' id='Page_261'></span>
-other words, this is not a question of legality, but a question of
-military or political expediency.</p>
-
-<p class='pindent'>England in her operational areas did not inform us either as to
-the means of fighting she uses or did use; and I know how many
-headaches this caused me when I was Commander-in-Chief of the
-Navy, later, in endeavoring to employ economically the small
-means we had.</p>
-
-<p class='pindent'>That is the principle. At that time when, as Commander of
-U-boats, I received this order to simulate mine hits where
-possible, I considered this as militarily expedient, because the
-counterintelligence were left in doubt as to whether mine sweepers
-or U-boat defense means were to be employed.</p>
-
-<p class='pindent'>In other words, it was a military advantage for the nation conducting
-the war, and today I am of the opinion that political reasons
-also may have influenced this decision, with the object of avoiding
-complications with neutral countries.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How could complications
-with neutral countries come into being, in your opinion, if this
-naval warfare measure was a legal one?</p>
-
-<p class='pindent'>DÖNITZ: During the first World War we had experienced what
-part is played by propaganda. Therefore I think it possible that
-our Government, our political leaders, for this reason, too, may
-have issued this order.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: From your own experience
-you know nothing about these political reasons?</p>
-
-<p class='pindent'>DÖNITZ: Nothing at all.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Up to now you have
-spoken about the orders which were received by the U-boats, first
-for combating enemy ships, and secondly for combating or searching
-neutral ships. Were these orders then actually executed? That
-was primarily your responsibility, was it not?</p>
-
-<p class='pindent'>DÖNITZ: No U-boat commander purposely transgressed an
-order, or failed to execute it. Of course, considering the large
-number of naval actions, which ran into several thousands within
-the 5½ years of war, a very few individual cases occurred in which,
-by mistake, such an order was not followed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How could such a mistake
-occur?</p>
-
-<p class='pindent'>DÖNITZ: Every sailor knows how easily mistakes in identification
-can occur at sea; not only during a war, but also in peacetime,
-due to visibility, weather conditions, and other factors.
-<span class='pageno' title='262' id='Page_262'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Is it also possible that
-submarines operated on the borders of the operational areas,
-although they were already outside these borders?</p>
-
-<p class='pindent'>DÖNITZ: That is, of course, also possible. For again every sailor
-knows that after a few days of bad weather, for instance, inaccuracy
-in the ship’s course happens very easily. This occurs, however, not
-only in the case of the submarine, but also of the ship, which perhaps
-is under the impression of having been outside the operational
-area when torpedoed. It is very difficult to establish the fact in
-such cases.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What steps did you, as
-Commander of U-boats, take when you heard of such a case, a
-case in which a U-boat had transgressed its orders, even if by
-mistake?</p>
-
-<p class='pindent'>DÖNITZ: The main thing was the preventive measures, and
-that was done through training them to be thorough and to investigate
-quietly and carefully before the commander took action. Moreover,
-this training had already been carried on in peacetime, so
-that our U-boat organization bore the motto: “We are a respectable
-firm.”</p>
-
-<p class='pindent'>The second measure was that during the war every commander,
-before leaving port, and after returning from his mission, had to
-report to me personally. That is, before leaving port he had to
-be briefed by me.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I beg your pardon,
-Admiral. That did not continue when you were Commander-in-Chief
-of the Navy, did it?</p>
-
-<p class='pindent'>DÖNITZ: That was limited after 1943, after I had become Commander-in-Chief.
-Even then it did continue. In any case, it was
-the definite rule during my time as Commander of U-boats, so that
-a commander’s mission was considered completed and satisfactory
-only after he had reported to me in full detail. If, on such an
-occasion, I could establish negligence, then I made my decision
-according to the nature of the case, as to whether disciplinary
-action or court-martial proceedings and punishment had to take
-place.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have found here an
-entry GB-198, on Page 230, in Document Book 4 of the Prosecution,
-which I would like to read to you. This is a war diary
-of the Commander of U-boats, that is, yourself.</p>
-
-<p class='pindent'>I read the entry of 25 September 1942:</p>
-
-<div class='blockquote'>
-
-<p>“<span class='it'>U-512</span> reports that the <span class='it'>Monte Corbea</span> was recognized as a
-neutral ship before being torpedoed. Assumed suspicions of
-<span class='pageno' title='263' id='Page_263'></span>
-being a camouflaged English ship are insufficient and do not
-justify the sinking. The commander will have to stand court-martial
-for his conduct. All boats at sea will be informed.”</p>
-
-</div>
-
-<p class='pindent'>Two days later, on 27 September 1942, a radio signal was sent
-to all. I read:</p>
-
-<div class='blockquote'>
-
-<p>“Radio signal to all:</p>
-
-<p>“The Commander-in-Chief of the Navy has personally and
-expressly ordered anew that all U-boat commanders are to
-comply exactly with the orders concerning the treatment of
-neutral ships. Violations of these orders will have incalculable
-political consequences. This order is to be disseminated
-at once to all commanders.”</p>
-
-</div>
-
-<p class='pindent'>Will you please tell me what resulted from the court-martial
-which you ordered here?</p>
-
-<p class='pindent'>DÖNITZ: I had sent my radio signal to the commander stating
-that after his return he would have to be answerable before a
-court-martial, because of the sinking. The commander did not
-return from this mission with his boat. Therefore this court-martial
-did not take place.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you, in any other
-case, have experience as to how the courts-martial treated the
-difficult task of the U-boat commanders when you had ordered a
-court-martial?</p>
-
-<p class='pindent'>DÖNITZ: Yes. I remember a case against Kapitänleutnant
-Kraemer, who had to be acquitted by the court-martial because it
-was proven that, before the attack, before firing the shot, he had
-taken note once more through the periscope of the identification
-of the ship—it was a German blockade-runner—and, in spite of that,
-was of the opinion that it was a different ship, an enemy ship, and
-that he was justified in sinking it. In other words, it was not a
-case of negligence, and therefore in this case he was acquitted.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Taking into consideration
-all the results of your measures for training and punishing personnel,
-do you have the impression that enough was done to make
-the U-boat commanders obey your orders, or did the U-boat commanders
-in the long run disobey your orders?</p>
-
-<p class='pindent'>DÖNITZ: I do not think it is necessary to discuss this question
-at all. The simple facts speak for themselves. During the 5½ years,
-several thousand naval actions were engaged in by submarines.
-The number of incidents is an extremely small fraction and I know
-that this result is only due to the unified leadership of all submarine
-commanders, to co-ordination and also to their proper
-training and their responsibility.
-<span class='pageno' title='264' id='Page_264'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution has
-offered a document, GB-195 on Page 32 of the Prosecution’s document
-book. In this document is entered an order of the Führer,
-dated 18 July 1941, and it reads as follows:</p>
-
-<div class='blockquote'>
-
-<p>“In the original operational area, which corresponds in
-extent with the U.S. prohibited zone for U.S. ships and
-which is not touched by the U.S.-Iceland route, attacks on
-ships under American or British escort or U.S. merchantmen
-sailing without escort are authorized.”</p>
-
-</div>
-
-<p class='pindent'>In connection with this order by the Führer, the Prosecution,
-Admiral, termed your attitude cynical and opportunistic. Will you
-please explain to the Tribunal what the meaning of this order
-actually is?</p>
-
-<p class='pindent'>DÖNITZ: In August 1940 Germany had declared this operational
-area in English waters. U.S. ships were, however, expressly excluded
-from attack without warning in this operational area because,
-as I believe, the political leaders wanted to avoid any possibility
-of an incident with the U.S.A. I said the political leaders. The
-Prosecution has accused me, in my treatment and attitude, my
-differing attitude toward the neutrals, of having a masterful agility
-in adapting myself, that is guided by cynicism and opportunism.
-It is clear that the attitude of a state toward neutrals is a purely
-political affair, and that this relation is decided exclusively by the
-political leadership, particularly in a nation that is at war.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You mean to say, in
-other words, that you had nothing to do with the handling of this
-question?</p>
-
-<p class='pindent'>DÖNITZ: As a soldier I had not the slightest influence on the
-question of how the political leadership believed they had to treat
-this or that neutral. Regarding this particular case, however, from
-knowledge of the orders I received through the Chief of the Naval
-Operations Staff from the political leadership, I should like to say the
-following: I believe that the political leadership did everything to
-avoid any incident on the high seas with the United States. First,
-I have already stated that the U-boats were actually forbidden
-even to stop American ships. Second...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral.
-To stop them where, in the operational area or outside the operational
-area?</p>
-
-<p class='pindent'>DÖNITZ: At first, everywhere.</p>
-
-<p class='pindent'>Second, that the American 300-mile safety zone was recognized
-without any question by Germany, although according to the
-existing international law only a three-mile zone was authorized.</p>
-
-<p class='pindent'>Third, that...
-<span class='pageno' title='265' id='Page_265'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, an interesting distinction
-which may be drawn between the United States and other neutrals
-is not relevant to this Trial, is it? What difference does it make?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In connection with the
-document cited by me, GB-195, the Prosecution has made the
-accusation that Admiral Dönitz conducted his U-boat warfare cynically
-and opportunistically: that is, in that he treated one neutral
-well and the other one badly. This accusation has been made
-expressly, and I want to give Admiral Dönitz the opportunity to
-make a statement in reply to this accusation. He has already said
-that he had nothing to do with the handling of this question.</p>
-
-<p class='pindent'>THE PRESIDENT: What more can he say than that?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, according
-to the principles of the Statute, a soldier is also made responsible
-for the orders which he executed. For this reason it is my opinion
-that he must be able to state whether on his side he had the
-impression that he received cynical and opportunistic orders or
-whether on the contrary he did not have the impression that
-everything was done to avoid a conflict and that the orders which
-were given actually were necessary and right.</p>
-
-<p class='pindent'>THE PRESIDENT: You have dealt with this order about the
-United States ships, now.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, I have almost
-finished.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Did you want to say something
-more about the third point, Admiral?</p>
-
-<p class='pindent'>DÖNITZ: I wanted to mention two or three more points on
-this subject.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I think that is possible.</p>
-
-<p class='pindent'>THE PRESIDENT: You may go on, but we hope that you will
-deal with this point shortly. It appears to the Tribunal to be very
-unimportant.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Sir.</p>
-
-<p class='pindent'>DÖNITZ: For instance, I had suggested that mines be laid before
-Halifax, the British port of Nova Scotia, and before Reykjavik,
-both bases being important for warships and merchant shipping.
-The political leaders, the Führer, rejected this because he wanted
-to avoid every possibility of friction with the United States.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: May I formulate the
-question this way, that you, from the orders for the treatment of
-U.S. ships, in no way had the impression that opportunism or
-cynicism prevailed here, but that everything was done with the
-<span class='pageno' title='266' id='Page_266'></span>
-greatest restraint in order to avoid a conflict with the United
-States?</p>
-
-<p class='pindent'>DÖNITZ: Yes. This went so far, in fact, that when the American
-destroyers in the summer of 1941 received orders to attack German
-submarines, that is, before war started, when they were still neutral
-and I was forbidden to fight back, I was then forced to forbid the
-submarines in this area to attack even British destroyers, in order
-to avoid having a submarine mistake an American for a British ship.</p>
-
-<p class='pindent'>THE PRESIDENT: We will adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 9 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='267' id='Page_267'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-FIFTH DAY</span><br/> Thursday, 9 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The Defendant Dönitz resumed the stand.</span>]</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: With the permission of
-the Tribunal, I will continue my examination of the witness.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Admiral, how many merchant ships
-were sunk by German U-boats in the course of the war?</p>
-
-<p class='pindent'>DÖNITZ: According to the Allied figures, 2,472.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How many combat actions,
-according to your estimate, were necessary to do this?</p>
-
-<p class='pindent'>DÖNITZ: I believe the torpedoed ships are not included in this
-figure of 2,472 sunk ships; and, of course, not every attack leads to a
-success. I would estimate that in 5½ years perhaps 5,000 or 6,000
-actions actually took place.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the course of all these
-actions did any of the U-boat commanders who were subordinate to
-you voice objections to the manner in which the U-boats operated?</p>
-
-<p class='pindent'>DÖNITZ: No, never.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What would you have
-done with a commander who refused to carry out the instructions
-for U-boat warfare?</p>
-
-<p class='pindent'>DÖNITZ: First, I would have had him examined; if he proved to
-be normal I would have put him before a court-martial.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You could only have done
-that with a clear conscience if you yourself assumed full responsibility
-for the orders which you either issued or which you transmitted?</p>
-
-<p class='pindent'>DÖNITZ: Naturally.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In battle engagements
-with U-boats, crews of merchant ships no doubt lost their lives. Did
-you consider crews of enemy merchantmen as soldiers or as civilians,
-and for what reasons?</p>
-
-<p class='pindent'>DÖNITZ: Germany considered the crews of merchantmen as
-combatants, because they fought with the weapons which had been
-<span class='pageno' title='268' id='Page_268'></span>
-mounted aboard the merchant ships in large numbers. According to
-our knowledge one or two men of the Royal Navy were on board for
-the servicing of these weapons, but where guns were concerned the
-rest of the gunners were part of the crew of the ship.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How many were there
-for one gun?</p>
-
-<p class='pindent'>DÖNITZ: That varied according to the size of the weapon,
-probably between five and ten. Then, in addition, there were
-munitions men. The same applied to the servicing of depth charge
-chutes and depth charge throwers.</p>
-
-<p class='pindent'>The members of the crew did, in fact, fight with the weapons like
-the few soldiers who were on board. It was also a matter of course
-that the crew was considered as a unit, for in a battleship we cannot
-distinguish either between the man who is down at the engine in
-the boiler room and the man who services the gun up on deck.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did this view, that the
-members of the crews of hostile merchant ships were combatants,
-have any influence on the question of whether they could or should
-be rescued? Or did it not have any influence?</p>
-
-<p class='pindent'>DÖNITZ: No, in no way. Of course, every soldier has a right to
-be rescued if the circumstances of his opponent permit it. But this
-fact should have an influence upon the right to attack the crew as
-well.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you mean that they
-could be fought as long as they were on board the ship?</p>
-
-<p class='pindent'>DÖNITZ: Yes, there can be no question of anything else—that
-means fought with weapons used for an attack against a ship as part
-of naval warfare.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You know that the Prosecution
-has submitted a document about a discussion between Adolf
-Hitler and the Japanese Ambassador, Oshima. This discussion
-took place on 3 January 1942. It is Exhibit Number GB-197, on
-Page 34 of the document book of the Prosecution. In this document
-Hitler promises the Japanese Ambassador that he will issue an
-order for the killing of the shipwrecked, and the Prosecution concludes
-from this document that Hitler actually gave such an order
-and that this order was carried out by you.</p>
-
-<p class='pindent'>Did you, directly or through the Naval Operations Staff, receive
-a written order of this nature?</p>
-
-<p class='pindent'>DÖNITZ: I first heard about this discussion and its contents
-when the record of it was submitted here.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, may I ask you
-to answer my question? I asked, did you receive a written order?
-<span class='pageno' title='269' id='Page_269'></span></p>
-
-<p class='pindent'>DÖNITZ: No, I received neither a written nor a verbal order. I
-knew nothing at all about this discussion; I learned about it through
-the document which I saw here.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When did you see Hitler
-for the first time after the date of this discussion, that is, January
-1942?</p>
-
-<p class='pindent'>DÖNITZ: Together with Grossadmiral Raeder I was at headquarters
-on 14 May 1942 and told him about the situation in the
-U-boat campaign.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: There is a note written
-by you about this discussion with the Führer, and I would like to
-call your attention to it. It is Dönitz-16, to be found on Page 29
-of Document Book Number 1. I submit the document, Dönitz-16. I
-will read it to you. The heading runs:</p>
-
-<div class='blockquote'>
-
-<p>“Report of the Commander of Submarines to the Führer on
-14 May 1942 in the presence of the Commander-in-Chief of
-the Navy”—that is, Grossadmiral Raeder.</p>
-
-<p>“Therefore it is necessary to improve the weapons of the submarines
-by all possible means, so that the submarines may
-keep pace with defense measures. The most important development
-is the torpedo with magnetic detonator which
-would increase precision of torpedoes fired against destroyers
-and therefore would put the submarine in a better position
-with regard to defense; it would above all also hasten considerably
-the sinking of torpedoed ships, whereby we would
-economize on torpedoes and also protect the submarine from
-countermeasures, insofar as it would be able to leave the
-place of combat more quickly.”</p>
-
-</div>
-
-<p class='pindent'>And now, the decisive sentence:</p>
-
-<div class='blockquote'>
-
-<p>“A magnetic detonator will also have the great advantage
-that the crew will not be able to save themselves on account
-of the quick sinking of the torpedoed ship. This greater loss
-of men will no doubt cause difficulties in the assignment of
-crews for the great American construction program.”</p>
-
-</div>
-
-<p class='pindent'>Does this last sentence which I read imply what you just referred
-to as combating the crew with weapons...?</p>
-
-<p class='pindent'>THE PRESIDENT: You seem to attach importance to this document.
-Therefore, you should not put a leading question upon it.
-You should ask the defendant what the document means, and not
-put your meaning on it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, what did these
-expositions mean?
-<span class='pageno' title='270' id='Page_270'></span></p>
-
-<p class='pindent'>DÖNITZ: They mean that it was important to us, as a consequence
-of the discussion with the Führer at his headquarters, to
-find a good magnetic detonator which would lead to a more rapid
-sinking of the ships and thereby achieve the results noted in this
-report in the war diary.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you tell me what
-successes you mean by this, as far as the crews are concerned?</p>
-
-<p class='pindent'>DÖNITZ: I mean that not several torpedoes would be required,
-as heretofore, to sink a ship by long and difficult attack; but that
-one torpedo, or very few, would suffice to bring about a more speedy
-loss of the ship and the crew.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you, in the course
-of this discussion with the Führer, touch on the question...</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment—the question
-whether other means might be envisaged to cause loss of life
-among the crews?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In what way and by
-whom?</p>
-
-<p class='pindent'>DÖNITZ: The Führer brought up the fact that, in the light of
-experience, a large percentage of the crews, because of the excellence
-of the rescue means, were reaching home and were used
-again and again to man new ships, and he asked whether there
-might not be some action taken against these rescue ships.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What do you mean by
-action taken?</p>
-
-<p class='pindent'>DÖNITZ: At this discussion, in which Grossadmiral Raeder participated,
-I rejected this unequivocally and told him that the only
-possibility of causing losses among the crews would lie in the attack
-itself, in striving for a faster sinking of the ship through the intensified
-effect of weapons. Hence this remark in my war diary. I believe,
-since I received knowledge here through the Prosecution of the discussion
-between the Führer and Oshima, that this question of the
-Führer to Grossadmiral Raeder and myself arose out of this discussion.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: There exists an affidavit
-by Grossadmiral Raeder about this discussion. You know the contents.
-Do the contents correspond to your recollection of this discussion?</p>
-
-<p class='pindent'>DÖNITZ: Yes, completely.
-<span class='pageno' title='271' id='Page_271'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then I would like to
-submit to the Tribunal, as Dönitz-17, the affidavit of Grossadmiral
-Raeder; since it has the same content, I may dispense with the
-reading of it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I was going to say in case it
-might help the Tribunal, I understand the Defendant Raeder will
-be going into the witness box; therefore, I make no formal objection
-to this affidavit going in.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It has the Number
-Dönitz-17 and is found on Page 33 of Document Book 1.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] You just said that you rejected the
-suggested killing of survivors in lifeboats and stated this to the
-Führer. However, the Prosecution has presented two documents, an
-order of the winter of 1939-40 and a second order of the autumn of
-1942, in which you limited or prohibited rescue measures. Is there
-not a contradiction between the orders and your attitude toward
-the proposal of the Führer?</p>
-
-<p class='pindent'>DÖNITZ: No. These two things are not connected with each
-other in any way. One must distinguish very clearly here between
-the question of rescue or nonrescue, and that is a question of
-military possibility. During a war the necessity of refraining from
-rescue may well arise. For example, if your own ship is endangered
-thereby, it would be wrong from a military viewpoint and besides,
-would not be of value for the one to be rescued; and no commander
-of any nation is expected to rescue if his own ship is thereby
-endangered.</p>
-
-<p class='pindent'>The British Navy correctly take up a very clear, unequivocal
-position in this respect: that rescue is to be denied in such cases;
-and that is evident also from their actions and commands. That is
-one point.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, you spoke only
-about the safety of the ship as a reason for not carrying out rescue.</p>
-
-<p class='pindent'>DÖNITZ: There may of course be other reasons. For instance it
-is clear that in war the mission to be accomplished is of first importance.
-No one will start to rescue, for example, if after subduing
-one opponent there is another on the scene. Then, as a matter of
-course, the combating of the second opponent is more important
-than the rescue of those who have already lost their ship.</p>
-
-<p class='pindent'>The other question is concerned with attacking the shipwrecked,
-and that is...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, whom would
-you call shipwrecked?
-<span class='pageno' title='272' id='Page_272'></span></p>
-
-<p class='pindent'>DÖNITZ: Shipwrecked persons are members of the crew who,
-after the sinking of their ship, are not able to fight any longer and
-are either in lifeboats or other means of rescue or in the water.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>DÖNITZ: Firing upon these men is a matter concerned with the
-ethics of war and should be rejected under any and all circumstances.
-In the German Navy and U-boat force this principle, according
-to my firm conviction, has never been violated, with the
-one exception of the affair Eck. No order on this subject has ever
-been issued, in any form whatsoever.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I want to call to your
-attention one of the orders submitted by the Prosecution. It is your
-permanent War Order Number 154; Exhibit Number GB-196 and in
-my document book on Pages 13 to 15. I will have this order given
-to you, and I am asking you to turn to the last paragraph, which
-was read by the Prosecution. There it says, I read it again:</p>
-
-<div class='blockquote'>
-
-<p>“Do not rescue any men; do not take them along; and do not
-take care of any boats of the ship. Weather conditions and
-proximity of land are of no consequence. Concern yourself
-only with the safety of your own boat and with efforts to
-achieve additional successes as soon as possible. We must be
-hard in this war. The enemy started the war in order to
-destroy us, and thus nothing else matters.”</p>
-
-</div>
-
-<p class='pindent'>The Prosecution has stated that this order went out, according
-to their records, before May 1940. Can you from your knowledge
-fix the date a little more exactly?</p>
-
-<p class='pindent'>DÖNITZ: According to my recollection, I issued this order at
-the end of November or the beginning of December 1939, for the
-following reasons:</p>
-
-<p class='pindent'>I had only a handful of U-boats a month at my disposal. In
-order that this small force might prove effective at all, I had to
-send the boats close to the English coast, in front of the ports. In
-addition, the magnetic mine showed itself to be a very valuable
-weapon of war. Therefore, I equipped these boats both with mines
-and torpedoes and directed them, after laying the mines, to operate
-in waters close to the coast, immediately outside the ports. There
-they fought in constant and close combat and under the surveillance
-of naval and air patrols. Each U-boat which was sighted or reported
-there was hunted by U-boat-chasing units and by air patrols ordered
-to the scene.</p>
-
-<p class='pindent'>The U-boats themselves, almost without exception or entirely,
-had as their objectives only ships which were protected or accompanied
-by some form of protection. Therefore, it would have been
-<span class='pageno' title='273' id='Page_273'></span>
-suicide for the U-boat, in a position of that sort, to come to the
-surface and to rescue.</p>
-
-<p class='pindent'>The commanders were all very young; I was the only one who
-had service experience from the first World War. And I had to tell
-them this very forcibly and drastically because it was hard for a
-young commander to judge a situation as well as I could.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did experience with
-rescue measures already play a part here?</p>
-
-<p class='pindent'>DÖNITZ: Yes. In the first months of the war I had very bitter
-experiences. I suffered very great losses in sea areas far removed
-from any coast; and as very soon I had information through the
-Geneva Red Cross that many members of crews had been rescued, it
-was clear that these U-boats had been lost above the water. If they
-had been lost below the water the survival of so many members of
-the crews would have been impossible. I also had reports that there
-had been very unselfish deeds of rescue, quite justifiable from a
-humane angle, but militarily very dangerous for the U-boat. So
-now, of course, since I did not want to fight on the open sea but
-close to the harbors or in the coastal approaches to the harbors, I
-had to warn the U-boats of the great dangers, in fact of suicide.</p>
-
-<p class='pindent'>And, to state a parallel, English U-boats in the Jutland waters,
-areas which we dominated, showed, as a matter of course and quite
-correctly, no concern at all for those who were shipwrecked, even
-though, without a doubt, our defense was only a fraction of the
-British.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You say that this order
-applied to U-boats which operated in the immediate presence of
-the enemy’s defense. Can you, from the order itself, demonstrate
-the truth of that?</p>
-
-<p class='pindent'>DÖNITZ: Yes; the entire order deals only with, or assumes, the
-presence of the enemy’s defense; it deals with the battle against
-convoys. For instance it reads, “Close range is also the best security
-for the boat...”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What number are you
-reading?</p>
-
-<p class='pindent'>DÖNITZ: Well, the order is formulated in such a way that
-Number 1 deals at first with sailing, not with combat. But the
-warning against enemy air defense is given there also, and in this
-warning about countermeasures it is made clear that it is concerned
-entirely with outgoing ships. Otherwise I would obviously not have
-issued an order concerning sailing. Number 2 deals with the time
-prior to the attack. Here mention is made of moral inhibitions which
-every soldier has to overcome before an attack.
-<span class='pageno' title='274' id='Page_274'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, you need only
-refer to the figures which show that the order is concerned with
-fighting enemy defense.</p>
-
-<p class='pindent'>DÖNITZ: Very well. Then I will quote from 2(d). It says there:</p>
-
-<div class='blockquote'>
-
-<p>“Close range is also the best security for the boat.</p>
-
-<p>“While in the vicinity of the vessels”—that is, the merchantmen—“the
-protecting ships”—that is, the destroyers—“will
-at first not fire any depth charges. If one fires into a convoy
-from close quarters”—note that we are dealing with convoys—“and
-then is compelled to submerge, one can then dive
-most quickly below other ships of the convoy and thus
-remain safe from depth charges.”</p>
-
-</div>
-
-<p class='pindent'>Then the next paragraph, which deals with night conditions, says:</p>
-
-<div class='blockquote'>
-
-<p>“Stay above water. Withdraw above water. Possibly make
-a circle and go around at the rear.”</p>
-
-</div>
-
-<p class='pindent'>Every sailor knows that one makes a circle or goes around at
-the rear of the protecting enemy ships. Further, in the third paragraph,
-I caution against submerging too soon, because it blinds the
-U-boat, and I say:</p>
-
-<div class='blockquote'>
-
-<p>“Only then does the opportunity offer itself for a new attack,
-or for spotting and noting the opening through which one can
-shake off the pursuing enemy.”</p>
-
-</div>
-
-<p class='pindent'>Then the figure “(c),” that is, “3(c),” and there it says:</p>
-
-<div class='blockquote'>
-
-<p>“During an attack on a convoy one may have to submerge
-to a depth of 20 meters to escape from patrols or aircraft and
-to avoid the danger of being sighted or rammed....”</p>
-
-</div>
-
-<p class='pindent'>Thus we are talking here about a convoy. Now we turn to point
-“(d)” and here it says:</p>
-
-<div class='blockquote'>
-
-<p>“It may become necessary to submerge to depth when, for
-example, the destroyer is proceeding directly toward the
-periscope...”</p>
-
-</div>
-
-<p class='noindent'>And then follow instructions on how to act in case of a depth charge
-attack. Plainly, the whole order deals with...</p>
-
-<p class='pindent'>THE PRESIDENT: I don’t think it is necessary to go into all of
-these military tactics. He has made a point on Paragraph “e.” He
-has given his explanation of that paragraph, and I don’t think it is
-necessary to go into all of these other tactics.</p>
-
-<p class='pindent'>DÖNITZ: I only want to say that the last paragraph about nonrescue
-must not be considered alone but in this context: First, the
-U-boats had to fight in the presence of enemy defense near the
-English ports and estuaries; and secondly, the objectives were
-ships in convoys, or protected ships, as is shown clearly from the
-document as a whole.
-<span class='pageno' title='275' id='Page_275'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You said that this order
-was given about December 1939. Did the German U-boats after the
-order had been issued actually continue rescues? What experiences
-did you have?</p>
-
-<p class='pindent'>DÖNITZ: I said that the order was issued for this specific
-purpose during the winter months. For the U-boats which, according
-to my memory, went out into the Atlantic again only after the
-Norwegian campaign, for these U-boats the general order of rescue
-applied; and this order was qualified only in one way, namely
-that no rescue was to be attempted if the safety of a U-boat did not
-permit it. The facts show that the U-boats acted in this light.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you mean then that
-you had reports from U-boat commanders about rescue measures?</p>
-
-<p class='pindent'>DÖNITZ: I received these reports whenever a U-boat returned,
-and subsequently through the combat log books.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When was this order
-which we have just discussed formally rescinded?</p>
-
-<p class='pindent'>DÖNITZ: To my knowledge this order was captured or salvaged
-by England on the U-13 which was destroyed by depth charges in
-very shallow water in the Downs near the mouth of the Thames.
-For this boat, of course, this order may still have applied in May
-1940. Then in the year 1940, after the Norway Campaign, I again
-made the open waters of the Atlantic the central field of operations,
-and for these boats this order did not apply, as is proved by the fact
-that rescues took place, which I just explained.</p>
-
-<p class='pindent'>I then rescinded the order completely for it contained the first
-practical instructions on how U-boats were to act toward a convoy
-and later on was no longer necessary, for by then it had become
-second nature to the U-boat commanders. To my recollection the
-order was completely withdrawn in November 1940 at the latest.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, I have here
-the table of contents of the “Standing War Orders of 1942,” and
-that may be found on Page 16 of Document Book Number 1. I will
-submit it as Dönitz-11. In this table of contents the Number 154
-which deals with the order we have just discussed is blank. Does
-that mean that this order did not exist any more at the time when
-the “Standing War Orders of 1942” were issued?</p>
-
-<p class='pindent'>DÖNITZ: Yes, by then it had long since ceased to exist.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When were the standing
-orders for the year 1942 compiled?</p>
-
-<p class='pindent'>DÖNITZ: In the course of the year 1941.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When you received reports
-from commanders about rescue measures, did you object to
-these measures? Did you criticize or prohibit them?
-<span class='pageno' title='276' id='Page_276'></span></p>
-
-<p class='pindent'>DÖNITZ: No, not as a rule; only if subsequently my anxiety was
-too great. For example, I had a report from a commander that,
-because he had remained too long with the lifeboats and thus had
-been pursued by the escorts perhaps—or probably—summoned by
-wireless, his boat had been severely attacked by depth charges and
-had been badly damaged by the escorts—something which would
-not have happened if he had left the scene in time—then naturally I
-pointed out to him that his action had been wrong from a military
-point of view. I am also convinced that I lost ships through rescue.
-Of course I cannot prove that, since the boats are lost. But such is the
-whole mentality of the commander; and it is entirely natural, for
-every sailor retains from the days of peace the view that rescue is
-the noblest and most honorable act he can perform. And I believe
-there was no officer in the German Navy—it is no doubt true of
-all the other nations—who, for example, would not consider a medal
-for rescue, rescue at personal risk, as the highest peacetime decoration.
-In view of this basic attitude it is always very dangerous not
-to change to a wartime perspective and to the principle that the
-security of one’s own ship comes first, and that war is after all a
-serious thing.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In what years was the
-practice you have just described followed, that U-boats did not
-rescue when they endangered themselves?</p>
-
-<p class='pindent'>DÖNITZ: In 1940, that is towards the end of 1939, economic
-warfare was governed by the Prize Ordinance insofar as U-boats
-were still operating individually. Then came the operations, close
-to the enemy coast, of 1939-40 which I have described; the order
-Number 154 applied to these operations. Then came the Norway
-campaign, and then when the U-boat war resumed in the spring of
-1940, this order of rescue, or nonrescue if the U-boat itself was
-endangered, applied in the years 1940, 1941, and 1942 until autumn.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was this order put in
-writing?</p>
-
-<p class='pindent'>DÖNITZ: No, it was not necessary, for the general order about
-rescue was a matter of course, and besides it was contained in
-certain orders of the Naval Operations Staff at the beginning
-of the war. The stipulation of nonrescue, if the safety of the submarine
-is at stake, is taken for granted in every navy; and I made
-a special point of that in my reports on the cases which I have just
-discussed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In June of 1942 there
-was an order about the rescue of captains. This has the Number
-Dönitz-22; I beg your pardon—it is Dönitz Number 23, and is found
-on Page 45 of Document Book 1, and I hereby submit it. It is an
-<span class='pageno' title='277' id='Page_277'></span>
-extract from the War Diary of the Naval Operations Staff of 5 June
-1942. I quote:</p>
-
-<div class='blockquote'>
-
-<p>“According to instructions received from the Naval Operations
-Staff submarines are ordered by the Commander of U-boats
-to take on board as prisoners captains of ships sunk, with
-their papers, if this is possible without endangering the boat
-and without impairing fighting capacity.”</p>
-
-</div>
-
-<p class='pindent'>How did this order come into being?</p>
-
-<p class='pindent'>DÖNITZ: Here we are concerned with an order of the Naval
-Operations Staff that captains are to be taken prisoners, that is, to
-be brought home and that again is something different from rescue.
-The Naval Operations Staff was of the opinion—and rightly—that
-since we could not have a very high percentage, say 80 to 90 percent,
-of the crews of the sunk merchantmen brought back—we even
-helped in their rescue, which was natural—then at least we must
-see to it that the enemy was deprived of the most important and
-significant parts of the crews, that is, the captains; hence the order
-to take the captains from their lifeboats on to the U-boats as
-prisoners.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did this order exist in
-this or another form until the end of the war?</p>
-
-<p class='pindent'>DÖNITZ: Yes, it was later even incorporated into the standing
-orders, because it was an order of the Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was it carried out until
-the end of the war, and with what results?</p>
-
-<p class='pindent'>DÖNITZ: Yes, according to my recollection it was carried out
-now and then even in the last few years of the war. But in general
-the result of this order was very slight. I personally can remember
-only a very few cases. But through letters which I have now
-received from my commanders and which I read, I discovered that
-there were a few more cases than I believed, altogether perhaps
-10 or 12 at the most.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: To what do you attribute
-the fact that despite this express order so few captains were
-taken prisoner?</p>
-
-<p class='pindent'>DÖNITZ: The chief reason, without doubt, was that on an increasing
-scale, the more the mass of U-boats attacked enemy convoys,
-the convoy system of the enemy was perfected. The great
-bulk of the U-boats was engaged in the battle against convoys. In
-a few other cases it was not always possible by reason of the boat’s
-safety to approach the lifeboats in order to pick out a captain. And
-thirdly, I believe that the commanders of the U-boats were reluctant,
-quite rightly from their viewpoint, to have a captain on
-<span class='pageno' title='278' id='Page_278'></span>
-board for so long during a mission. In any event, I know that the
-commanders were not at all happy about this order.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, now I turn to
-a document which is really the nucleus of the accusation against
-you. It is Document GB-199, Page 36 of the British document book.
-This is your radio message of 17 September, and the Prosecution
-asserts that it is an order for the destruction of the shipwrecked.
-It is of such importance that I will read it to you again.</p>
-
-<div class='blockquote'>
-
-<p>“To all Commanding Officers:</p>
-
-<p>“1. No attempt of any kind must be made to rescue members
-of ships sunk, and this includes picking up persons in the
-water and putting them in lifeboats, righting capsized lifeboats,
-and handing over food and water. Rescue runs counter
-to the most elementary demands of warfare for the destruction
-of enemy ships and crews.</p>
-
-<p>“2. Orders for bringing back captains and chief engineers still
-apply.</p>
-
-<p>“3. Rescue the shipwrecked only if their statements will be of
-importance for your boat.</p>
-
-<p>“4. Be harsh. Bear in mind that the enemy takes no regard of
-women and children in his bombing attacks on German cities.”</p>
-
-</div>
-
-<p class='pindent'>Please describe to the Tribunal the antecedents of this order,
-which are decisive for its intentions. Describe first of all the general
-military situation out of which the order arose.</p>
-
-<p class='pindent'>DÖNITZ: In September of 1942 the great bulk of the German
-U-boats fought convoys. The center of gravity in the deployment of
-U-boats was in the North Atlantic, where the protected convoys
-operated between England and America. The U-boats in the north
-fought in the same way, attacking only the convoys to Murmansk.
-There was no other traffic in that area. The same situation existed
-in the Mediterranean; there also the objects of our attack were the
-convoys. Beyond that, a part of the boats was committed directly to
-American ports, Trinidad, New York, Boston, and other centers of
-congested maritime traffic. A small number of U-boats fought also in
-open areas in the middle or the south of the Atlantic. The criterion
-at this time was that the powerful Anglo-American air force was
-patrolling everywhere and in increasingly large numbers. That was
-a point which caused me great concern, for obviously the airplane,
-because of its speed, constitutes the most dangerous threat to the
-U-boat. And that was not a matter of fancy on my part, for from
-the summer of 1942—that is, a few months before September, when
-this order was issued—the losses of our U-boats through air attacks
-rose suddenly by more than 300 percent, I believe.
-<span class='pageno' title='279' id='Page_279'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, for clarification
-of this point, I am giving you a diagram which I would like to
-submit in evidence to the Tribunal as Dönitz-99. Will you, with the
-use of the diagram, explain the curve of losses?</p>
-
-<p class='pindent'>DÖNITZ: It is very clear that this diagram showing the losses of
-U-boats corroborates the statements which I have just made. One
-can see that up to June 1942 U-boat losses were kept within reasonable
-limits and then—in July 1942—what I have just described
-happened suddenly. Whereas the monthly losses up till then varied
-as the diagram shows between 4, 2, 5, 3, 4, or 2 U-boats, from July
-the losses per month jumped to 10, 11, 8, 13, 14. Then follow the
-two winter months December and January, which were used for a
-thorough overhauling of the ships; and that explains the decrease
-which, however, has no bearing on the trend of losses.</p>
-
-<p class='pindent'>These developments caused me the greatest concern and resulted
-in a great number of orders to the submarine commanders on how
-they were to act while on the surface; for the losses were caused
-while the boats were above water, since the airplanes could sight or
-locate them; and so the boats had to limit their surface activities as
-much as possible. These losses also prompted me to issue memoranda
-to the Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When?</p>
-
-<p class='pindent'>DÖNITZ: The memoranda were written in the summer, in June.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In June of 1942?</p>
-
-<p class='pindent'>DÖNITZ: In June 1942 or July. At the pinnacle of my success,
-it occurred to me that air power might some day stifle us and force
-us under water. Thus, despite the huge successes which I still had
-at that time, my fears for the future were great, and that they were
-not imaginary is shown by the actual trend of losses after the
-submarines left the dockyard in February 1943; in that month 18
-boats were lost; in March, 15; in April, 14. And then the losses
-jumped to 38.</p>
-
-<p class='pindent'>The airplane, the surprise by airplane, and the equipment of the
-planes with radar—which in my opinion is, next to the atomic bomb,
-the decisive war-winning invention of the Anglo-Americans—brought
-about the collapse of U-boat warfare. The U-boats were
-forced under water, for they could not maintain their position on
-the surface at all. Not only were they located when the airplane
-spotted them, but this radar instrument actually located them up
-to 60 nautical miles away, beyond the range of sight, during the day
-and at night. Of course, this necessity of staying under water was
-impossible for the old U-boats, for they had to surface at least in
-order to recharge their batteries. This development forced me,
-therefore, to have the old U-boats equipped with the so-called
-<span class='pageno' title='280' id='Page_280'></span>
-“Schnorchel,” and to build up an entirely new U-boat force which
-could stay under water and which could travel from Germany to
-Japan, for example, without surfacing at all. It is evident, therefore,
-that I was in an increasingly dangerous situation.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, in order to
-characterize this situation I want to call your attention to your war
-diary of this time. This will have the Number Dönitz-18, reproduced
-on Page 32, Volume I. I want to read only the contents of the
-entries from the 2nd until the 14th of September, Page 32:</p>
-
-<div class='blockquote'>
-
-<p>“On 2 September U-256 surprised and bombed by aircraft;
-unfit for sailing and diving;</p>
-
-<p>“On 3 September aircraft sights U-boat;</p>
-
-<p>“On 4 September U-756 has not reported despite request since
-1 September when near convoy; presumed lost.</p>
-
-<p>“On 5 September aircraft sights U-boat;</p>
-
-<p>“On 6 September U-705 probably lost because of enemy aircraft
-attack;</p>
-
-<p>“On 7 September U-130 bombed by Boeing bomber;</p>
-
-<p>“On 8 September U-202 attacked by aircraft in Bay of Biscay.</p>
-
-<p>“On 9 September...”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the defendant has already
-told us of the losses and of the reason for the losses. What is the
-good of giving us details of the fact that U-boats were fighting
-aircraft?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I wanted to show, Mr.
-President, that the testimony of Admiral Dönitz is confirmed by the
-entries in his diary of that time. But if the Tribunal...</p>
-
-<p class='pindent'>THE PRESIDENT: That’s a matter of common knowledge. We
-can read it. Anyhow, if you just draw our attention to the document
-we will read it. We don’t need you to read the details of it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. I will
-do it that way.</p>
-
-<p class='pindent'>DÖNITZ: That is a typical and characteristic entry in my war
-diary of those weeks and days just before the issuance of my order;
-but I wanted to add the following: The aircraft were very dangerous
-especially for psychological reasons: when no aircraft is on the scene,
-the commander of the U-boat views his situation as perfectly clear
-but the next moment when the aircraft comes into sight, his
-situation is completely hopeless. And that happened not only to
-young commanders, but to old experienced commanders who remembered
-the good old times. Perhaps I may, quite briefly, give a
-clear-cut example. A U-boat needs one minute for the crew to come
-in through the hatch before it can submerge at all. An airplane
-<span class='pageno' title='281' id='Page_281'></span>
-flies on the average 6,000 meters in one minute. The U-boat, therefore,
-in order to be able to submerge at all—and not to be bombed
-while it is still on the surface—must sight the aircraft from a
-distance of at least 6,000 meters. But that also is not sufficient, for
-even if the U-boat has submerged it still has not reached a safe
-depth. The U-boat, therefore, must sight the airplane even earlier,
-namely, at the extreme boundary of the field of vision. Therefore,
-it is an absolute condition of success that the U-boat is in a state of
-constant alert, that above all it proceeds at maximum speed, because
-the greater the speed the faster the U-boat submerges; and,
-secondly, that as few men as possible are on the tower so that they
-can come into the U-boat as quickly as possible which means that
-there should be no men on the upper deck at all, and so on. Now,
-rescue work, which necessitates being on the upper deck in order to
-bring help and take care of more people and which may even mean
-taking in tow a number of lifeboats, naturally completely interrupts
-the submarine’s state of alert, and the U-boat is, as a consequence,
-hopelessly exposed to any attack from the air.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I wish
-now to take up the <span class='it'>Laconia</span> matter itself which I would be reluctant
-to have interrupted. If it is agreeable to the Tribunal, I would
-suggest that we have a recess now.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, you have just
-described the enemy’s supremacy in the air in September 1942.
-During these September days you received the report about the
-sinking of the British transport <span class='it'>Laconia</span>. I submit to the Tribunal
-the war diaries concerning that incident under Numbers Dönitz-18,
-20, 21, and 22. These are the war diaries of the commanders of
-U-boats and of the commanders of the submarines which took part
-in this action, Kapitänleutnants Hartenstein, Schacht and Würdemann.
-They are reproduced in the document book on Page 34 and
-the following pages. I shall read to you the report which you
-received. That is on Page 35 of the document book, 13 September,
-0125 hours. I read:</p>
-
-<div class='blockquote'>
-
-<p>“Wireless message sent on America circuit:</p>
-
-<p>“Sunk by Hartenstein British ship <span class='it'>Laconia</span>.”</p>
-
-</div>
-
-<p class='noindent'>Then the position is given and the message continues:</p>
-
-<div class='blockquote'>
-
-<p>“Unfortunately with 1,500 Italian prisoners of war. Up to now
-picked up 90...”</p>
-
-</div>
-
-<p class='noindent'>then the details, and the end is: “Request orders.”</p>
-
-<p class='pindent'>I had the document handed to you...
-<span class='pageno' title='282' id='Page_282'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Where are you now?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: On Page 35, Mr. President,
-the entry of 13 September, time 0125 hours, the number at the
-beginning of the line; at the bottom of the page.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] I had the documents handed to you
-to refresh your memory. Please tell me, first, what impression or
-what knowledge you had about this ship <span class='it'>Laconia</span> which had been
-reported sunk, and about its crew.</p>
-
-<p class='pindent'>DÖNITZ: I knew from the handbook on armed British ships
-which we had at our disposal that the <span class='it'>Laconia</span> was armed with
-14 guns. I concluded, therefore, that it would have a British crew
-of at least about 500 men. When I heard that there were also Italian
-prisoners on board, it was clear to me that this number would be
-further increased by the guards of the prisoners.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Please describe now, on
-the basis of the documents, the main events surrounding your order
-of 17 September, and elaborate, first, on the rescue or nonrescue of
-British or Italians and secondly, your concern for the safety of the
-U-boats in question.</p>
-
-<p class='pindent'>DÖNITZ: When I received this report, I radioed to all U-boats
-in the whole area. I issued the order:</p>
-
-<p class='pindent'>“Schacht, Group Eisbär, Würdemann and Wilamowitz, proceed to
-Hartenstein immediately.”</p>
-
-<p class='pindent'>Hartenstein was the commander who had sunk the ship. Later,
-I had to have several boats turn back because their distance from
-the scene was too great. The boat that was furthest from the area
-and received orders to participate in the rescue was 710 miles away,
-and therefore could not arrive before two days.</p>
-
-<p class='pindent'>Above all I asked Hartenstein, the commander who had sunk
-the ship, whether the <span class='it'>Laconia</span> had sent out radio messages, because
-I hoped that as a result British and American ships would come to
-the rescue. Hartenstein affirmed that and, besides, he himself sent
-out the following radio message in English...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is on Page 36, Mr.
-President, under time figure 0600.</p>
-
-<p class='pindent'>DÖNITZ: “If any ship will assist the shipwrecked <span class='it'>Laconia</span> crew,
-I will not attack her, provided I am not being attacked by ship or
-air force.”</p>
-
-<p class='pindent'>Summing up briefly, I gained the impression from the reports of
-the U-boats that they began the rescue work with great zeal.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How many U-boats were
-there?
-<span class='pageno' title='283' id='Page_283'></span></p>
-
-<p class='pindent'>DÖNITZ: There were three or four submarines. I received
-reports that the numbers of those taken on board by each U-boat
-were between 100 and 200. I believe Hartenstein had 156 and
-another 131. I received reports which spoke of the crew being cared
-for and taken over from lifeboats; one report mentioned 35 Italians,
-25 Englishmen, and 4 Poles; another, 30 Italians and 24 Englishmen;
-a third, 26 Italians, 39 Englishmen, and 3 Poles. I received reports
-about the towing of lifeboats towards the submarines. All these
-reports caused me the greatest concern because I knew exactly that
-this would not end well.</p>
-
-<p class='pindent'>My concern at that time was expressed in a message to the
-submarines radioed four times, “Detailed boats to take over only so
-many as to remain fully able to dive.” It is obvious that, if the
-narrow space of the submarine—our U-boats were half as big as the
-enemy’s—is crowded with 100 to 200 additional people, the submarine
-is already in absolute danger, not to speak of its fitness to
-fight.</p>
-
-<p class='pindent'>Furthermore, I sent the message, “All boats are to take on only
-so many people...”</p>
-
-<p class='pindent'>THE PRESIDENT: Are these messages in the document?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, where are they? Why did he not refer
-to the time of them?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: They are all messages
-contained in the three diaries of the U-boats. The first message is
-on Page 36, Mr. President, under group 0720. I will read it.</p>
-
-<div class='blockquote'>
-
-<p>“Radio message received”—a message from Admiral Dönitz—“ ‘Hartenstein
-remain near place of sinking. Maintain ability
-to dive. Detailed boats to take over only so many as to remain
-fully able to dive.’ ”</p>
-
-</div>
-
-<p class='pindent'>DÖNITZ: Then I sent another message:</p>
-
-<div class='blockquote'>
-
-<p>“Safety of U-boat is not to be endangered under any circumstances.”</p>
-
-</div>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: This message is on Page
-40, Mr. President, under the date of 17 September, 0140 hours.</p>
-
-<div class='blockquote'>
-
-<p>DÖNITZ: “Take all measures with appropriate ruthlessness,
-including discontinuance of all rescue activities.”</p>
-
-</div>
-
-<p class='pindent'>Furthermore, I sent the message:</p>
-
-<div class='blockquote'>
-
-<p>“Boats must at all times be clear for crashdiving and underwater
-use.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='284' id='Page_284'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is on Page 37,
-under 0740, Heading 3.</p>
-
-<p class='pindent'>DÖNITZ: “Beware of enemy interference by airplanes and submarines.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: “All boats, also Hartenstein,
-take in only so many people that boats are completely ready
-for use under water.”</p>
-
-<p class='pindent'>DÖNITZ: That my concern was justified was clearly evident from
-the message which Hartenstein sent and which said that he had
-been attacked by bombs from an American bomber.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: This message, Mr. President,
-is on Page 39, under 1311 hours. It is an emergency message,
-and under 2304 hours there is the whole text of the message which
-I should like to read.</p>
-
-<p class='pindent'>DÖNITZ: At this occasion...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral.
-The message reads:</p>
-
-<div class='blockquote'>
-
-<p>“Radiogram sent: From Hartenstein”—to Admiral Dönitz—“Bombed
-five times by American Liberator in low flight when
-towing four full boats in spite of a Red Cross flag, 4 square
-meters, on the bridge and good visibility. Both periscopes at
-present out of order. Breaking off rescue; all off board;
-putting out to West. Will repair.”</p>
-
-</div>
-
-<p class='pindent'>DÖNITZ: Hartenstein, as can be seen from a later report, also
-had 55 Englishmen and 55 Italians on board his submarine at that
-time. During the first bombing attack one of the lifeboats was hit
-by a bomb and capsized, and according to a report on his return
-there were considerable losses among those who had been rescued.</p>
-
-<p class='pindent'>During the second attack, one bomb exploded right in the middle
-of the submarine, and damaged it seriously; he reported that it was
-only by a miracle of German shipbuilding technique that the submarine
-did not fall to pieces.</p>
-
-<p class='pindent'>THE PRESIDENT: Where has he gone to now? What page is he on?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: He is speaking about the
-events which are described on Pages 38 and 39, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: It would help the Tribunal, you know, if you
-kept some sort of order instead of going on to one page and then
-to 40, and then back to 38.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The reason is that we are
-using two different war diaries, Mr. President.</p>
-
-<p class='pindent'>Admiral, would you tell us now what measures you took after
-Hartenstein’s report that he had been attacked repeatedly in the
-course of the rescue measures?
-<span class='pageno' title='285' id='Page_285'></span></p>
-
-<p class='pindent'>DÖNITZ: I deliberated at length whether, after this experience,
-I should not break off all attempts at rescue; and beyond doubt,
-from the military point of view, that would have been the right
-thing to do, because the attack showed clearly in what way the
-U-boats were endangered.</p>
-
-<p class='pindent'>That decision became more grave for me because I received a
-call from the Naval Operations Staff that the Führer did not wish
-me to risk any submarines in rescue work or to summon them
-from distant areas. A very heated conference with my staff ensued,
-and I can remember closing it with the statement, “I cannot throw
-these people into the water now. I will carry on.”</p>
-
-<p class='pindent'>Of course, it was clear to me that I would have to assume full
-responsibility for further losses, and from the military point of view
-this continuation of the rescue work was wrong. Of that I received
-proof from the submarine U-506 of Würdemann, who also reported—I
-believe on the following morning—that he was bombed by an
-airplane.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That report, Mr. President,
-is on Page 42 in the war diary of Würdemann, an entry of
-17 September, at 2343 hours. He reported:</p>
-
-<div class='blockquote'>
-
-<p>“Transfer of survivors to <span class='it'>Annamite</span> completed.”—Then come
-details—“Attacked by heavy seaplane at noon. Fully ready
-for action.”</p>
-
-</div>
-
-<p class='pindent'>DÖNITZ: The third submarine, Schacht’s, the U-507, had sent a
-wireless message that he had so and so many men on board and was
-towing four lifeboats with Englishmen and Poles.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is the report on
-Page 40, the first report.</p>
-
-<p class='pindent'>DÖNITZ: Thereupon, of course, I ordered him to cast off these
-boats, because this burden made it impossible for him to dive.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is the second message
-on Page 40.</p>
-
-<p class='pindent'>DÖNITZ: Later, he again sent a long message, describing the
-supplying of the Italians and Englishmen in the boat.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is on Page 41, at
-2310 hours. I shall read that message:</p>
-
-<div class='blockquote'>
-
-<p>“Transferred 163 Italians to <span class='it'>Annamite</span>.”—The <span class='it'>Annamite</span> was
-a French cruiser which had been called to assist in the
-rescue.—“Navigation officer of <span class='it'>Laconia</span> and another English
-officer on board. Seven lifeboats with about 330 Englishmen
-and Poles, among them 15 women and 16 children, deposited
-at Qu. FE 9612, women and children kept aboard ship for one
-night. Supplied all shipwrecked with hot meal and drinks,
-<span class='pageno' title='286' id='Page_286'></span>
-clothed and bandaged when necessary. Sighted four more
-boats at sea-anchor Qu. FE 9619.”</p>
-
-</div>
-
-<p class='pindent'>Then there are further details which are not important.</p>
-
-<p class='pindent'>DÖNITZ: Because I had ordered him to cast off the lifeboats and
-we considered this general message as a supplementary later report,
-he was admonished by another message; and from that, the Prosecution
-wrongly concluded that I had prohibited the rescue of Englishmen.
-That I did not prohibit it can be seen from the fact that
-I did not raise objection to the many reports speaking of the rescue
-of Englishmen.</p>
-
-<p class='pindent'>Indeed, in the end I had the impression that the Italians did not
-fare very well in the rescue. That this impression was correct can
-be seen from the figures of those rescued. Of 811 Englishmen about
-800 were rescued, and of 1,800 Italians 450.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, I want once
-more to clarify the dates of the entire action. The <span class='it'>Laconia</span> was
-torpedoed on 12 September. When was the air attack on the lifeboats?</p>
-
-<p class='pindent'>DÖNITZ: On the 16th.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the night of the 16th?
-On the 17th?</p>
-
-<p class='pindent'>DÖNITZ: On the 16th.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: On the 16th of September.
-So the rescue took how many days altogether?</p>
-
-<p class='pindent'>DÖNITZ: Four days.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And afterwards was continued
-until when?</p>
-
-<p class='pindent'>DÖNITZ: Until we turned them over to the French warships
-which had been notified by us.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now, what is the connection
-between this incident of the <span class='it'>Laconia</span>, which you have just
-described, and the order which the Prosecution charges as an order
-for destruction?</p>
-
-<p class='pindent'>DÖNITZ: Apart from my great and constant anxiety for the
-submarines and the strong feeling that the British and Americans
-had not helped in spite of the proximity of Freetown, I learned from
-this action very definitely that the time had passed when U-boats
-could carry out such operations on the surface without danger. The
-two bombing attacks showed clearly that in spite of good weather,
-in spite of the large numbers of people to be rescued who were
-more clearly visible to the aviators than in normal heavy sea conditions
-when few people have to be rescued, the danger to the
-<span class='pageno' title='287' id='Page_287'></span>
-submarines was so great that, as the one responsible for the boats
-and the lives of the crews, I had to prohibit rescue activities in the
-face of the ever-present—I cannot express it differently—the ever-present
-tremendous Anglo-American air force. I want to mention,
-just as an example, that all the submarines which took part in that
-rescue operation were lost by bombing attack at their next action or
-soon afterwards. The situation in which the enemy kills the rescuers
-while they are exposing themselves to great personal danger is
-really and emphatically contrary to ordinary common sense and the
-elementary laws of warfare.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the opinion of the
-Prosecution, Admiral, you used that incident to carry out in practice
-an idea which you had already cherished for a long time, namely, in
-the future to kill the shipwrecked. Please, state your view on this.</p>
-
-<p class='pindent'>DÖNITZ: Actually, I cannot say anything in the face of such an
-accusation. The whole question concerned rescue or nonrescue; the
-entire development leading up to that order speaks clearly against
-such an accusation. It was a fact that we rescued with devotion
-and were bombed while doing so; it was also a fact that the U-boat
-Command and I were faced with a serious decision and we acted in
-a humane way, which from a military point of view was wrong. I
-think, therefore, that no more words need be lost in rebuttal of
-this charge.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, I must put to
-you now the wording of that order from which the Prosecution
-draws its conclusions. I have read it before; in the second paragraph
-it says, “Rescue is contrary to the most primitive laws of warfare
-for the destruction of enemy ships and crews.”</p>
-
-<p class='pindent'>What does that sentence mean?</p>
-
-<p class='pindent'>DÖNITZ: That sentence is, of course, in a sense intended to be a
-justification. Now the Prosecution says I could quite simply have
-ordered that safety did not permit it, that the predominance of the
-enemy’s air force did not permit it—and as we have seen in the case
-of the <span class='it'>Laconia</span>, I did order that four times. But that reasoning had
-been worn out. It was a much-played record, if I may use the
-expression, and I was now anxious to state to the commanders of
-the submarines a reason which would exclude all discretion and all
-independent decisions of the commanders. For again and again I
-had the experience that, for the reasons mentioned before, a clear
-sky was judged too favorably by the U-boats and then the submarine
-was lost; or that a commander, in the role of rescuer, was in time
-no longer master of his own decisions, as the <span class='it'>Laconia</span> case showed;
-therefore under no circumstances—under no circumstances whatsoever—did
-I want to repeat the old reason which again would give
-<span class='pageno' title='288' id='Page_288'></span>
-the U-boat commander the opportunity to say, “Well, at the moment
-there is no danger of an air attack”; that is, I did not want to give
-him a chance to act independently, to make his own decision, for
-instance, to say to himself, “Since the danger of air attack no longer
-permits.” That is just what I did not want. I did not want an
-argument to arise in the mind of one of the 200 U-boat commanders.
-Nor did I want to say, “If somebody with great self-sacrifice rescues
-the enemy and in that process is killed by him, then that is a contradiction
-of the most elementary laws of warfare.” I could have
-said that too. But I did not want to put it in that way, and therefore
-I worded the sentence as it now stands.</p>
-
-<p class='pindent'>THE PRESIDENT: You haven’t referred us back to the order,
-but are you referring to Page 36 of the Prosecution’s trial brief, or
-rather British Document Book?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President, Page 36
-of the British Document Book.</p>
-
-<p class='pindent'>THE PRESIDENT: There are two orders there, are there not?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No. It is one order with
-four numbered parts.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, there are two paragraphs, aren’t there?
-There is Paragraph 1 and there is Paragraph 2 of 17 September 1942.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I think you mean the
-excerpt from the war diary of the Commander of the U-boats, which
-is also on Page 36 in the document book.</p>
-
-<p class='pindent'>THE PRESIDENT: Hadn’t you better read the phrase that you
-are referring to?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes. I am speaking now
-of the second sentence, dated 17 September, under heading 1, on
-Page 36 of the document book of the Prosecution.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The second sentence
-reads, “Rescue is contrary to the most elementary laws of warfare
-for the destruction of enemy ships and crews.” That is the sentence
-on which Admiral Dönitz commented just now.</p>
-
-<p class='pindent'>THE PRESIDENT: On Page 36, the first order is an order to
-“All Commanding Officers” and Paragraph 1 of it begins, “No
-attempt of any kind must be made at rescuing members of ships...”
-Is that the paragraph you are referring to?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, and of that I mean
-the second sentence, Mr. President. “Rescue is contrary to the most
-primitive laws of warfare for the destruction of enemy ships and
-crews.”
-<span class='pageno' title='289' id='Page_289'></span></p>
-
-<p class='pindent'>THE PRESIDENT: What about the next paragraph, 17 September
-1942, Paragraph 2?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I just wanted to put that
-to him. That is an entry in the war diary on which I would like
-to question him now.</p>
-
-<p class='pindent'>Admiral, I now put to you an entry in your war diary of 17 September;
-there we find:</p>
-
-<div class='blockquote'>
-
-<p>“All commanders are again advised that attempts to rescue
-crews of ships sunk are contrary to the most elementary laws
-of warfare after enemy ships and their crews have been
-destroyed. Orders about picking up captains and chief
-engineers remain in force.”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: It is differently translated in our document
-book. You said: “After enemy ships have been destroyed...” In
-our translation it is “.... by annihilating enemy ships and their
-crews.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I think it should be
-“by,” Mr. President, not “after.”</p>
-
-<p class='pindent'>DÖNITZ: This entry in the war diary refers to the radio order,
-the four regular radio messages which I sent during the <span class='it'>Laconia</span>
-incident and which were also acknowledged.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral.
-Please explain to the Tribunal first how such entries in the war
-diary were made. Who kept the war diary? Did you yourself keep
-it or who did that?</p>
-
-<p class='pindent'>DÖNITZ: Since I am not to conceal anything here, I have to say
-that the keeping of the war diary was a difficult matter for me
-because there were no reliable officers available for this task. That
-entry, as I suspected and as has been confirmed to me here, was
-made by a former chief petty officer who tried to condense my
-orders during the entire case into an entry of this sort. Of course,
-I was responsible for each entry; but this entry had in reality no
-actual consequences; my radio order was the essential thing.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, the decisive
-point here, in my opinion, is whether that entry is a record of your
-actual reflections or whether it is only an excerpt from the wireless
-order, an extract which had been noted down by a subordinate
-according to his best knowledge and ability.</p>
-
-<p class='pindent'>DÖNITZ: The latter is correct. My own lengthy deliberations
-were concerned with the order of the Naval Operations Staff, the
-order of the Führer, and my own serious decision, whether or not
-I should discontinue that method of warfare; but they are not included
-in the war diary.
-<span class='pageno' title='290' id='Page_290'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, will you explain
-what is meant in the war diary by the entry, “All commanders
-are advised again,” and so on.</p>
-
-<p class='pindent'>DÖNITZ: I do not know exactly what that means. My staff,
-which is here, has told me that it referred to the four radio messages
-which I had sent; because before the <span class='it'>Laconia</span> case no statement on
-this subject had been made. “Again,” therefore, means that this
-was the fifth radio message.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Thus the order of 17 September
-1942 was, for you, the end of the <span class='it'>Laconia</span> incident?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: To whom was it directed?</p>
-
-<p class='pindent'>DÖNITZ: According to my best recollection, it was directed only
-to submarines on the High Seas. For the various operation areas—North
-Atlantic, Central Atlantic, South Atlantic—we had different
-radio channels. Since the other submarines were in contact with
-convoys and thus unable to carry out rescue measures, they could
-simply shelve the order. But I have now discovered that the order
-was sent out to all submarines, that is, on all channels; it was a
-technical matter of communication which of course could do no harm.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You said that the fundamental
-consideration underlying the entire order was the overwhelming
-danger of air attack. If that is correct, how could you in
-the same order maintain the directive for the rescue of captains and
-chief engineers? That can be found under Heading 2.</p>
-
-<p class='pindent'>DÖNITZ: There is, of course, a great difference in risk between
-rescue measures for which the submarine has to stop, and men have
-to go on deck, and a brief surfacing to pick up a captain, because
-while merely surfacing the submarine remains in a state of alert,
-whereas otherwise that alertness is completely disrupted.</p>
-
-<p class='pindent'>However, one thing is clear. There was a military purpose in the
-seizure of these captains for which I had received orders from the
-Naval Operations Staff. As a matter of principle, and generally, I
-would say that in the pursuit of a military aim, that is to say, not
-rescue work but the capture of important enemies, one must and
-can run a certain risk. Besides, that addition was not significant in
-my view because I knew that in practice it brought very meager
-results, I might say no results at all.</p>
-
-<p class='pindent'>I remember quite clearly having asked myself, “Why do we still
-pick them up?” It was not our intention, however, to drop a
-general order of that importance. But the essential points are,
-first the lesser risk that the state of alert might not be maintained
-during rescue and, secondly, the pursuit of an important military aim.
-<span class='pageno' title='291' id='Page_291'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What do you mean by
-the last sentence in the order, “Be harsh”?</p>
-
-<p class='pindent'>DÖNITZ: I had preached to my U-boat commanders for
-5½ years, that they should be hard towards themselves. And when
-giving this order I again felt that I had to emphasize to my commanders
-in a very drastic way my whole concern and my grave
-responsibility for the submarines, and thus the necessity of prohibiting
-rescue activities in view of the overwhelming power of the
-enemy air force. After all it is very definite that on one side there
-is the harshness of war, the necessity of saving one’s own submarine,
-and on the other the traditional sentiment of the sailor.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You heard the witness
-Korvettenkapitän Möhle state in this Court that he misunderstood
-the order in the sense that survivors should be killed, and in several
-cases he instructed submarine commanders in that sense.</p>
-
-<p class='pindent'>DÖNITZ: Möhle is...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral.
-I want to put a question first. As commanding officer, do you not
-have to assume responsibility for a misunderstanding of your order?</p>
-
-<p class='pindent'>DÖNITZ: Of course, I am responsible for all orders, for their
-form and their contents. Möhle, however, is the only person who
-had doubts about the meaning of that order. I regret that Möhle
-did not find occasion to clarify these doubts immediately, either
-through me, to whom everybody had access at all times, or through
-the numerous staff officers who, as members of my staff, were either
-also partly responsible or participated in the drafting of these
-orders; or, as another alternative, through his immediate superior
-in Kiel. I am convinced that the few U-boat commanders to whom
-he communicated his doubts remained quite unaffected by them. If
-there were any consequences I would of course assume responsibility
-for them.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You are acquainted with
-the case of Kapitänleutnant Eck, who after sinking the Greek
-steamer <span class='it'>Peleus</span> in the spring of 1944 actually fired on lifeboats.
-What is your view of this incident?</p>
-
-<p class='pindent'>DÖNITZ: As Kapitänleutnant Eck stated at the end of his interrogation
-under oath, he knew nothing of Möhle’s interpretation
-or Möhle’s doubts nor of the completely twisted message and my
-decision in the case of <span class='it'>U-386</span>. That was the incident which Möhle
-mentioned when the submarine met pneumatic rafts with fliers,
-and I voiced my disapproval because he had not taken them on
-board. A written criticism of his actions was also forwarded to him.
-On the other hand, some authority pointed out that he had not
-<span class='pageno' title='292' id='Page_292'></span>
-destroyed these survivors. Eck knew nothing about the interpretation
-or the doubts of the Möhle order, nor of this affair. He acted
-on his own decision, and his aim was not to kill survivors but to
-remove the wreckage; because he was certain that otherwise this
-wreckage would on the following day give a clue to Anglo-American
-planes and that they would spot and destroy him. His
-purpose, therefore, was entirely different from the one stated in the
-Möhle interpretation.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Eck said during his
-examination that he had counted on your approval of his actions.
-Did you ever hear anything at all about the Eck case during the war?</p>
-
-<p class='pindent'>DÖNITZ: No. It was during my interrogation here that I heard
-about it, for Eck was taken prisoner during that same operation.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you approve of his
-actions, now that you know of them?</p>
-
-<p class='pindent'>DÖNITZ: I do not approve his actions because, as I said before,
-in this respect one must not deviate from military ethics under any
-circumstances. However, I want to say that Kapitänleutnant Eck
-was faced with a very grave decision. He had to bear responsibility
-for his boat and his crew, and that responsibility is a serious one in
-time of war. Therefore, if for the reason that he believed he would
-otherwise be spotted and destroyed—and that reason was not unfounded,
-because in the same operational area and during the same
-time four submarines, I think, had been bombed—if he came to his
-decision for that reason, then a German court-martial would undoubtedly
-have taken it into consideration.</p>
-
-<p class='pindent'>I believe that after the war one views events differently, and one
-does not fully realize the great responsibility which an unfortunate
-commander carries.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Apart from the Eck case
-did you, during the war, or after, hear of any other instance in
-which a U-boat commander fired on shipwrecked people or life rafts?</p>
-
-<p class='pindent'>DÖNITZ: Not a single one.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You know, do you not,
-the documents of the Prosecution which describe the sinking of the
-ships <span class='it'>Noreen Mary</span> and <span class='it'>Antonico</span>? Do you or do you not recognize
-the soundness of these documents as evidence according to your
-experience in these matters?</p>
-
-<p class='pindent'>DÖNITZ: No. I believe that they cannot stand the test of an
-impartial examination. We have a large number of similar reports
-about the other side, and we were always of the opinion, and also
-stated that opinion in writing to the Führer and the OKW, that one
-must view these cases with a good deal of skepticism, because a
-<span class='pageno' title='293' id='Page_293'></span>
-shipwrecked person can easily believe that he is being fired on,
-whereas the shots may not be aimed at him at all, but at the ship,
-that is, misses of some sort.</p>
-
-<p class='pindent'>The fact that the Prosecution gives just these two examples
-proves to me that my conviction is correct, that apart from the Eck
-case no further instances of this kind occurred during those long
-years in the ranks of the large German U-boat force.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You mentioned before
-the discussion with the Führer in May 1942, during which the
-problem whether it was permissible to kill survivors was examined,
-or at least touched upon by the Führer. Was that question re-examined
-at any time by the Commander-in-Chief of U-boats or
-the Naval Operations Staff?</p>
-
-<p class='pindent'>DÖNITZ: When I had become Commander-in-Chief of the
-Navy...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That was in 1943?</p>
-
-<p class='pindent'>DÖNITZ: I think in the summer of 1943 I received a letter from
-the Foreign Office in which I was informed that about 87 percent of
-the crews of merchant ships which had been sunk were returning
-home. I was told that was a disadvantage and was asked whether
-it was not possible to do something about it.</p>
-
-<p class='pindent'>Thereupon I had a letter sent to the Foreign Office in which I
-wrote that I had already been forced to prohibit rescue because it
-endangered the submarines, but that other measures were out of the
-question for me.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: There is an entry in the
-War Diary of the Naval Operations Staff which deals with this
-case. I submit this entry as Dönitz-42, on Pages 92 to 94 in Volume II
-of the document book.</p>
-
-<p class='pindent'>I shall read as introduction the first and second sentences of
-Page 92. The entry is dated 4 April 1943.</p>
-
-<div class='blockquote'>
-
-<p>“The German Foreign Office pointed out a statement of the
-British Transport Minister according to which, following sinkings
-of merchant vessels, an average of 87 percent of the
-crews were saved. On the subject of this statement the Naval
-Operations Staff made a comprehensive reply to the Foreign
-Office.”</p>
-
-</div>
-
-<p class='pindent'>Then there is the reply on the next pages, and I should like to
-call to your attention a part of it first, under Heading 1, about
-the number of convoy ships sunk. What is the importance of that
-in this connection?</p>
-
-<p class='pindent'>DÖNITZ: That so many people certainly returned home.
-<span class='pageno' title='294' id='Page_294'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Furthermore, under Heading
-2, it is mentioned that the sailors do not need a long period
-of training, with the exception of officers, and that an order for
-the picking up of captains and chief engineers already existed.
-What is the meaning of that?</p>
-
-<p class='pindent'>DÖNITZ: It is intended to emphasize that a matter like that is
-being judged in the wrong light.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment, Admiral.
-By “a matter like that,” you mean the usefulness, from a military
-point of view, of killing the shipwrecked?</p>
-
-<p class='pindent'>DÖNITZ: I mean that crews were always available to the enemy,
-or unskilled men could very quickly be trained.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Under Heading 4, you
-point to the great danger of reprisals against your own submarine
-crews. Did such reprisals against German U-boat crews occur at
-any time in the course of the war?</p>
-
-<p class='pindent'>DÖNITZ: I do not know. I did not hear anything about reprisals
-in that respect. I only received reliable reports that when U-boats
-were bombed and destroyed from the air, the men swimming in
-the water were shot at. But whether these were individual acts
-or reprisals carried out on orders, I do not know. I assume they
-were individual acts.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The decisive point of
-the entire letter seems to be in Heading 3; I shall read that to you:</p>
-
-<div class='blockquote'>
-
-<p>“A directive to take action against lifeboats of sunken vessels
-and crew members drifting in the sea would, for psychological
-reasons, hardly be acceptable to U-boat crews, since it would
-be contrary to the innermost feelings of all sailors. Such a
-directive could only be considered if by it a decisive military
-success could be achieved.”</p>
-
-</div>
-
-<p class='pindent'>Admiral, you yourself have repeatedly spoken about the harshness
-of war. Are you, nevertheless, of the opinion that psychologically
-the U-boat crews could not be expected to carry out such an
-order? And why?</p>
-
-<p class='pindent'>DÖNITZ: We U-boat men knew that we had to fight a very
-hard war against the great sea powers. Germany had at her disposal
-for this naval warfare nothing but the U-boats. Therefore,
-from the beginning—already in peacetime—I trained the submarine
-crews in the spirit of pure idealism and patriotism.</p>
-
-<p class='pindent'>That was necessary, and I continued that training throughout
-the war and supported it by very close personal contacts with the
-men at the bases. It was necessary to achieve very high morale,
-<span class='pageno' title='295' id='Page_295'></span>
-very high fighting spirit, because otherwise the severe struggle and
-the enormous losses, as shown on the diagram, would have been
-morally impossible to bear. But in spite of these high losses we
-continued the fight, because it had to be; and we made up for our
-losses and again and again replenished our forces with volunteers
-full of enthusiasm and full of moral strength, just because morale
-was so high. And I would never, even at the time of our most serious
-losses, have permitted that these men be given an order which was
-unethical or which would damage their fighting morale; much less
-would I myself ever have given such an order, for I placed my
-whole confidence in that high fighting morale and endeavored to
-maintain it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You said the U-boat
-forces were replenished with volunteers, did you?</p>
-
-<p class='pindent'>DÖNITZ: We had practically only volunteers.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Also at the time of the
-highest losses?</p>
-
-<p class='pindent'>DÖNITZ: Yes, even during the time of highest losses, during the
-period when everyone knew that he took part in an average of
-two missions and then was lost.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How high were your
-losses?</p>
-
-<p class='pindent'>DÖNITZ: According to my recollection, our total losses were
-640 or 670.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And crew members?</p>
-
-<p class='pindent'>DÖNITZ: Altogether, we had 40,000 men in the submarine force.
-Of these 40,000 men 30,000 did not return, and of these 30,000, 25,000
-were killed and only 5,000 were taken prisoner. The majority of
-the submarines were destroyed from the air in the vast areas of
-the sea, the Atlantic, where rescue was out of the question.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I come
-now to a new subject. Would this be a suitable time to recess?</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='296' id='Page_296'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am turning now to
-the theme of the so-called conspiracy. The Prosecution is accusing
-you of participating from 1932, on the basis of your close connections
-with the Party, in a conspiracy to promote aggressive
-wars and commit war crimes. Where were you during the weeks
-of the seizure of power by the National Socialists in the early
-part of 1933?</p>
-
-<p class='pindent'>DÖNITZ: Immediately after 30 January 1933, I believe it was
-on 1 February, I went on leave to the Dutch East Indies and Ceylon,
-a trip which lasted well into the summer of 1933. This leave
-journey had been granted me, at Grossadmiral Raeder’s recommendation,
-by President Hindenburg.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: After that, you became
-commander of a cruiser at a foreign station?</p>
-
-<p class='pindent'>DÖNITZ: In the autumn of 1934 I went as captain of the cruiser
-<span class='it'>Emden</span> through the Atlantic, around Africa into the Indian Ocean,
-and back.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Before this sojourn abroad
-or after your return in 1935 and until you were appointed Commander-in-Chief
-of the Navy in the year 1943 were you politically
-active in any way?</p>
-
-<p class='pindent'>DÖNITZ: I was not active politically until 1 May 1945, when
-I became head of the State, not before then.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution has submitted
-a document, namely, an affidavit by Ambassador Messersmith.
-It bears the number USA-57 (Document Number 1760-PS)
-and I have the pertinent extracts in my document book, Volume II,
-Page 100. In this affidavit, Ambassador Messersmith says that from
-1930 until the spring of 1934 he acted as Consul General for the
-United States in Berlin. Then, until July 1937, he was in Vienna
-and from there he went to Washington. He gives an opinion about
-you with the remark, “Among the people whom I saw frequently
-and to whom my statements refer were the following....” Then
-your name is mentioned. From this one must get the impression
-that during this period of time you were active in political circles
-in Berlin or Vienna. Is that correct?</p>
-
-<p class='pindent'>DÖNITZ: No. At that time I was Lieutenant Commander and
-from the end of 1934 on I was Commander.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: With the permission of
-the Tribunal I sent an interrogatory to Ambassador Messersmith
-<span class='pageno' title='297' id='Page_297'></span>
-in order to determine upon what facts he was basing his opinion.
-This interrogatory was answered and I am submitting it as Exhibit
-Dönitz-45. The answers will be found on Page 102 of the document
-book, and I quote:</p>
-
-<div class='blockquote'>
-
-<p>“During my residence in Berlin and during my later frequent
-visits there as stated in my previous affidavits, I saw Admiral
-Karl Dönitz and spoke to him on several occasions. However,
-I kept no diary and I am unable to state with accuracy
-when and where the meetings occurred, the capacity in which
-Admiral Dönitz appeared there, or the topic or topics of
-our conversation. My judgment on Dönitz expressed in my
-previous affidavit is based on personal knowledge and on
-the general knowledge which I obtained from the various
-sources described in my previous affidavits.”</p>
-
-</div>
-
-<p class='pindent'>Did you, Admiral, see and speak with Ambassador Messersmith
-anywhere and at any time?</p>
-
-<p class='pindent'>DÖNITZ: I never saw him, and I hear his name here for the
-first time. Also, at the time in question, I was not in Berlin. I was
-in Wilhelmshaven on the North Sea coast or in the Indian Ocean.
-If he alleges to have spoken to me it would have had to be in
-Wilhelmshaven or in the Indian Ocean. Since neither is the case,
-I believe that he is mistaken and that he must have confused me
-with somebody else.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were you a member of
-the NSDAP?</p>
-
-<p class='pindent'>DÖNITZ: On 30 January 1944 I received from the Führer, as a
-decoration, the Golden Party Badge; and I assume that I thereby
-became an honorary member of the Party.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When did you become
-acquainted with Adolf Hitler and how often did you see him
-before you were appointed Commander-in-Chief of the Navy?</p>
-
-<p class='pindent'>DÖNITZ: I saw Adolf Hitler for the first time when, in the
-presence of Grossadmiral Raeder in the autumn of 1934, I informed
-him of my departure for foreign parts as captain of the cruiser
-<span class='it'>Emden</span>. I saw him again on the day following my return with
-the <span class='it'>Emden</span>. From the autumn of 1934 until the outbreak of war
-in 1939, in 5 years, I saw him four times in all, including the two
-occasions when I reported to him as already mentioned.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what were the
-other two occasions? Were they military or political occasions?</p>
-
-<p class='pindent'>DÖNITZ: One was a military matter when he was watching
-a review of the fleet in the Baltic Sea and I stood next to him on
-<span class='pageno' title='298' id='Page_298'></span>
-the bridge of the flagship in order to give the necessary explanations
-while two U-boats showed attack maneuvers.</p>
-
-<p class='pindent'>The other occasion was an invitation to all high-ranking army
-and navy officers when the new Reich Chancellery in the Voss
-Strasse was completed. That was in 1938 or 1939. I saw him there
-but I did not speak with him.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How many times during
-the war, until your appointment as Commander-in-Chief, did you
-see the Führer?</p>
-
-<p class='pindent'>DÖNITZ: In the years between 1939 and 1943 I saw the Führer
-four times, each time when short military reports about U-boat
-warfare were being made and always in the presence of large
-groups.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Until that time had you
-had any discussion which went beyond the purely military?</p>
-
-<p class='pindent'>DÖNITZ: No, none at all.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When were you appointed
-Commander-in-Chief of the Navy as successor to Grossadmiral
-Raeder?</p>
-
-<p class='pindent'>DÖNITZ: On 30 January 1943.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was the war which Germany
-was waging at that time at an offensive or defensive stage?</p>
-
-<p class='pindent'>DÖNITZ: At a decidedly defensive stage.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In your eyes was the
-position of Commander-in-Chief, which was offered to you, a political
-or a military position?</p>
-
-<p class='pindent'>DÖNITZ: It was self-evidently a purely military position, namely,
-that of the first soldier at the head of the Navy. My appointment
-to this position also came about because of purely military reasons
-which motivated Grossadmiral Raeder to propose my name for this
-position. Purely military considerations were the decisive ones in
-respect to this appointment.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You know, Admiral, that
-the Prosecution draws very far-reaching conclusions from your
-acceptance of this appointment as Commander-in-Chief of the Navy,
-especially with reference to the conspiracy. The Prosecution contends
-that through your acceptance of this position you ratified the
-previous happenings, all the endeavors of the Party since 1920 or
-1922, and the entire German policy, domestic and foreign, at least
-since 1933. Were you aware of the significance of this foreign
-policy? Did you take this into consideration at all?
-<span class='pageno' title='299' id='Page_299'></span></p>
-
-<p class='pindent'>DÖNITZ: The idea never entered my head. Nor do I believe
-that there is a soldier who, when he receives a military command,
-would entertain such thoughts or be conscious of such considerations.
-My appointment as Commander-in-Chief of the Navy represented
-for me an order which I of course had to obey, just as I had
-to obey every other military order, unless for reasons of health I
-was not able to do so. Since I was in good health and believed
-that I could be of use to the Navy, I naturally also accepted this
-command with inner conviction. Anything else would have been
-desertion or disobedience.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then as Commander-in-Chief
-of the Navy you came into very close contact with Adolf
-Hitler. You also know just what conclusions the Prosecution draws
-from this relationship. Please tell me just what this relationship
-was and on what it was based?</p>
-
-<p class='pindent'>DÖNITZ: In order to be brief, I might perhaps explain the
-matter as follows:</p>
-
-<p class='pindent'>This relationship was based on three ties. First of all, I accepted
-and agreed to the national and social ideas of National Socialism:
-the national ideas which found expression in the honor and dignity
-of the nation, its freedom, and its equality among nations and its
-security; and the social tenets which had perhaps as their basis: no
-class struggle, but human and social respect of each person regardless
-of his class, profession, or economic position, and on the other
-hand, subordination of each and every one to the interests of the
-common weal. Naturally I regarded Adolf Hitler’s high authority
-with admiration and joyfully acknowledged it, when in times of
-peace he succeeded so quickly and without bloodshed in realizing
-his national and social objectives.</p>
-
-<p class='pindent'>My second tie was my oath. Adolf Hitler had, in a legal and
-lawful way, become the Supreme Commander of the Wehrmacht,
-to whom the Wehrmacht had sworn its oath of allegiance. That
-this oath was sacred to me is self-evident and I believe that decency
-in this world will everywhere be on the side of him who keeps
-his oath.</p>
-
-<p class='pindent'>The third tie was my personal relationship: Before I became
-Commander-in-Chief of the Navy, I believe Hitler had no definite
-conception of me and my person. He had seen me too few times and
-always in large circles. How my relationship to him would shape
-itself was therefore a completely open question when I became
-Commander-in-Chief of the Navy. My start in this connection was
-very unfavorable. It was made difficult, first, by the imminent and
-then the actual collapse of U-boat warfare and, secondly, by my
-refusal, just as Grossadmiral Raeder had already refused, to scrap
-<span class='pageno' title='300' id='Page_300'></span>
-the large ships, which in Hitler’s opinion had no fighting value in
-view of the oppressive superiority of the foe. I, like Grossadmiral
-Raeder, had opposed the scrapping of these ships, and only after
-a quarrel did he finally agree. But, despite that, I noticed very soon
-that in Navy matters he had confidence in me and in other respects
-as well treated me with decided respect.</p>
-
-<p class='pindent'>Adolf Hitler always saw in me only the first soldier of the Navy.
-He never asked for my advice in military matters which did not
-concern the Navy, either in regard to the Army or the Air Force;
-nor did I ever express my opinion about matters concerning the
-Army or the Air Force, because basically I did not have sufficient
-knowledge of these matters. Of course, he never consulted me on
-political matters of a domestic or foreign nature.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You said, Admiral, that
-he never asked you for advice on political matters. But those matters
-might have come up in connection with Navy questions. Did
-you not participate then either?</p>
-
-<p class='pindent'>DÖNITZ: If by “political” you mean, for instance, consultations
-of the commanders with the so-called “National Socialist Leadership
-Officers,” then, of course, I participated, because this came
-within the sphere of the Navy, or rather was to become a Navy
-concern. That was naturally the case.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Beyond those questions,
-did Hitler ever consider you a general adviser, as the Prosecution
-claims and as they concluded from the long list of meetings which
-you have had with Hitler since 1943 at his headquarters?</p>
-
-<p class='pindent'>DÖNITZ: First of all, as a matter of principle, there can be no
-question of a general consultation with the Führer; as I have already
-said, the Führer asked for and received advice from me only in
-matters concerning the Navy and the conduct of naval warfare—matters
-exclusively and absolutely restricted to my sphere of
-activity.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: According to the table
-submitted, between 1943 and 1945 you were called sometimes once
-and sometimes twice a month to the Führer’s headquarters. Please
-describe to the Tribunal just what happened, as far as you were
-concerned, on a day like that at the Führer’s headquarters—what
-you had to do there.</p>
-
-<p class='pindent'>DÖNITZ: Until 2 or 3 months before the collapse, when the
-Führer was in Berlin, I flew to his headquarters about every 2 or
-3 weeks, but only if I had some concrete Navy matter for which
-I needed his decision. On those occasions I participated in the noontime
-discussion of the general military situation, that is, the report
-which the Führer’s staff made to him about what had taken place
-<span class='pageno' title='301' id='Page_301'></span>
-on the fighting fronts within the last 24 hours. At these military
-discussions the Army and Air Force situation was of primary importance,
-and I spoke only when my Naval expert was reporting
-the naval situation and he needed me to supplement his report.
-Then at a given moment, which was fixed by the Adjutant’s Office,
-I gave my military report which was the purpose of my journey.
-When rendering this report only those were present whom these
-matters concerned, that is, when it was a question of reinforcements,
-<span class='it'>et cetera</span>, Field Marshal Keitel or Generaloberst Jodl were
-generally present.</p>
-
-<p class='pindent'>When I came to his headquarters every 2 or 3 weeks—later in
-1944 there was sometimes an interval of 6 weeks—the Führer
-invited me to lunch. These invitations ceased completely after
-20 July 1944, the day of the attempted assassination.</p>
-
-<p class='pindent'>I never received from the Führer an order which in any way
-violated the ethics of war. Neither I nor anyone in the Navy—and
-this is my conviction—knew anything about the mass extermination
-of people, which I learned about here from the Indictment, or, as
-far as the concentration camps are concerned, after the capitulation
-in May 1945.</p>
-
-<p class='pindent'>In Hitler I saw a powerful personality who had extraordinary
-intelligence and energy and a practically universal knowledge, from
-whom power seemed to emanate and who was possessed of a
-remarkable power of suggestion. On the other hand, I purposely
-very seldom went to his headquarters, for I had the feeling that
-I would best preserve my power of initiative that way and, secondly,
-because after several days, say 2 or 3 days at his headquarters, I
-had the feeling that I had to disengage myself from his power of
-suggestion. I am telling you this because in this connection I was
-doubtless more fortunate than his staff who were constantly exposed
-to his powerful personality with its power of suggestion.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You said just now, Admiral,
-that you never received an order which was in violation of
-military ethics. You know the Commando Order of the autumn of
-1942. Did you not receive this order?</p>
-
-<p class='pindent'>DÖNITZ: I was informed of this order after it was issued while
-I was still Commander of the U-boats. For the soldiers at the front
-this order was unequivocal. I had the feeling that it was a very
-grave matter; but under Point 1 of this order it was clearly and
-unequivocally expressed that members of the enemy forces, because
-of their behavior, because of the killing of prisoners, had placed
-themselves outside the Geneva Convention and that therefore the
-Führer had ordered reprisals and that those reprisal measures, in
-addition, had been published in the Wehrmacht report.
-<span class='pageno' title='302' id='Page_302'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Therefore, the soldier
-who received this order had no right, no possibility, and no authority
-to demand a justification or an investigation; does this mean
-such an order was justified? As Commander of the U-boats did you
-have anything to do with the execution of this order?</p>
-
-<p class='pindent'>DÖNITZ: No, not in the slightest.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: As far as you remember,
-did you as Commander-in-Chief of the Navy have anything
-to do with the carrying out of this order?</p>
-
-<p class='pindent'>DÖNITZ: As far as I remember I was never concerned with
-this order as Commander-in-Chief of the Navy. One should not
-forget, first, that this decree excludes expressly those taken prisoner
-in battles at sea and, second, that the Navy had no territorial
-authority on land, and for this latter reason found itself less often
-in a position of having to carry out any point of this order.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You know the document
-submitted by the Prosecution, which describes how in the summer
-of 1943 a Commando unit was shot in Norway. I mean the Prosecution’s
-Exhibit GB-208. The incident is described there as showing
-that the crew of a Norwegian motor torpedo boat were taken prisoner
-on a Norwegian island. This motor torpedo boat was charged
-with belligerent missions at sea. The document does not say who
-took the crew prisoner, but it does say that the members of the
-crew were wearing their uniforms when they were taken prisoner,
-that they were interrogated by a naval officer, and that on the
-order of Admiral Von Schrader they were turned over to the SD.
-The SD later shot them. Did you know about this incident or was
-it reported to you as Commander-in-Chief?</p>
-
-<p class='pindent'>DÖNITZ: I learned about this incident from the trial brief of
-the Prosecution.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you explain the fact
-that an incident of this nature was not brought to your attention?
-Would this not have had to be reported to you?</p>
-
-<p class='pindent'>DÖNITZ: If the Navy was concerned in this matter, that is, if
-this crew had been captured by the Navy, Admiral Von Schrader,
-who was the commander there, would absolutely have had to report
-this matter to the Commander-in-Chief of the Navy. I am also convinced
-that he would have done so, for the regulations regarding
-this were unequivocal. I am also convinced that the naval expert
-at the Navy High Command, who was concerned with such matters,
-would have reported this to me as Commander-in-Chief.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What is your opinion
-about this case now that you have learned about it through the
-document of the Prosecution?
-<span class='pageno' title='303' id='Page_303'></span></p>
-
-<p class='pindent'>DÖNITZ: If it is correct that it concerns the crew of a motor
-torpedo boat which had belligerent missions at sea, then this measure,
-the shooting which took place, was entirely wrong in any case,
-for it was in direct opposition even to this Commando Order. But
-I consider it completely out of the question, for I do not believe
-that Admiral Von Schrader, whom I know personally to be an
-especially chivalrous sailor, would have had a hand in anything of
-this sort. From the circumstances of this incident, the fact that it
-was not reported to the High Command, that this incident, as has
-now been ascertained by perusal of the German newspapers of that
-time, was never mentioned in the Wehrmacht communiqué, as would
-have been the case if it had been a matter concerning the Wehrmacht,
-from all these circumstances I assume that the incident was
-as follows:</p>
-
-<p class='pindent'>That the police arrested these people on the island; that they
-were taken from this island by vessel to Bergen; that there one or
-two, if I remember correctly, naval officers interrogated them, since
-the Navy, of course, was interested in this interrogation; and that
-then these people were handed over to the SD, since they had
-already been taken prisoner by the SD. I cannot explain it otherwise.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You wish to say, then,
-that in your opinion these men had never been prisoners of the
-Navy?</p>
-
-<p class='pindent'>DÖNITZ: No. If they had been, a report to the High Command
-would have been made.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Quite apart from these
-questions I should like to ask you, did you not in your position as
-Commander-in-Chief, and during your visits to the Führer’s headquarters,
-have experiences which made you consider disassociating
-yourself from Adolf Hitler?</p>
-
-<p class='pindent'>DÖNITZ: I have already stated that as far as my activity was
-concerned, even at headquarters, I was strictly limited to my own
-department, since it was a peculiarity of the Führer’s to listen to
-a person only about matters which were that person’s express concern.
-It was also self-evident that at the discussions of the military
-situation only purely military matters were discussed, that is, no
-problems of domestic policy, of the SD, or the SS, unless it was a
-question of SS divisions in military service under one of the army
-commanders. Therefore I had no knowledge of all these things.
-As I have already said, I never received an order from the Führer
-which in any way violated military ethics. Thus I firmly believe
-that in every respect I kept the Navy unsullied down to the last
-man until the end. In naval warfare my attention was focused on
-<span class='pageno' title='304' id='Page_304'></span>
-the sea; and the Navy, small as it was, tried to fulfill its duty
-according to its tasks. Therefore I had no reason at all to break
-with the Führer.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Such a reason would not
-necessarily refer to a crime; it could also have been, for political
-considerations, having nothing to do with crimes. You have heard
-the question broached repeatedly as to whether there should have
-been a Putsch. Did you enter into contact with such a movement
-or did you yourself consider or attempt a Putsch?</p>
-
-<p class='pindent'>DÖNITZ: No. The word “Putsch” has been used frequently in
-this courtroom by a wide variety of people. It is easy to say so,
-but I believe that one would have had to realize the tremendous
-significance of such an activity.</p>
-
-<p class='pindent'>The German nation was involved in a struggle of life and death.
-It was surrounded by enemies almost like a fortress. And it is clear,
-to keep to the simile of the fortress, that every disturbance from
-within would without doubt perforce have affected our military
-might and fighting power. Anyone, therefore, who violates his
-loyalty and his oath to plan and try to bring about an overthrow
-during such a struggle for survival must be most deeply convinced
-that the nation needs such an overthrow at all costs and must be
-aware of his responsibility.</p>
-
-<p class='pindent'>Despite this, every nation will judge such a man to be a traitor,
-and history will not vindicate him unless the success of the overthrow
-actually contributes to the welfare and prosperity of his
-people. This, however, would not have been the case in Germany.</p>
-
-<p class='pindent'>If, for instance, the Putsch of 20 July had been successful, then
-a dissolution, if only a gradual one, would have resulted inside Germany—a
-fight against the bearers of weapons, here the SS, there
-another group, complete chaos inside Germany—for the firm structure
-of the State would gradually have been destroyed and disintegration
-and a reduction of our fighting power at the front would
-have inevitably resulted.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal thinks that the defendant is
-making a long and political speech. It really hasn’t very much to
-do with the questions with which we have to deal.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I was of
-the opinion that the question of whether a Commander-in-Chief is
-obliged to bring about a Putsch was regarded as a main point by
-the Prosecution, a point having a bearing on the question of whether
-he declared himself in agreement or not with the system which is
-being characterized as criminal. If the Tribunal considers this question
-irrelevant I do not want to press it further.
-<span class='pageno' title='305' id='Page_305'></span></p>
-
-<p class='pindent'>THE PRESIDENT: I don’t think the Prosecution has put forward
-the view that anybody had to create a Putsch.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It seemed to me a self-evident
-view of the Prosecution.</p>
-
-<p class='pindent'>Admiral, the Prosecution has submitted two documents, dating
-from the winter of 1943 and May 1945, containing speeches made
-by you to the troops. You are accused by the Prosecution of
-preaching National Socialist ideas to the troops. Please define your
-position on this point.</p>
-
-<p class='pindent'>DÖNITZ: When in February 1943 I became Commander-in-Chief
-of the Navy, I was responsible for the fighting power of the entire
-Navy. A main source of strength in this war was the unity of our
-people. And those who had most to gain from this unity were the
-Armed Forces, for any rupture inside Germany would perforce
-have had an effect on the troops and would have reduced that
-fighting spirit which was their mission. The Navy, in particular,
-in the first World War, had had bitter experiences in this direction
-in 1917-18.</p>
-
-<p class='pindent'>Therefore in all of my speeches I tried to preserve this unity
-and the feeling that we were the guarantors of this unity. This
-was necessary and right, and particularly necessary for me as a
-leader of troops. I could not preach disunity or dissolution, and
-it had its effect. Fighting power and discipline in the Navy were
-of a high standard until the end. And I believe that in every
-nation such an achievement is considered a proper and good achievement
-for a leader of troops. These are my reasons for talking the
-way I did.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: On 30 April 1945 you became
-head of the State as Adolf Hitler’s successor; and the Prosecution
-concludes from this that prior to that time also you must
-have been a close confidant of Hitler’s, since only a confidant of
-his would have been chosen to be Hitler’s successor where matters
-of state were concerned. Will you tell me how you came to be
-his successor and whether Hitler before that time ever spoke to
-you about this possibility?</p>
-
-<p class='pindent'>DÖNITZ: From 20 July 1944 on I did not see Hitler alone, but
-only at the large discussions of the military situation. He never
-spoke to me about the question of a successor, not even by way
-of hinting. This was entirely natural and clear since, according
-to law, the Reich Marshal was his successor; and the regrettable
-misunderstanding between the Führer and the Reich Marshal did
-not occur until the end of April 1945, at a time when I was no
-longer in Berlin.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Where were you?
-<span class='pageno' title='306' id='Page_306'></span></p>
-
-<p class='pindent'>DÖNITZ: I was in Holstein. Therefore, I did not have the
-slightest inkling, nor did the Führer, that I was to become his
-successor.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Just how, through what
-measures or orders, did that actually come about?</p>
-
-<p class='pindent'>DÖNITZ: On 30 April 1945, in the evening, I received a radio
-message from headquarters to the effect that the Führer was
-designating me his successor and that I was authorized to take at
-once all measures which I considered necessary.</p>
-
-<p class='pindent'>The next morning, that is on 1 May, I received another radio
-message, a more detailed directive, which said that I was to be
-Reich President; Minister Goebbels, Reich Chancellor; Bormann,
-Party Minister; and Seyss-Inquart, Foreign Minister.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you adhere to this
-directive?</p>
-
-<p class='pindent'>DÖNITZ: This radio message first of all contradicted the earlier
-radio message which clearly stated: “You can at once do everything
-you consider to be right.” I did not and as a matter of principle
-never would adhere to this second radio message, for if I am to
-take responsibility, then no conditions must be imposed on me.
-Thirdly, under no circumstances would I have agreed to working
-with the people mentioned, with the exception of Seyss-Inquart.</p>
-
-<p class='pindent'>In the early morning of 1 May I had already had a discussion
-with the Minister of Finance, Count Schwerin von Krosigk, and
-had asked him to take over the business of government, insofar
-as we could still talk about that. I had done this because in a
-chance discussion, which had taken place several days before, I
-had seen that we held much the same view, the view that the
-German people belonged to the Christian West, that the basis
-of future conditions of life is the absolute legal security of the
-individual and of private property.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, you know the
-so-called “Political Testament” of Adolf Hitler, in which you are
-charged with continuing the war. Did you receive an order of this
-sort at that time?</p>
-
-<p class='pindent'>DÖNITZ: No. I saw this Testament for the first time a few
-weeks ago here, when it was made public in the press. As I have
-said, I would not have accepted any order, any restriction of my
-activity at the time when Germany’s position was hopeless and
-I was given the responsibility.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution has submitted
-a document in which you exhorted the war leaders in the
-spring of 1945 to carry on tenaciously to the end. It is Exhibit
-<span class='pageno' title='307' id='Page_307'></span>
-GB-212. You are accused in this connection of being a fanatical
-Nazi who was ready to carry on a hopeless war at the expense
-of the women and children of your people. Please define your
-position in respect to this particularly grave accusation.</p>
-
-<p class='pindent'>DÖNITZ: In this connection I can say the following: In the
-spring of 1945 I was not head of the State; I was a soldier. To
-continue the fight or not to continue the fight was a political
-decision. The head of the State wanted to continue the fight. I as
-a soldier had to obey. It is an impossibility that in a state one
-soldier should declare, “I shall continue to fight,” while another
-declares, “I shall not continue the fight.” I could not have given
-any other advice, the way I saw things; and for the following
-reasons:</p>
-
-<p class='pindent'>First: In the East the collapse of our front at one point meant
-the extermination of the people living behind that front. We
-knew that because of practical experiences and because of all the
-reports which we had about this. It was the belief of all the
-people that the soldier in the East had to do his military duty
-in these hard months of the war, these last hard months of the
-war. This was especially important because otherwise German
-women and children would have perished.</p>
-
-<p class='pindent'>The Navy was involved to a considerable extent in the East.
-It had about 100,000 men on land, and the entire surface craft
-were concentrated in the Baltic for the transport of troops,
-weapons, wounded, and above all, refugees. Therefore the very
-existence of the German people in this last hard period depended
-above all on the soldiers carrying on tenaciously to the end.</p>
-
-<p class='pindent'>Secondly: If we had capitulated in the first few months of the
-spring or in the winter of 1945, then from everything we knew
-about the enemy’s intentions the country would, according to the
-Yalta Agreement, have been ruinously torn asunder and partitioned
-and the German land occupied in the same way as it is today.</p>
-
-<p class='pindent'>Thirdly: Capitulation means that the army, the soldiers, stay
-where they are and become prisoners. That means that if we
-had capitulated in January or February 1945, 2 million soldiers
-in the East, for example, would have fallen into the hands of
-the Russians. That these millions could not possibly have been
-cared for during the cold winter is obvious; and we would have
-lost men on a very large scale, for even at the time of the capitulation
-in May 1945—that is, in the late spring—it was not possible
-in the West to take care of the large masses of prisoners according
-to the Geneva Convention. Then, as I have already said, since the
-Yalta Agreement would have been put into effect, we would have
-lost in the East a much larger number of people who had not yet
-fled from there.
-<span class='pageno' title='308' id='Page_308'></span></p>
-
-<p class='pindent'>When on 1 May I became head of the State, circumstances were
-different. By that time the fronts, the Eastern and Western fronts,
-had come so close to each other that in a few days people, troops,
-soldiers, armies, and the great masses of refugees could be transported,
-from the East to the West. When I became head of the
-State on 1 May, I therefore strove to make peace as quickly as
-possible and to capitulate, thus saving German blood and bringing
-German people from the East to the West; and I acted accordingly,
-already on 2 May, by making overtures to General Montgomery
-to capitulate for the territory facing his army, and for
-Holland and Denmark which we still held firmly; and immediately
-following that I opened negotiations with General Eisenhower.</p>
-
-<p class='pindent'>The same basic principle—to save and preserve the German
-population—motivated me in the winter to face bitter necessity
-and keep on fighting. It was very painful that our cities were
-still being bombed to pieces and that through these bombing
-attacks and the continued fight more lives were lost. The number
-of these people is about 300,000 to 400,000, the majority of whom
-perished in the bombing attack of Dresden, which cannot be understood
-from a military point of view and which could not have
-been predicted. Nevertheless, this figure is relatively small compared
-with the millions of German people, soldiers and civilian
-population, we would have lost in the East if we had capitulated
-in the winter.</p>
-
-<p class='pindent'>Therefore, in my opinion, it was necessary to act as I did:
-First while I was still a soldier, to call on my troops to keep up
-the fight, and afterwards, when I became head of the State in
-May, to capitulate at once. Thereby no German lives were lost;
-rather they were saved.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have no further questions,
-Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>THE PRESIDENT: Does any other member of the Defendants’
-Counsel wish to ask questions?</p>
-
-<p class='pindent'>DR. WALTER SIEMERS (Counsel for Defendant Raeder): Admiral
-Dönitz, you have already explained that Grossadmiral Raeder and
-the Navy in the summer of 1939 did not believe, despite certain
-ominous signs, that war was about to break out. Since you saw
-Grossadmiral Raeder in the summer of 1939, I should like you
-briefly to supplement this point. First of all, on what occasion
-did you have a detailed conversation with Grossadmiral Raeder?
-<span class='pageno' title='309' id='Page_309'></span></p>
-
-<p class='pindent'>DÖNITZ: Grossadmiral Raeder embarked in the middle of July
-1939 for submarine maneuvers of my fleet in the Baltic Sea. Following
-the maneuvers...</p>
-
-<p class='pindent'>DR. SIEMERS: May I first ask you something? What sort of
-maneuvers were they? How large were they and where did they
-take place?</p>
-
-<p class='pindent'>DÖNITZ: All submarines which had completed their tests I
-had assembled in the Baltic. I cannot remember the exact figure,
-but I think there were about 30. In the maneuvers I then showed
-Grossadmiral Raeder what these submarines could accomplish.</p>
-
-<p class='pindent'>DR. SIEMERS: Were all those submarines capable of navigating
-in the Atlantic?</p>
-
-<p class='pindent'>DÖNITZ: Yes, they were, and in addition there were the smaller
-submarines of lower tonnage, which could operate only as far
-as the North Sea.</p>
-
-<p class='pindent'>DR. SIEMERS: That means, therefore, that at that time you
-had no more than two dozen submarines capable of navigating in
-the Atlantic; is that right?</p>
-
-<p class='pindent'>DÖNITZ: That figure is too high. At that time we had not even
-15 submarines capable of navigating in the Atlantic. At the outbreak
-of war, as far as I remember, we went to sea with fifteen
-submarines capable of navigating in the Atlantic.</p>
-
-<p class='pindent'>DR. SIEMERS: During those few days when you were with
-Raeder at the maneuvers did you talk to him privately?</p>
-
-<p class='pindent'>DÖNITZ: Yes. Grossadmiral Raeder told me—and he repeated
-this to the entire officers’ corps during his final speech in Swinemünde—that
-the Führer had informed him that under no circumstances
-must a war in the West develop, for that would be <span class='it'>Finis
-Germaniae</span>. I asked for leave and immediately after the maneuvers
-I went on leave on 24 July for a 6-weeks’ rest at Bad Gastein. I
-am merely stating that because it shows how we regarded the
-situation at that time.</p>
-
-<p class='pindent'>DR. SIEMERS: But then the war came rather quickly, did it
-not, and you had to break off the leave which you had planned?</p>
-
-<p class='pindent'>DÖNITZ: I was called back by telephone in the middle of
-August.</p>
-
-<p class='pindent'>DR. SIEMERS: These words, that there would be no war with
-England, and the words, <span class='it'>Finis Germaniae</span>, did Raeder speak them
-during a private conversation or only in this speech at Swinemünde?</p>
-
-<p class='pindent'>DÖNITZ: As far as the sense is concerned, yes. As far as the
-exact words are concerned, I cannot remember now what was
-<span class='pageno' title='310' id='Page_310'></span>
-said in the main speech and what was said before. At any rate he
-certainly said it during the main speech.</p>
-
-<p class='pindent'>DR. SIEMERS: Thank you very much.</p>
-
-<p class='pindent'>DR. LATERNSER: Admiral, on 30 January 1943 you became
-Commander-in-Chief of the Navy and thereby a member of the
-group which is indicted here, the General Staff and the OKW?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>DR. LATERNSER: I wanted to ask you whether, after you were
-appointed, you had discussions with any of the members of these
-groups regarding plans or aims as outlined in the Indictment?</p>
-
-<p class='pindent'>DÖNITZ: No, with none of them.</p>
-
-<p class='pindent'>DR. LATERNSER: After you came to office, you dismissed all
-the senior commanders in the Navy. What were the reasons
-for this?</p>
-
-<p class='pindent'>DÖNITZ: Since I was between 7 and 10 years younger than
-the other commanders in the Navy, for instance, Admiral Carls,
-Admiral Boehm, and others, it was naturally difficult for both
-parties. They were released for those reasons and, I believe, in
-spite of mutual respect and esteem.</p>
-
-<p class='pindent'>DR. LATERNSER: How many commanders in the Navy were
-involved in this case?</p>
-
-<p class='pindent'>DÖNITZ: I think three or four.</p>
-
-<p class='pindent'>DR. LATERNSER: Was there close personal and official contact
-between the Navy on the one hand, and the Army and Air Force
-on the other?</p>
-
-<p class='pindent'>DÖNITZ: No, not at all.</p>
-
-<p class='pindent'>DR. LATERNSER: Did you know most of the members of the
-indicted group?</p>
-
-<p class='pindent'>DÖNITZ: No. Before my time as Commander-in-Chief of the
-Navy, I knew only those with whom I happened to find myself
-in the same area. For instance, when I was in France I knew
-Field Marshal Von Rundstedt. After I became Commander-in-Chief
-I knew only those whom I met by chance when I was at headquarters
-where they had to submit some army report at the large
-military situation conference.</p>
-
-<p class='pindent'>DR. LATERNSER: Then you did not know most of the members
-of these groups?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>DR. LATERNSER: Did those commanders who were known to
-you have a common political aim?
-<span class='pageno' title='311' id='Page_311'></span></p>
-
-<p class='pindent'>DÖNITZ: As far as the Army and the Air Force are concerned,
-I cannot say. As far as the Navy is concerned, the answer is “no.”
-We were soldiers, and I was interested in what the soldier could
-accomplish, what his personality was; and I did not concern myself
-in the main about a political line of thought, unless it affected his
-performance as a soldier.</p>
-
-<p class='pindent'>I want to mention, as an example, the fact that my closest
-colleague who from 1934 until the very end in 1945 always accompanied
-me as my adjutant and later as Chief of Staff, was
-extremely critical of National Socialism—to put it mildly—without
-our official collaboration or my personal attitude toward him being
-affected thereby, as this long period of working together shows.</p>
-
-<p class='pindent'>DR. LATERNSER: May I inquire the name of this Chief of Staff
-to whom you have just referred?</p>
-
-<p class='pindent'>DÖNITZ: Admiral Godt.</p>
-
-<p class='pindent'>DR. LATERNSER: Admiral Godt. Do you know of any remarks
-made by Hitler regarding the attitude of the generals of the Army?
-The question refers only to those who belong to the indicted group.</p>
-
-<p class='pindent'>DÖNITZ: At the discussions of the military situation, I naturally
-heard a hasty remark now and then about some army commander,
-but I cannot say today why it was made or to whom it referred.</p>
-
-<p class='pindent'>DR. LATERNSER: You were quite often present during the
-situation conferences at the Führer’s headquarters. Did you notice
-on such occasions that commanders-in-chief put forward in Hitler’s
-presence views strikingly different from his?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that certainly happened.</p>
-
-<p class='pindent'>DR. LATERNSER: Can you remember any particular instance?</p>
-
-<p class='pindent'>DÖNITZ: I remember that when the question of falling back
-in the northern sector in the East was discussed, the army commander
-of this sector of the front was not of the same opinion
-as the Führer, and that this led to an argument.</p>
-
-<p class='pindent'>DR. LATERNSER: Was that commander successful with his
-objections?</p>
-
-<p class='pindent'>DÖNITZ: I think so, partly; but I should like you to ask an
-army officer about that because naturally I do not know these
-details so clearly and authentically.</p>
-
-<p class='pindent'>DR. LATERNSER: Did the high military leaders of the Navy
-have anything to do with the Einsatzgruppen of the SD?</p>
-
-<p class='pindent'>DÖNITZ: The Navy, no. As far as the Army is concerned, I
-do not believe so and I assume they did not. But please do not ask
-me about anything but the Navy.
-<span class='pageno' title='312' id='Page_312'></span></p>
-
-<p class='pindent'>DR. LATERNSER: Yes. This question referred only to the Navy.
-And now, some questions about regional Navy commanders. Did
-the commanders of the regional Navy Group Commands—Marine-Gruppenkommando—have
-extensive territorial authority?</p>
-
-<p class='pindent'>DÖNITZ: No. According to the famous KG-40, that is War
-Organization 1940, the Navy had no territorial powers ashore. Its
-task ashore was to defend the coast under the command of the
-Army and according to sectors, that is, under the command of the
-divisions stationed in that particular sector. Apart from that they
-took part in battle in coastal waters.</p>
-
-<p class='pindent'>DR. LATERNSER: So that regional commanders in the Navy
-were therefore simply troop commanders?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>DR. LATERNSER: Did the commanders of these regional Navy
-Group Commands have any influence on the formulation of orders
-regarding submarine warfare?</p>
-
-<p class='pindent'>DÖNITZ: No, none whatever.</p>
-
-<p class='pindent'>DR. LATERNSER: Did they influence decisions regarding what
-ships were to be sunk?</p>
-
-<p class='pindent'>DÖNITZ: No, not at all.</p>
-
-<p class='pindent'>DR. LATERNSER: And did they influence orders regarding the
-treatment of shipwrecked personnel?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>DR. LATERNSER: Now the holder of the office Chief of Naval
-Operations Staff also belongs to this group. What were the tasks
-of a Chief of Naval Operations Staff?</p>
-
-<p class='pindent'>DÖNITZ: That was a high command, the office which worked
-out the purely military, tactical, and operational matters of the
-Navy.</p>
-
-<p class='pindent'>DR. LATERNSER: Did the Chief of Naval Operations Staff have
-powers to issue orders?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>DR. LATERNSER: Then his position was similar to that of Chief
-of General Staff of the Air Force or of the Army?</p>
-
-<p class='pindent'>DÖNITZ: I beg your pardon, I must first get the idea clear.</p>
-
-<p class='pindent'>I assume that by “Chief of Naval Operations Staff” you mean
-the Chief of Staff of Naval Operations Staff? In Grossadmiral
-Raeder’s time the name “Chief of Naval Operations Staff” was
-the same as “Commander-in-Chief of the Navy.” The position
-about which you are asking was called “Chief of Staff of Naval
-<span class='pageno' title='313' id='Page_313'></span>
-Operations Staff” while I was Commander-in-Chief of the Navy;
-the name “Chief of Staff of Naval Operations Staff” was changed
-to “Chief of Naval Operations Staff,” but it was the same person
-and he was under the Commander-in-Chief of the Navy.</p>
-
-<p class='pindent'>DR. LATERNSER: Was there in the Navy a staff of Admirals
-corresponding to the Army General Staff?</p>
-
-<p class='pindent'>DÖNITZ: No, that did not exist. Such an institution did not
-exist. The necessary consultants, “Führungsgehilfen,” as we called
-them, came from the front, served on the staff and then returned
-to the front.</p>
-
-<p class='pindent'>DR. LATERNSER: Now I shall ask one last question. The
-witness Gisevius has stated in this courtroom that the highest
-military leaders had drifted into corruption by accepting gifts.
-Did you yourself receive a gift of any kind?</p>
-
-<p class='pindent'>DÖNITZ: Apart from the salary to which I was entitled, I did
-not receive a penny; I received no gifts. And the same applies to
-all the officers of the Navy.</p>
-
-<p class='pindent'>DR. LATERNSER: Thank you very much. I have no further
-questions.</p>
-
-<p class='pindent'>DR. NELTE: Witness, you were present when the witness
-Gisevius was being examined here. That witness, without giving
-concrete facts, passed judgment in the following manner: “Keitel
-had one of the most influential positions in the Third Reich.” And
-at another point he said, “I received very exact information regarding
-the tremendous influence, which Keitel had on everything
-relating to the Army and accordingly also on those who represented
-the Army to the German people.”</p>
-
-<p class='pindent'>Will you, who can judge these matters, tell me whether that
-judgment of Defendant Keitel’s position, his function, is correct?</p>
-
-<p class='pindent'>DÖNITZ: I consider it very much exaggerated. I think that
-Field Marshal Keitel’s position has been described here so unequivocally
-that it ought to be clear by now that what is contained
-in these words is not at all correct.</p>
-
-<p class='pindent'>DR. NELTE: Am I to gather from this that you confirm as
-correct the description of the position and functions as given by
-Reich Marshal Göring and Field Marshal Keitel himself?</p>
-
-<p class='pindent'>DÖNITZ: Yes, it is perfectly correct.</p>
-
-<p class='pindent'>DR. NELTE: The witness Gisevius judged these matters, not
-on the basis of his own knowledge, but on the basis of information
-received from Admiral Canaris. Did you know Admiral Canaris?</p>
-
-<p class='pindent'>DÖNITZ: I know Admiral Canaris from the time when he was
-still a member of the Navy.
-<span class='pageno' title='314' id='Page_314'></span></p>
-
-<p class='pindent'>DR. NELTE: Later on, when he was Chief of the Intelligence
-Service for foreign countries in the OKW, did you not have discussions
-with him? Did he not come to see you in his capacity as
-Chief of the Intelligence Service?</p>
-
-<p class='pindent'>DÖNITZ: After I became Commander-in-Chief of the Navy, he
-visited me and he made a report about information matters which
-he thought he could place at the disposal of the Navy, my sphere
-of interest. But that was his last report to me. After that, of course,
-I received from him or his department written information reports
-which concerned the Navy.</p>
-
-<p class='pindent'>DR. NELTE: Is it right for me to say that the position of Admiral
-Canaris as Chief of Intelligence, that is, espionage, counterespionage,
-sabotage, and intelligence, was of great importance for
-the entire conduct of the war?</p>
-
-<p class='pindent'>DÖNITZ: His office or his department?</p>
-
-<p class='pindent'>DR. NELTE: He was the chief of the whole department, was
-he not?</p>
-
-<p class='pindent'>DÖNITZ: Of course, he worked for the entire Armed Forces,
-all three branches of the Armed Forces; and I must say in that
-connection, if you ask me about the importance, that I was of the
-opinion that the information which we received from him and
-which interested the Navy was very meager indeed.</p>
-
-<p class='pindent'>DR. NELTE: Did Canaris ever complain to you that Field Marshal
-Keitel at the OKW in any way obstructed and hampered him
-in carrying out his activity and that he could not pass on his
-intelligence and his reports?</p>
-
-<p class='pindent'>DÖNITZ: He never did that and, of course, he could have done
-so only during the first report. No, he never did that.</p>
-
-<p class='pindent'>DR. NELTE: With reference to Canaris I should like to know
-whether you can tell me anything about his character and consequently
-about his credibility as a source of information; whether
-you consider him reliable?</p>
-
-<p class='pindent'>DÖNITZ: Admiral Canaris, while he was in the Navy, was an
-officer in whom not much confidence was shown. He was a man
-quite different from us—we used to say he had seven souls in
-his breast.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Nelte, we don’t want to know about Admiral
-Canaris when he was in the Navy. I don’t think there is any
-use telling us that Admiral Canaris was in the Navy. The only
-possible relevance would be his character afterwards when he was
-head of the intelligence.</p>
-
-<p class='pindent'>DR. NELTE: Mr. President, do you not think that, if someone is
-unreliable and not credible as a commodore, he might also be so as
-<span class='pageno' title='315' id='Page_315'></span>
-an Admiral in the OKW? Do you think that that could have changed
-during these years?</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] But, nevertheless, I thank you for
-the answer to this question and I now ask you to answer the following
-question. Is it true that Hitler forbade all branches of the
-Armed Forces to make reports on any political matters and that he
-demanded that they confine themselves to their own sphere of work?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is true.</p>
-
-<p class='pindent'>DR. NELTE: Witness Gisevius has stated that Field Marshal
-Keitel threatened the officers under his command that he would
-hand them over to the Gestapo if they concerned themselves with
-political matters, and I ask you: Is it true that, according to the
-regulations applying to the Armed Forces, the Police—including the
-Gestapo, the SD, and the Criminal Police—had no jurisdiction at all
-over members of the Armed Forces, no matter what their rank was?</p>
-
-<p class='pindent'>DÖNITZ: That is correct.</p>
-
-<p class='pindent'>DR. NELTE: And is it also correct that the branches of the
-Armed Forces and also the OKW were at great pains to preserve
-this prerogative as far as the Police were concerned?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is true.</p>
-
-<p class='pindent'>DR. NELTE: So that any alleged threat, as mentioned by Gisevius,
-namely, the handing over of these people to the Gestapo,
-could not have been carried out?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>DR. NELTE: And it is correct for me to say that all officers of
-the OKW to whom such a statement might have been made naturally
-knew that, too?</p>
-
-<p class='pindent'>DÖNITZ: Naturally. A soldier was subject to military jurisdiction,
-and nobody could interfere with the Armed Forces.</p>
-
-<p class='pindent'>DR. NELTE: Moreover, did Field Marshal Keitel, as Chief of the
-OKW, have any right to deal with officers serving in the OKW
-without the knowledge and consent of the Commander-in-Chief of
-the branch of the Armed Forces to which the officer belonged?
-Could he promote such an officer, dismiss him, or anything like that?</p>
-
-<p class='pindent'>DÖNITZ: An officer in a branch of the Armed Forces—for
-instance the Navy—was detailed to the OKW for a definite office
-and thus was sent by the Navy to the OKW. If this officer was to
-be given a different office in the OKW, then the branch of the
-Armed Forces to which he belonged would of course have to be
-consulted.</p>
-
-<p class='pindent'>DR. NELTE: Is it not correct to say that these officers were still
-on the roster of their own branch of the Armed Forces, since the
-<span class='pageno' title='316' id='Page_316'></span>
-OKW was not a branch of the Armed Forces and was not a formation;
-in other words, if there was a promotion, for instance, it
-would be ordered by the Navy? If Canaris was to have been promoted,
-you, as Commander-in-Chief of the Navy, would have had
-to order this promotion, assuming, of course, that you were in
-agreement with this proposal? It was merely a question of the
-actual command and of personnel?</p>
-
-<p class='pindent'>DÖNITZ: These officers were detailed to the OKW. As far as
-I can recollect, they were still on the Navy roster under the heading,
-“Detailed from the Navy to the OKW.”</p>
-
-<p class='pindent'>DR. NELTE: But they did not leave the Navy as a branch of
-the Armed Forces, did they?</p>
-
-<p class='pindent'>DÖNITZ: Promotion of such officers, I think, was decided by
-the Personnel Office of the Navy in agreement with the OKW, and
-I think also that no one could be detailed—I consider this self-evident—without
-agreement of the branch of the Armed Forces
-concerned.</p>
-
-<p class='pindent'>DR. NELTE: Witness Gisevius has stated that certain men,
-among them Field Marshal Keitel for military matters, had formed
-a close ring of silence around Hitler so that nobody they did not
-want to let through could approach him. I ask you, was it possible
-for Field Marshal Keitel to keep you, as Commander-in-Chief of
-the Navy, away from Hitler, if you wanted to make a report
-to him?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>DR. NELTE: In the same way, was it possible for Field Marshal
-Keitel to keep the Commander-in-Chief of the Air Force away, if
-the latter wanted to report to the Führer?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>DR. NELTE: And how was it with the Commander-in-Chief of
-the Army?</p>
-
-<p class='pindent'>DÖNITZ: I know nothing about that. When I was Commander-in-Chief
-of the Navy, there was no such position.</p>
-
-<p class='pindent'>DR. NELTE: Then how was it with the Chief of General Staff
-of the Army? Could he at any time report to the Führer without
-going by way of Field Marshal Keitel?</p>
-
-<p class='pindent'>DÖNITZ: It was not possible for Field Marshal Keitel to keep
-anyone away, and he would never have done so anyway.</p>
-
-<p class='pindent'>DR. NELTE: In reply to a question of the Prosecution, witness
-Gisevius stated in this courtroom that his group forwarded reports
-to Field Marshal Keitel, by way of Admiral Canaris, which dealt
-with the crimes against humanity which have been adduced here
-<span class='pageno' title='317' id='Page_317'></span>
-by the Prosecution. These reports had been camouflaged as “foreign
-reports.”</p>
-
-<p class='pindent'>I ask you, was a camouflaged “foreign report” of this sort ever
-submitted to you or sent to you by Canaris?</p>
-
-<p class='pindent'>DÖNITZ: No, never.</p>
-
-<p class='pindent'>DR. NELTE: From your knowledge of Keitel’s personality, do
-you consider it possible that he would have withheld from the
-Führer an important report which was submitted to him?</p>
-
-<p class='pindent'>DÖNITZ: I consider that absolutely out of the question.</p>
-
-<p class='pindent'>THE PRESIDENT: I don’t think that is a proper question for
-you to put.</p>
-
-<p class='pindent'>DR. NELTE: With this question I wanted to end my inquiries
-on this point; but I still have one other question, which can be
-quickly dealt with.</p>
-
-<p class='pindent'>Mr. President, in your communication of 26 March 1946, you
-gave me permission to submit an affidavit from Admiral Dönitz
-concerning the function and the position of the Chief of the OKW.
-I received this affidavit and handed it over to the Prosecution on
-13 April for examination, and I understand that there are no
-objections to this affidavit. I have, however, not yet got back the
-original, which was handed over on 13 April, and I do not know
-whether it has in the meantime been submitted to the Tribunal
-by the Prosecution or not.</p>
-
-<p class='pindent'>THE PRESIDENT: I don’t know anything about the affidavit
-that you are dealing with.</p>
-
-<p class='pindent'>DR. NELTE: I shall therefore be forced to put questions to
-Admiral Dönitz, which in large part are the same questions which
-I have already put to Field Marshal Keitel himself.</p>
-
-<p class='pindent'>THE PRESIDENT: Do the Prosecution object to the affidavit
-at all?</p>
-
-<p class='pindent'>DR. NELTE: No, they did not raise any objections. Therefore,
-if it had been returned I would have submitted it as an exhibit,
-without reading it.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>DR. NELTE: Thank you.</p>
-
-<p class='pindent'>DR. DIX: Witness, you have stated that the SD and the Gestapo,
-in fact, the whole Police had no jurisdiction over members of the
-Armed Forces—for instance, they could not arrest members of the
-Armed Forces. Did I understand you correctly?</p>
-
-<p class='pindent'>DÖNITZ: Yes.
-<span class='pageno' title='318' id='Page_318'></span></p>
-
-<p class='pindent'>DR. DIX: Do you know, Witness, that all the officers, or in
-any case most of them, who were suspected of being involved in
-the affair of 20 July, were arrested by members of the SD and
-sent for questioning by the SD and the SD office, where they were
-arrested, to prisons under the SD and there held under SD guard
-and not under any military guard?</p>
-
-<p class='pindent'>DÖNITZ: No, I don’t know that, because after 20 July, as far
-as I can remember, an order was issued specifically stating that
-the SD were to give to branches of the Armed Forces the names
-of those soldiers who had participated in the Putsch and that these
-soldiers were then to be dismissed from the branches of the Armed
-Forces, particularly to keep the principle of noninterference in
-the branches of the Armed Forces from being violated, and that
-then the SD would have the right to take action.</p>
-
-<p class='pindent'>DR. DIX: That order did come out, but perhaps we can come
-to an explanation of this order if you answer further questions
-which I want to put to you.</p>
-
-<p class='pindent'>Do you know, Witness, that the examination, the interrogation
-of those officers arrested in connection with 20 July, was carried
-out exclusively by officials of the SD or the Gestapo and not by
-officers, that is, members of military courts?</p>
-
-<p class='pindent'>DÖNITZ: I can only judge as to the two cases which I had in
-the Navy. I received information that these two officers had participated.
-I had questions put to them, and they confirmed it.
-Thereupon these officers were dismissed from the Navy. After that
-the interrogation was, of course, not carried out by the Navy; but
-I know that my Navy court judges still concerned themselves about
-the officers and the interrogation.</p>
-
-<p class='pindent'>DR. DIX: Who dismissed these men?</p>
-
-<p class='pindent'>DÖNITZ: The Navy.</p>
-
-<p class='pindent'>DR. DIX: That is you.</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>DR. DIX: Do you know, Witness, that following upon the investigation
-regarding 20 July a committee of generals was formed
-under the chairmanship of Field Marshal Von Rundstedt?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I heard about that.</p>
-
-<p class='pindent'>DR. DIX: And that this committee, on the basis of the records
-of the SD, decided whether the officer in question was to be dismissed
-from the Army or would have to leave the Army, so that
-he could be turned over to the civil court, namely, the People’s
-Court?</p>
-
-<p class='pindent'>DÖNITZ: That is not known to me.
-<span class='pageno' title='319' id='Page_319'></span></p>
-
-<p class='pindent'>DR. DIX: May I put it to you that I am of the opinion that the
-order which you have described correctly...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Dix, you are bound by his answer. He
-said he didn’t know anything about it. You can’t then put to him
-what you say happened. If he says he doesn’t know anything about
-it, you must accept his answer.</p>
-
-<p class='pindent'>DR. DIX: I just wanted to put to him that the order to which
-I referred earlier, which actually exists and which deals with the
-decision of whether a person is to be dismissed from the Army and
-surrendered to the civil authorities, has to do with this committee
-presided over by Field Marshal Von Rundstedt, which had to
-decide whether the officer in question was to be dismissed and
-thereby turned over, not to a military court, but to the People’s
-Court.</p>
-
-<p class='pindent'>THE PRESIDENT: I understood the witness to say he didn’t
-know anything about it. I think you are bound by that answer.</p>
-
-<p class='pindent'>DR. DIX: May I add something?</p>
-
-<p class='pindent'>THE PRESIDENT: Who are you offering these questions for?
-You are counsel for the Defendant Schacht.</p>
-
-<p class='pindent'>DR. DIX: My colleague’s questions concerning Keitel were put
-to challenge the credibility of the witness Gisevius. Schacht’s
-defense is naturally interested in the credibility of the witness
-Gisevius. The Defense has put three questions in connection with
-Gisevius’ credibility, therefore, concerning the case for Schacht.
-May I add something?</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>DR. DIX: I ask the questions to which your Lordship is objecting
-only because I think it possible that the answer of the witness
-may have been based on a mistake, namely, that he confused the
-general regulation stating that the soldier concerned must be
-dismissed before the SD could lay hands on him with the order
-stating that Von Rundstedt’s committee would have to decide
-whether the officer in question was to be dismissed from the
-Army so that he could be handed over to the People’s Court, not
-to the SD. The SD merely carried out the investigation, the preliminary
-interrogation.</p>
-
-<p class='pindent'>THE PRESIDENT: What is it you want to ask him now?</p>
-
-<p class='pindent'>DR. DIX: Admiral, I think you have understood my question,
-or do you want me to repeat it?</p>
-
-<p class='pindent'>DÖNITZ: I cannot tell you any more than I have already done.</p>
-
-<p class='pindent'>DR. SERVATIUS: Witness, as Commander of Submarines, you
-did once have some official contact with Sauckel?
-<span class='pageno' title='320' id='Page_320'></span></p>
-
-<p class='pindent'>DÖNITZ: No, not official but private.</p>
-
-<p class='pindent'>DR. SERVATIUS: What was the occasion?</p>
-
-<p class='pindent'>DÖNITZ: A submarine, which was to go into the Atlantic for
-8 weeks, had reported to me that it had been discovered after
-leaving port that Gauleiter Sauckel had crept aboard. I immediately
-sent a radio message ordering the submarine to turn back and put
-him on the nearest outpost steamer.</p>
-
-<p class='pindent'>DR. SERVATIUS: What was Sauckel’s motive?</p>
-
-<p class='pindent'>DÖNITZ: No doubt a belligerent one. He wanted to go to
-sea again.</p>
-
-<p class='pindent'>DR. SERVATIUS: But he was a Gauleiter. Did he not have particular
-reasons in order to show that he too was ready to fight in
-the war and did not want to remain behind?</p>
-
-<p class='pindent'>DÖNITZ: It surprised me that he, as a Gauleiter, should want
-to go to sea; but, at any rate, I considered that here was a man
-who had his heart in the right place.</p>
-
-<p class='pindent'>DR. SERVATIUS: You believe that his motives were idealistic?</p>
-
-<p class='pindent'>DÖNITZ: Certainly. Nothing much can be got out of a submarine
-trip.</p>
-
-<p class='pindent'>DR. SERVATIUS: I have no further questions.</p>
-
-<p class='pindent'>DR. STEINBAUER: Admiral, do you remember that in your
-capacity as head of the State on 1 May 1945 you ordered the Reich
-Commissioner for the Occupied Netherlands to come to Flensburg
-to report to you?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>DR. STEINBAUER: Do you also remember that on this occasion
-my client asked you to cancel the order originally sent to the
-Commander-in-Chief in the Netherlands to the effect that all locks
-and dykes should be blown up in the event of an attack, and to
-give the order that the mined blasting points be rendered harmless?</p>
-
-<p class='pindent'>DÖNITZ: Yes, he did do that. It was in accordance with my
-own principles, for when I became head of the State I gave the
-order that all destruction in occupied territories, including for instance
-Czechoslovakia, should cease forthwith.</p>
-
-<p class='pindent'>DR. STEINBAUER: At the end of his report, did he ask you for
-permission to return to his station in the Netherlands instead of
-remaining in Germany?</p>
-
-<p class='pindent'>DÖNITZ: Yes, he did so repeatedly. He tried to get back—the
-weather situation was difficult—to the Netherlands by a motor
-torpedo boat.
-<span class='pageno' title='321' id='Page_321'></span></p>
-
-<p class='pindent'>DR. STEINBAUER: Thank you very much.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Defendant, I want you first of
-all to answer some questions on your record after becoming Commander-in-Chief
-of the Navy on 30 January 1943. As Commander-in-Chief
-of the Navy you had the equivalent rank of a Minister of
-the Reich; is that not so?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is correct.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You had also the right to participate
-in meetings of the Reich Cabinet; had any such meetings
-taken place?</p>
-
-<p class='pindent'>DÖNITZ: I was authorized to participate if such a meeting, or
-my participation in such a meeting, was ordered by the Führer.
-That is the wording of the order. But I must say that no meeting
-of the Reich Cabinet took place at the time I was Commander-in-Chief
-from 1943 on.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: From the time that you became
-Commander-in-Chief of the Navy, the government of the Reich
-was in a sense carried on from Hitler’s headquarters; isn’t that so?</p>
-
-<p class='pindent'>DÖNITZ: That is correct.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It was a military dictatorship
-in which the dictator saw those people he wanted at his military
-headquarters; that is right, is it not?</p>
-
-<p class='pindent'>DÖNITZ: One cannot say “military dictatorship.” It was not a
-dictatorship at all. There was a military sector and a civilian sector,
-and both components were united in the hands of the Führer.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. I will take the last part
-of your answer, and we will not argue about the first.</p>
-
-<p class='pindent'>Now, you saw him on 119 days in just over 2 years; do you
-agree to that?</p>
-
-<p class='pindent'>DÖNITZ: Yes. But in that connection it must be stated that
-from 30 January 1943, when I became Commander-in-Chief of the
-Navy, until the end of January 1945—that is, approximately 2 years—the
-number was, I think, 57 times. The larger figure arises from
-the fact that in the last months of the war I took part in the noontime
-conferences on the situation which took place daily in the
-Voss Strasse in Berlin.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I want to ask you about certain
-of these. At a number of these meetings the Defendant Speer was
-present, was he not?</p>
-
-<p class='pindent'>DÖNITZ: I cannot remember that he was present in person at
-the discussions of the military situation. Actually Minister Speer
-<span class='pageno' title='322' id='Page_322'></span>
-as a civilian had nothing to do with a discussion of the military
-situation. But it is possible that he was there on some occasions,
-for instance, when tank production and other matters were discussed
-which were directly connected with the Führer’s military
-considerations.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That was exactly what I was
-going to put to you, that the occasions when the Defendant Speer
-were present were when you were going into matters of supply;
-that is, supply for the various services, including supply for the
-Navy.</p>
-
-<p class='pindent'>DÖNITZ: Supply questions of the Navy were never discussed at
-the large conferences on the military situation. I discussed these
-matters with the Führer alone, as I have already said, usually in
-the presence of Jodl and Keitel. I submitted these matters to the
-Führer after I had come to an understanding with Minister Speer,
-to whom I had delegated all matters of naval armament when I
-became Commander-in-Chief of the Navy. That, in general, was
-the situation.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But, like the head of every
-service, you would have had to learn about priorities and materials
-and labor. You would want to know how labor was going to be
-allocated during the next period, would you not?</p>
-
-<p class='pindent'>DÖNITZ: I tried to bring it about that by a decision of the
-Führer Minister Speer would be given the order to build the largest
-possible number of new U-boats which I had to have at the time.
-But there were limitations as to the quantities to be allotted to
-each branch of the Armed Forces by Speer’s Ministry.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And, therefore, you would be
-very interested in discovering the figure of manpower for labor for
-naval supplies and for the other supplies, to see that you were
-getting your fair share, would you not?</p>
-
-<p class='pindent'>DÖNITZ: I am very sorry, but I cannot give you an answer to
-that. I never knew, and I do not know today, how many workers
-Speer was using for the armament supply for the Navy. I do not
-even know whether Speer can give you the answer, because construction
-of submarines, for instance, was taking place all over the
-German Reich in many industrial plants. Parts were then assembled
-in the shipyards. Therefore I have no idea what the labor capacity
-allotted to the Navy was.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Do you remember describing
-Speer as the man who holds the production of Europe in his hand?
-That was on 17 December 1943. I shall put the document to you in
-a little time. But do you remember describing him as that?
-<span class='pageno' title='323' id='Page_323'></span></p>
-
-<p class='pindent'>DÖNITZ: Yes; I know that quite well.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And don’t you know quite
-well also that Speer was getting his labor from foreign labor
-brought into the Reich?</p>
-
-<p class='pindent'>DÖNITZ: I knew, of course, that there were foreign workers in
-Germany. It is just as self-evident that as Commander-in-Chief of
-the Navy I was not concerned as to how these workers were recruited.
-That was none of my business.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did not Gauleiter Sauckel tell
-you on the occasion of this trip that he had got 5 million foreign
-workers into the Reich, of whom only 200,000 had come voluntarily?</p>
-
-<p class='pindent'>DÖNITZ: I did not have a single conversation with Gauleiter
-Sauckel. I have never had a discussion with anyone about questions
-referring to workers.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, Defendant, you were head
-of a service department in the fifth and sixth years of the war.
-Wasn’t Germany, like every other country, searching around to
-scrape the bottom of the barrel for labor for all its requirements?
-Weren’t you in urgent need of labor, like every other country in
-the war?</p>
-
-<p class='pindent'>DÖNITZ: I, too, think that we needed workers.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Are you telling the Tribunal
-that you did not know after these conferences with Hitler and with
-Speer that you were getting this labor by forcing foreign labor to
-come into the Reich and be used?</p>
-
-<p class='pindent'>DÖNITZ: During my conferences with Hitler and Speer, the
-system of obtaining these workers was never mentioned at all. The
-methods did not interest me at all. During these conferences the
-labor question was not discussed at all. I was interested merely
-in how many submarines I received, that is, how large my allotment
-was in terms of ships built.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You tell the Tribunal you discussed
-that with Speer and he never told you where he was getting
-his labor? Is that your answer on this point?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is my answer, and it is true.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Do you remember, just before
-we passed from the industrial side of it, that at certain meetings the
-representatives for coal and transport, and Gauleiter Kaufmann,
-the Reich Commissioner for Shipping, were present at meetings
-which you had with the Führer?</p>
-
-<p class='pindent'>DÖNITZ: No.
-<span class='pageno' title='324' id='Page_324'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You may take it from me that
-they are listed as being present at these meetings. Were you dealing
-with general problems of shipping and transport?</p>
-
-<p class='pindent'>DÖNITZ: Never. As far as sea transport is concerned—that is
-true. I was thinking of things on land. I thought you meant on
-land. I have already stated that at the end of the war I was keenly
-interested in the tonnage of merchant vessels because this tonnage,
-which I needed in order to carry out military transports from Norway,
-from and to the East, and for refugee transports, was not
-under my jurisdiction but under that of Gauleiter Kaufmann, the
-Reich Commissioner for shipping. So at meetings and discussions
-which dealt with the sea transport situation I was, of course, present.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Let us take another subject of
-these 119 days. On 39 of these days the Defendant Keitel was also
-present at the headquarters and at about the same number, the
-Defendant Jodl.</p>
-
-<p class='pindent'>DÖNITZ: I am sorry; I did not understand the date.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I will put it again. At 39 of
-these meetings between January 1943 and April 1945 the Defendant
-Keitel was present and at about the same number, the Defendant
-Jodl. Now, is it right that you discussed or listened to the discussion,
-in their presence, of the general strategical position?</p>
-
-<p class='pindent'>DÖNITZ: I might say that the word “meeting” does not quite
-describe the matter. It was rather, as I...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well now, you choose the word;
-you give us the word.</p>
-
-<p class='pindent'>DÖNITZ: It was, as I described it, a large-scale discussion of the
-military situation; and at this discussion I heard also, of course,
-reports about the army situation. That I explained before.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I just want to get it quite clear
-that over these 2 years you had every opportunity of understanding
-and appreciating the military strategical position; that is so, isn’t it?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well now, on 20 of these occasions
-the Defendant Göring was present. The Defendant Göring
-has put himself forward in two capacities; as Commander-in-Chief
-of the Luftwaffe and as a politician. What was he doing on these 20
-occasions?</p>
-
-<p class='pindent'>DÖNITZ: Reich Marshal Göring was there as Commander-in-Chief
-of the Air Force when the military situation was discussed.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And so from the Defendant
-Göring you would have a full knowledge and appreciation of the air
-situation and the position of the Luftwaffe during this period?
-<span class='pageno' title='325' id='Page_325'></span></p>
-
-<p class='pindent'>DÖNITZ: Insofar as my occasional presence at these discussions,
-in which only segments were dealt with—an over-all picture was
-never given at such a discussion—insofar as I could form an opinion
-from these segments, which naturally was always fragmentary.
-That was the reason why I have never made statements about
-military matters outside the Navy.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Let me ask you just one further
-question on this point. Following up what Dr. Laternser asked, on
-29 June 1944, apart from Keitel and Jodl and Göring, these defendants,
-Marshal Von Rundstedt and Marshal Rommel were also
-present; and may I remind you that that was 3 weeks after the
-Allies had invaded in the West. You were being given the opportunity,
-were you not, of getting the appreciation of the strategical
-position after the Allied invasion of Normandy, isn’t that so?</p>
-
-<p class='pindent'>DÖNITZ: Yes, from that I gained an impression of the situation
-in Normandy after the enemy had set foot there. I was in a position
-to report to the Führer which of my new small striking devices I
-could put to use in that sector.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, let us change to another
-aspect of the government in general.</p>
-
-<p class='pindent'>On a number of occasions the Reichsführer-SS Himmler was
-present at these conferences—shall I call them—isn’t that so?</p>
-
-<p class='pindent'>DÖNITZ: Yes. If the Reichsführer-SS Himmler was there, and
-as far as I remember that happened once or twice, it was because
-of his Waffen-SS.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You may take it from me that
-he is shown as being there on at least seven occasions, and that
-Fegelein, who was his representative at the Führer’s headquarters,
-is shown as being present on five occasions. What did Himmler
-discuss about the Waffen-SS—the doings of the Totenkopf division?</p>
-
-<p class='pindent'>DÖNITZ: That cannot be right. Fegelein was always present
-during the discussions of the military situation; he never missed,
-because he was a permanent representative. If the Reichsführer
-was present during these discussions, he reported only on the
-Waffen-SS, those divisions of the Waffen-SS which were being used
-somewhere under the Army. I do not know the name of these
-individual divisions. I do not think they included the Totenkopf; I
-never heard they did; there was a Viking or...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That was because they were
-being largely occupied in concentration camps, and you say that
-Himmler never mentioned that?</p>
-
-<p class='pindent'>DÖNITZ: That Totenkopf divisions were used in concentration
-camps I learned here in Nuremberg. It wasn’t mentioned there. I
-<span class='pageno' title='326' id='Page_326'></span>
-have already said that during the military discussions only military
-matters were discussed.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, the Defendant Kaltenbrunner
-is only reported as being present once, on 26 February 1945,
-when there was quite a considerable gathering of SS notabilities.
-What were you discussing with him then?</p>
-
-<p class='pindent'>DÖNITZ: It is not correct that Kaltenbrunner was there only
-once. As far as I remember, he was there two, three, or four times;
-at any rate, during the last months of the war I saw him two, three,
-or four times. Kaltenbrunner never said a word there; as far as I
-remember, he just listened and stood about.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: What I want you to tell the
-Tribunal is: What was the subject of conversation when you had,
-not only the Defendant Kaltenbrunner there, but you had SS Obergruppenführer
-Steiner, your own captain in attendance, and Lieutenant
-General Winter? What were these gentlemen there for, and
-what were you hearing from them?</p>
-
-<p class='pindent'>DÖNITZ: Who is the captain and who is Lieutenant General
-Günther?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Captain Von Assmann; I took
-it he was the captain in attendance on you, though I may have been
-wrong—Kapitän zur See Von Assmann. Then there was Lieutenant
-General Winter, SS Obergruppenführer Steiner, and SS Obergruppenführer
-Kaltenbrunner. What were you discussing on the
-26th of February 1945?</p>
-
-<p class='pindent'>DÖNITZ: I must mention one fact in this connection: Captain
-Von Assmann was present at every discussion of the general situation.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Just a moment. You can tell
-us something afterwards, but first of all listen to my question. What
-were you discussing with these people from the SS on 26 February
-1945?</p>
-
-<p class='pindent'>DÖNITZ: I cannot remember that now. I do remember, however,
-that Steiner received an order in regard to the army groups
-in Pomerania which were to make the push from the north to the
-south in order to relieve Berlin. I think that when Steiner was
-present perhaps this question, which did not concern me, was
-discussed.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now I just want you to think,
-before I leave this point. You have agreed with me that at a number
-of meetings, a large number, there were present Keitel and Jodl,
-at not quite so many Göring, who would give you the army and air
-situation in Germany; there was present the Defendant Speer, who
-would give you the production position; there was present Himmler,
-<span class='pageno' title='327' id='Page_327'></span>
-or his representative Fegelein, who would give you the security
-position; and you yourself were present, who would give the naval
-position. At all meetings there was present the Führer who would
-make the decisions.</p>
-
-<p class='pindent'>I put to you, Defendant, that you were taking as full a part in
-the government of Germany during these years as anyone, apart
-from Adolf Hitler himself.</p>
-
-<p class='pindent'>DÖNITZ: In my opinion that description is not correct. At these
-discussions of the general situation neither Speer nor anybody else
-supplied a complete survey of the work being done. On the contrary,
-only acute questions of the day were discussed. As I have
-said, the happenings of the last 24 hours were discussed, and what
-should be done. That there was a staff there which in its reports
-gave an over-all picture—that was quite out of the question; it was
-not at all like that. The only one who had a complete picture of
-the situation was the Führer. At these discussions of the military
-situation the developments of the last 24 hours and the measures
-to be taken were discussed. These are the facts.</p>
-
-<p class='pindent'>Therefore, one cannot say that any one of the participants had
-an over-all picture. Rather every one had a clear view of his own
-department for which he was responsible. An over-all picture in
-the mind of any of the participants is out of the question. Only the
-Führer had that.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, I won’t argue with you;
-but I suppose, Defendant, that you say—as we have heard from so
-many other defendants—that you knew nothing about the slave-labor
-program, you knew nothing about the extermination of the
-Jews, and you knew nothing about any of the bad conditions in
-concentration camps. I suppose you are going to tell us you knew
-nothing about them at all, are you?</p>
-
-<p class='pindent'>DÖNITZ: That is self-evident, since we have heard here how
-all these things were kept secret; and if one bears in mind the fact
-that everyone in this war was pursuing his own tasks with the
-maximum of energy, then it is no wonder at all. To give an example,
-I learned of the conditions in concentration camps...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I just want your answer for
-the moment, and you have given it to me. I want you to come to
-a point which was well within your own knowledge, and that is the
-order for the shooting of Commandos, which was issued by the
-Führer on 18 October 1942. You have told us that you got it when
-you were Flag Officer of U-boats. Now, do you remember the document
-by which the Naval Operations Staff distributed it? Do you
-remember that it said this:
-<span class='pageno' title='328' id='Page_328'></span></p>
-
-<div class='blockquote'>
-
-<p>“This order must not be distributed in writing by flotilla
-leaders, section commanders, or officers of this rank.</p>
-
-<p>“After verbal notification to subordinate sections the above
-officers must hand this order over to the next higher section,
-which is responsible for its withdrawal and destruction.”</p>
-
-</div>
-
-<p class='pindent'>Do you remember that?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I read that again when I saw the order here.
-But on the other side it says also that this measure had already
-been announced in the Wehrmacht order.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: What I want to know from you
-is: Why was there this tremendous secrecy about this order in the
-naval distribution?</p>
-
-<p class='pindent'>DÖNITZ: I did not understand that question. I do not know
-whether tremendous secrecy was being observed at all. I am of the
-opinion that in 1942 all naval officers had been informed about it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: This is on 28 October, 10 days
-after the order was issued. I am not going to quarrel with you about
-adjectives, Defendant. Let me put it this way: Why did the naval
-distribution require that degree of secrecy?</p>
-
-<p class='pindent'>DÖNITZ: I do not know. I did not make up the distribution
-chart. As an officer at the front I received this order at that time.
-I do not know.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Within 3 months you were Commander-in-Chief
-of the Navy. Did you never make any inquiries
-then?</p>
-
-<p class='pindent'>DÖNITZ: I beg your pardon.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you never make any inquiries?</p>
-
-<p class='pindent'>DÖNITZ: No, I did not. I have told you that I saw this order
-as Commander of U-boats and that as far as my field of activities
-was concerned this order did not concern me in the least and,
-secondly, that men captured during naval engagements were expressly
-excepted; so, as far as that goes, this order at that time had
-no actual, no real significance. In view of the enormous number of
-things that I had to deal with when I became Commander-in-Chief
-of the Navy, it was quite natural that it did not occur to me to take
-up the question of this new order. I did not think of the order at all.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I am going to put to you when
-the time comes a memorandum from the Naval Staff showing that
-it was put before you. Don’t you remember that?</p>
-
-<p class='pindent'>DÖNITZ: If you are referring to the memorandum which is in
-my trial brief, then I can only say that this memorandum was not
-submitted to me, as can be clearly seen from this note.
-<span class='pageno' title='329' id='Page_329'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: What I want to ask you before
-the Tribunal adjourns is: Did you approve of this order or did
-you not?</p>
-
-<p class='pindent'>DÖNITZ: I have already told you, as I...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: No, you haven’t. I want you
-to tell the Tribunal now, and you can answer it either “I approved”
-or “I did not approve.” Did you or did you not approve this order
-to your commanders?</p>
-
-<p class='pindent'>DÖNITZ: Today I do not approve of that order since I have
-learned here that the basis was not so sound...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you agree with it when
-you were Commander-in-Chief of the German Navy at the beginning
-of 1943? Did you approve of it then?</p>
-
-<p class='pindent'>DÖNITZ: As Commander-in-Chief of the Navy I was not concerned
-with this order. While I was Commander of U-boats, as I
-have already explained to you, I considered it simply a reprisal
-order. It was not up to me to start an investigation or to take it
-up with the office which had issued the order to find out whether
-the basis was correct or not. It was not up to me to start an
-investigation on the basis of international law. And it was quite
-clear in Point 1 of the order that here the enemy, the opponent, had
-placed himself outside the bounds of the Geneva Convention, because
-they were murdering prisoners, and that therefore we had to do
-certain things as reprisals. Whether these reprisal measures were
-necessary or whether they were fully justified by the conditions in
-Point 1, that is something I did not and could not know.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: This is the last question. I
-want you to try and answer it with a straight answer if you can. At
-the beginning of 1943 did you or did you not approve of this order?</p>
-
-<p class='pindent'>DÖNITZ: I cannot give you an answer, because at the beginning
-of 1943 I did not think of the order and was not concerned with it.
-Therefore I cannot say how that order affected me at that particular
-time. I can tell you only how it affected me when I read it as Commander
-of U-boats; and I can also tell you that today I reject this
-order, now that I have learned that the basis on which it was issued
-was not so sound. And thirdly, I can tell you that I personally
-rejected any kind of reprisals in naval warfare—every kind, in
-every case, and whatever the proposal.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I will ask some more questions
-about it tomorrow, as the time has come to break off.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 10 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='330' id='Page_330'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-SIXTH DAY</span><br/> Friday, 10 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The Defendant Dönitz resumed the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, I understand there are some supplementary
-applications for witnesses and documents, which would
-probably not take very long to discuss. Is that so?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, I have not actually
-received the final instructions. I can find out in a very short time.
-I will get Major Barrington up. I am told that is so.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal, therefore, proposes to sit in
-open session tomorrow until a quarter to 12 dealing with the Trial
-in the ordinary course and then to take the supplementary applications
-at a quarter to 12 and then to adjourn into closed session.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, we shall be ready
-for them at a quarter to 12 tomorrow.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Defendant, the first document
-that I want you to look at with regard to the Führer Commando
-Order of 18 October 1942 is on Page 65 of the English document
-book and on Page 98 of the German document book. It is Document
-Number C-178, Exhibit USA-544. You will see that that document
-is dated 11 February 1943. That is some 12 days after you took over
-as Commander-in-Chief and you will see from the reference that it
-went to “1.SKL Ii.” That is the international law and prize law
-division of your operations staff, isn’t it—Admiral Eckardt’s division?</p>
-
-<p class='pindent'>DÖNITZ: No. It is addressed to the first section of the Naval
-Operations Staff, that is, the operational section. It originates with
-Eckardt and is sent to the first section, that is, to the section chief.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But I think I am quite right—the
-reference about which I asked you, 1.SKL Ii, that is Admiral
-Eckardt’s department. That is the reference for Admiral Eckardt’s
-international law department?
-<span class='pageno' title='331' id='Page_331'></span></p>
-
-<p class='pindent'>DÖNITZ: No, no, no. It is the department in which Admiral
-Eckardt was also an official. Admiral Eckardt was an official in
-that department.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And the third SKL in the next
-line is the press department as you said, isn’t it?</p>
-
-<p class='pindent'>DÖNITZ: No. The third section of the SKL collected information
-sent in for the Navy and reported on it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I note it was intelligence and
-press. Is that right or not?</p>
-
-<p class='pindent'>DÖNITZ: Yes, it was intelligence and press.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, I just want you to help
-the Tribunal on three points in this document. You remember I
-asked you yesterday about the secrecy standard of the original
-Führer order of 18 October. If you will look at the second paragraph
-you will see that it says:</p>
-
-<div class='blockquote'>
-
-<p>“... was given the protection of top secret merely because it
-is stated therein (1) that ... sabotage organization ... may
-have portentous consequences ... and (2) that the shooting of
-uniformed prisoners acting on military orders must be carried
-out even after they have surrendered voluntarily and asked
-for pardon.”</p>
-
-</div>
-
-<p class='pindent'>Do you see that?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I have read it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You agree that that was one
-of the reasons for giving the order top secrecy?</p>
-
-<p class='pindent'>DÖNITZ: This exchange of notes between Eckardt and the section
-chief was not submitted to me, as is obvious from the initials noted
-in the book...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Is that the reason for you not
-answering my question? Do you agree that that is the reason for
-giving top secrecy to this document?</p>
-
-<p class='pindent'>DÖNITZ: I do not know. I cannot tell you that, because I did
-not issue this Commando Order. It says in the Commando Order,
-on the one hand that these people had killed prisoners. That is the
-way I had read it as Commander, U-boat Fleet; and on the other
-hand...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I shall give you one more opportunity
-of answering my question. You were Commander-in-Chief
-of the German Navy. Do you say that you are not able to answer
-this question: Is the reason stated in Paragraph 2 of this document
-a correct reason for attaching top secrecy to the Führer order of
-<span class='pageno' title='332' id='Page_332'></span>
-18 October? Now you have this final opportunity of answering that
-question. Will you answer it or won’t you?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I will do that. I consider it possible, particularly
-as the legal expert here thinks so. I do not know if it is correct,
-because I did not issue the order. On the other hand, it says in the
-order that these things would not be published in the army orders.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That was the next point. The next
-paragraph says that what is to be published in the army orders is
-the annihilation of sabotage units in battle, not, of course, if they
-are shot—as I would say, murdered—quietly, by the SD after battle.
-I want you to note the next paragraph. The next paragraph raises
-the difficulty as to how many saboteurs were to be considered as a
-sabotage unit and suggests that up to ten would certainly be a
-sabotage unit.</p>
-
-<p class='pindent'>Now, if you look at the last paragraph—I will read it to you
-quite slowly:</p>
-
-<div class='blockquote'>
-
-<p>“It is to be assumed that Counterintelligence III is acquainted
-with the Führer orders and will therefore reply accordingly
-to the objections of the Army General Staff and the Air Force
-Operations Staff. As far as the Navy is concerned, it remains
-to be seen whether or not this case should be used to make
-sure”—note the next words—“after a conference with the
-Commander-in-Chief of the Navy that all departments concerned
-have an entirely clear conception regarding the treatment
-of members of Commando units.”</p>
-
-</div>
-
-<p class='pindent'>Are you telling the Tribunal that after that minute from
-Eckardt’s department, which was to be shown to 1.SKL, your Chief of Staff’s
-department, that you were never consulted upon it?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I do say that, and I will prove by means of a
-witness that there are no initials or distribution list here; and this
-witness will prove quite clearly that I did not receive a report on it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Admiral Wagner was your
-Chief of Staff?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: All right, we will not occupy
-further time.</p>
-
-<p class='pindent'>DÖNITZ: He was not my Chief of Staff; he was chief of this
-section. He was Section Chief 1. SKL, to which this order was
-directed. He knows beyond doubt that no report was made to me.
-The circumstances are perfectly clear.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, I will leave that, if you
-say that you have not seen it; and I will ask you to look at Document
-Number 551-PS.
-<span class='pageno' title='333' id='Page_333'></span></p>
-
-<p class='pindent'>My Lord, I will pass the Tribunal a copy. This is Exhibit
-USA-551, and it was put in by General Taylor on 7 January.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Now, that is a document which is
-dated 26 June 1944; and it deals with the Führer order; and it says
-how it will apply after the landing of the Allied Forces in France;
-and if you will look at the distribution, you will see that Number 4
-is to the OKM, 1. SKL. That is the department on which you were
-good enough to correct me a moment ago. Now, did you—were you
-shown that document, which says that the Führer order is to apply
-to Commando units operating outside the immediate combat area
-in Normandy? Were you shown that document?</p>
-
-<p class='pindent'>DÖNITZ: No, that was not shown to me in any circumstances—and
-quite rightly, as the Navy did not take part in the affair.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You told me yesterday that you
-were concerned with the matter and that you had small boats
-operating in the Normandy operations. That is what you told me
-yesterday afternoon. You have changed your recollections since
-yesterday afternoon?</p>
-
-<p class='pindent'>DÖNITZ: No, not at all. But these one-man submarines were
-floating on water and had nothing to do with Commandos on the
-land front. That is clear from this document, too—I do not know
-if it is the original of the 1. SKL because I cannot see the initial. I
-am convinced, however, that it was not submitted to me, because it
-had nothing to do with the Navy.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. Will you just look at
-Document Number 537-PS, which is dated 30 July 1944.</p>
-
-<p class='pindent'>My Lord, that is Exhibit USA-553, also put in by General Taylor
-on 7 January.</p>
-
-<p class='pindent'>DÖNITZ: Where is it?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: The sergeant major will point
-to the place. That is the document applying the Commando Order
-to “military missions,” and you will see again later that the distribution
-includes OKM, Department SKL. Did you see that order?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I can see it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you see it at the time that
-it was distributed, at the end of July 1944?</p>
-
-<p class='pindent'>DÖNITZ: It is quite certain that this order was not submitted
-to me because again it has nothing to do with the Navy. The Navy
-had nothing to do with fighting partisans.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I want you now just to look
-very quickly, because I do not want to spend too much time on it, at
-Document Number 512-PS.
-<span class='pageno' title='334' id='Page_334'></span></p>
-
-<p class='pindent'>My Lord, that is Exhibit USA-546, which was also put in by
-General Taylor on 7 January.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Now, that is a report dealing with
-the question of whether members of Commandos should not be
-murdered immediately in order that they could be interrogated, and
-the question is whether that is covered by the last sentence of the
-Führer order, and I call your attention to the fact that it refers, with
-regard to interrogations, in the second sentence:</p>
-
-<div class='blockquote'>
-
-<p>“Importance of this measure was proven in the cases of Glomfjord,
-the two-man torpedo at Trondheim, and the glider
-plane at Stavanger.”</p>
-
-</div>
-
-<p class='pindent'>DÖNITZ: I cannot find it at the moment.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It is 512-PS.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, perhaps you ought to read the
-first sentence.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If Your Lordship pleases.</p>
-
-<p class='pindent'>DÖNITZ: This document dates from 1942. At that time I was
-Commander of U-boats from the Atlantic Coast to the Bay of
-Biscay. I do not know this paper at all.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is your answer, but it is
-14 December 1942; and the point is put up which is raised in the
-first sentence which My Lord has just directed be read:</p>
-
-<div class='blockquote'>
-
-<p>“Top secret: According to the last sentence of the Führer
-order of 18 October, individual saboteurs can be spared for
-the time being in order to keep them for interrogation.”</p>
-
-</div>
-
-<p class='pindent'>Then follows the sentence I have read. That was the point that
-was raised, and what I was going to ask you was, did that point
-come up to you when you took over the Commandership-in-Chief
-of the Navy in January 1943? Just look at the last sentence.</p>
-
-<div class='blockquote'>
-
-<p>“The Red Cross and the BDS protested against the immediate
-carrying out of the Führer order...”</p>
-
-</div>
-
-<p class='pindent'>DÖNITZ: I beg your pardon, but I still cannot find where that is.
-I have not yet found the last sentence. Where is it?</p>
-
-<p class='pindent'>THE PRESIDENT: Our translation says “after the immediate
-carrying out....”</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: “After,” My Lord: I am sorry.
-It is my fault. I am greatly obliged to Your Lordship. “Protested
-after the immediate....” I beg Your Lordship’s pardon—I read it
-wrong.</p>
-
-<p class='pindent'>DÖNITZ: That dates from December 1942.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It is only six weeks before you
-took over.
-<span class='pageno' title='335' id='Page_335'></span></p>
-
-<p class='pindent'>DÖNITZ: Yes. I do not know this teleprint. In any case, that is
-probably not Red Cross, but probably Reiko See, Reich Commissioner
-for Shipping—or so I assume. BDS is probably the SS leader
-in Norway.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But the point that I thought
-might have some interest for you was the two-man torpedoes. I
-thought that might have been referred to you as a matter of Navy
-interest. However, if it was not I will come to a document after
-you took over. Give the defendant Document Number 526-PS, on
-10 May 1943.</p>
-
-<p class='pindent'>My Lord, that is USA-502, and was put in by my friend Colonel
-Storey on 2 January.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] You see that that is an account—it
-is from the Defendant Jodl’s department, and it is annotated for
-the Defendant Jodl’s department—about an enemy cutter which
-carried out an operation from the Shetlands, a cutter of the Norwegian
-Navy; and it gives its armament, and it says that it was
-an organization for sabotaging strong points, battery positions, staff
-and troop billets, and bridges and that the Führer order was executed
-by the SD. That was a cutter which was blown up by the Norwegian
-Navy, I suppose after they were attacked, and ten prisoners
-were murdered. Was that brought to your attention?</p>
-
-<p class='pindent'>DÖNITZ: This was shown to me during an interrogation, and I
-was also asked if I had not had a telephone conversation with Field
-Marshal Keitel. It was afterwards found to be the Wehrmacht area
-commander who had contacted the OKW. It was a matter for the
-Army and for the SD, not for the Navy.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If you deny that you ever heard
-about that, will you turn to Page 100 of the document book.</p>
-
-<p class='pindent'>My Lord, it is Page 67 of the British document book.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] And that is a summary, a summary
-of the trial of the SD...</p>
-
-<p class='pindent'>DÖNITZ: Where is it? I cannot find it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Page 100, I have told you. If
-you will look for it, I think you will find it. It is Page 67 of the
-English, if you prefer to follow it in that language.</p>
-
-<p class='pindent'>Now I will explain to you; I think you have read it before
-because you have referred to it. That is a summary by the judge
-advocate at the trial of the SS men of the evidence that was given,
-and I just want to see that you have it in mind.</p>
-
-<p class='pindent'>If you will look at Paragraph 4, you will see that they set out
-from Lerwick, in the Shetlands, on this naval operation for the
-<span class='pageno' title='336' id='Page_336'></span>
-purpose of making torpedo attacks on German shipping off the Norwegian
-coasts and for the purpose of laying mines. Paragraph 5:</p>
-
-<div class='blockquote'>
-
-<p>“The defense did not challenge that each member of the crew
-was wearing uniform at the time of capture; and there was
-abundant evidence from many persons, several of whom were
-German, that they were wearing uniforms at all times after
-their capture.”</p>
-
-</div>
-
-<p class='pindent'>Now, you mentioned this yesterday. You see that in Paragraph 6:</p>
-
-<div class='blockquote'>
-
-<p>“Deponent states that the whole of the crew was captured and
-taken on board a German naval vessel which was under the
-command of Admiral Von Schrader, the Admiral of the West
-Coast. The crew were taken to the Bergenhus; and there they
-were interrogated by Lieutenant H. P. K. W. Fanger, a lieutenant
-of the Naval Reserve, on the orders of Korvettenkapitän
-Egon Drascher, both of the German Naval Counterintelligence;
-and this interrogation was carried out upon the
-orders of the Admiral of the West Coast. Lieutenant Fanger
-reported to the officer in charge of the intelligence branch at
-Bergen that, in his opinion, all members of the crew were
-entitled to be treated as prisoners of war and that officer in
-turn reported both orally and in writing to the Sea Commander,
-Bergen, and in writing to the Admiral of the West
-Coast.”—And that is Admiral Von Schrader.</p>
-
-</div>
-
-<p class='pindent'>Now I want just to read you the one sentence which, in view of
-that, I do not think you will think is taken out of context of the
-evidence given by Lieutenant Fanger at this trial. He was asked:</p>
-
-<div class='blockquote'>
-
-<p>“Have you any idea at all why these people were handed over
-to the SD?”</p>
-
-</div>
-
-<p class='pindent'>In answering that question I want you to tell me who was
-responsible for their being handed over. This was your officers, your
-outfit; that was the general in command of the Norwegian coast,
-Admiral Von Schrader in command of this section, whose people
-captured the crew. That is your own officers. Is it true what you
-told the Court yesterday that the crew were captured by the SD?
-Have you any reason to believe Lieutenant Fanger is not telling
-the truth?</p>
-
-<p class='pindent'>THE PRESIDENT: What is that you were quoting from then?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It is the shorthand notes taken
-on the trial of the SS.</p>
-
-<p class='pindent'>THE PRESIDENT: Has it been admitted?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: No, My Lord, it has not been,
-but it was within Article 19.
-<span class='pageno' title='337' id='Page_337'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I do not know the document
-which has been used. May I have it, please? Shorthand notes
-which I have not seen are being used; and according to the Tribunal’s
-ruling on cross-examinations they must be given to me when the
-witness is heard.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, with great respect, but
-this point arose yesterday when the defendant made certain statements
-with regard to Admiral Von Schrader. I am questioning these
-statements, and the only way I can do it is to use documents which
-I did not otherwise intend to use. I shall, of course, let Dr. Kranzbühler
-see them in due course.</p>
-
-<p class='pindent'>THE PRESIDENT: Have you a copy of the German? That was
-to have been given in German, that evidence.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I have only the English transcript
-and I am willing to let Dr. Kranzbühler see it, but it is all
-I have.</p>
-
-<p class='pindent'>THE PRESIDENT: Have you got any other copy you can hand
-him?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: No, I only was sent one copy.</p>
-
-<p class='pindent'>THE PRESIDENT: After you are through with it, will you please
-hand that copy to Dr. Kranzbühler?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, Sir.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, have you any reason to
-suppose, Defendant, that your officer, Lieutenant Fanger, is not
-telling the truth when he says that these men were captured by
-Admiral Von Schrader?</p>
-
-<p class='pindent'>DÖNITZ: I have no reason to question that statement because
-the whole affair is completely unknown to me. I have already stated
-that the incident was not reported to me nor—as I can prove—to
-the High Command of the Navy; and I told you yesterday that I
-could only assume, in consequence, that these men—here it is, in
-Paragraph 6—were captured on an island, not by the Navy but by a
-detachment of the Police. Consequently Admiral Von Schrader said
-that they were not Navy prisoners but Police prisoners and must be
-handed back to the Police; and for this reason he did not make a
-report.</p>
-
-<p class='pindent'>I assume that that is what happened. I myself cannot furnish the
-full details of this story or explain how it came about, because it
-was not reported to me at the time.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is the point I will get to in
-a moment. It nowhere states in this document that they were
-<span class='pageno' title='338' id='Page_338'></span>
-captured by the Police, and in fact that they were captured by the
-forces under Admiral Von Schrader, who attacked this island to
-which this boat was moored.</p>
-
-<p class='pindent'>DÖNITZ: I do not know about that. The document says that the
-men reached the island—the reason is not clear. That the men were
-brought back from the island afterwards in some sort of boat is
-quite clear; but naturally they might remain Police prisoners if they
-were captured there by the Police or the coast guards. That is the
-only explanation I can think of, in view of Admiral Von Schrader’s
-personality.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I just asked you—your own
-officer, Lieutenant Fanger, says they were captured by Admiral Von
-Schrader’s troops, and you say if Lieutenant Fanger says that you
-have no reason to believe he is not telling the truth, is that right?</p>
-
-<p class='pindent'>DÖNITZ: Yes. My estimate of Von Schrader’s personality caused
-me to assume yesterday that it happened like that. Since I am
-informed today of a Lieutenant Fanger’s statement, things may have
-happened differently for I may be wrong.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Will you look at the end of
-Paragraph 8, the last sentence:</p>
-
-<div class='blockquote'>
-
-<p>“There was an interview between Blomberg of the SS and
-Admiral Von Schrader....”</p>
-
-</div>
-
-<p class='noindent'>And then the last sentence:</p>
-
-<div class='blockquote'>
-
-<p>“Admiral Von Schrader told Blomberg that the crew of this
-torpedo boat were to be handed over in accordance with the
-Führer orders to the SD.”—and then they were handed over.</p>
-
-</div>
-
-<p class='noindent'>And the official of the SD who carried out this interrogation stated
-at the trial:</p>
-
-<div class='blockquote'>
-
-<p>“...that after the interrogation he was of the opinion that the
-members of the crew were entitled to be treated as prisoners
-of war, and that he so informed his superior officer.”</p>
-
-</div>
-
-<p class='pindent'>Despite this report and the representations of a superior officer
-the crew were dealt with under the Führer order and executed, and
-it describes how they were shot and their bodies secretly disposed
-of. Do you say you never heard about that?</p>
-
-<p class='pindent'>DÖNITZ: No. I do say that and I have witnesses to prove it. If
-the SD official thought that these men did not come under that head,
-he would have been obliged to report that to his superiors and his
-superiors would have been obliged to take the appropriate steps.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You say, you already take the
-position that the Navy had interrogated them, the Navy Intelligence
-said they should be treated as prisoners of war, and Admiral Von
-Schrader said they should be handed over to the SS and that the SS
-examined them and said they should be treated as prisoners of war,
-<span class='pageno' title='339' id='Page_339'></span>
-and despite that these men are murdered? And you say you knew
-nothing about it? Did your Kapitän zur See Wildemann say anything
-to you concerning this? W-i-l-d-e-m-a-n-n.</p>
-
-<p class='pindent'>DÖNITZ: I do not know him.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Let me try to bring him to your
-recollection. At this time he was an officer on the staff of Admiral
-Von Schrader and dealt with this matter. Now, Kapitän Wildemann,
-and I suppose we should assume, unless you know anything to the
-contrary, that he is a trustworthy officer, says:</p>
-
-<div class='blockquote'>
-
-<p>“I know that Von Schrader made a written report on this
-action, and I know of no reason why the handing over of the
-prisoners to the SD should not have been reported on.”</p>
-
-</div>
-
-<p class='pindent'>Do you still say you never got any report from Von Schrader?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I still say that I did not receive any report, and
-I am equally convinced that the High Command of the Navy did not
-receive it either. I have a witness to prove that. I do not know
-where the report went. Admiral Von Schrader was not directly
-responsible to the High Command of the Navy; and the report may
-have been sent to the OKW, if this report was made at all. At any
-rate the High Command of the Navy did not receive a report on this
-particular matter, hence my assumption that these men were
-captured on the island in the first place by the Police. Otherwise,
-I think Admiral Von Schrader would have reported it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Before you make any further
-statement, I would like you to have in mind something further that
-Kapitän Wildemann said, which you know probably quite well,
-“After the capitulation Admiral Von Schrader many times said that
-the English would hold him responsible for handing over the
-prisoners to the SD,” and Admiral Von Schrader was under orders
-to proceed to England as a prisoner when he shot himself. Did you
-know Admiral Von Schrader shot himself?</p>
-
-<p class='pindent'>DÖNITZ: I heard it here.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you know he was worried
-about being held responsible for this order?</p>
-
-<p class='pindent'>DÖNITZ: No, I had not the slightest idea of that. I only heard of
-his suicide here.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Are you still telling the Tribunal
-that Admiral Von Schrader made no report to you? Do you
-remember a few days after the capture of this M.T.B. Admiral
-Von Schrader received the Knight’s Cross of the Iron Cross?</p>
-
-<p class='pindent'>DÖNITZ: Yes, but that has no connection with this matter. He
-did not make a report on this matter and he did not go to Berlin for
-his Knight’s Cross either, as far as I remember.
-<span class='pageno' title='340' id='Page_340'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Two other officers, Oberleutnant
-Nelle and Seeoberfähnrich Böhm were decorated; and in the recommendations
-and citations the capture of this M.T.B. was given as the
-reason for this decoration. You say you knew nothing about it?</p>
-
-<p class='pindent'>DÖNITZ: I know nothing about it and I cannot know anything
-about it, because the competent superior officers would have dealt
-with these decorations and not myself. The High Command of the
-Navy did not receive a report on this matter; otherwise it would
-have been passed on to me. I have that much confidence in my High
-Command, and my witness will testify that he did not receive it
-either and that he must have done so if it had gone to the Navy.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My final question, and I leave
-this subject: Admiral Von Schrader was your junior officer, and
-according to you, a very gallant officer. Do you want the Tribunal
-to understand that the responsibility which broke and made Admiral
-Von Schrader commit suicide was his responsibility, that he never
-consulted you and you were taking no responsibility for his acts?
-Is that what you want the Tribunal to understand?</p>
-
-<p class='pindent'>DÖNITZ: Yes. I will swear to that; because if Admiral Von
-Schrader really committed suicide on account of this incident, then
-he did make a mistake because he treated naval personnel, engaged
-in a naval operation, in a wrong manner. If that is correct, he acted
-against orders. In any case, not even the slightest hint of the affair
-reached me.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, will you ask the witness what he
-meant when he said that Von Schrader was not directly under the
-Navy? He was under Admiral Ciliax, wasn’t he, who was on leave
-at this time?</p>
-
-<p class='pindent'>DÖNITZ: I said that he was not directly under the High Command
-of the Navy in Berlin. So if Admiral Von Schrader made any
-report on the affair, the report did not come to me directly but
-went to his immediate superior, who was in Norway.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And that immediate superior
-was Admiral Ciliax who was on leave—but omit the leave for the
-moment; his immediate superior was Admiral Ciliax?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I want to put it perfectly fairly:
-Do you mean that for operations in Norway Admiral Ciliax was
-acting under the commander—correct me if I am wrong—was it
-General Von Falkenhorst? I cannot remember, perhaps you can
-help me. Do you remember that this Admiral was acting under the
-commander-in-chief in Norway so that you will tell the Tribunal...
-<span class='pageno' title='341' id='Page_341'></span></p>
-
-<p class='pindent'>DÖNITZ: Yes, as far as territory was concerned Admiral Ciliax
-was not under the High Command of the Navy but under the Wehrmacht
-Commander for Norway, General Von Falkenhorst; but I can
-only say that if Schrader’s suicide is connected with this affair, then
-the Commando Order was not properly carried out when these men,
-who were naval personnel and had been sent into a naval action,
-were not treated as prisoners of war. If that is what happened—I
-do not know—then a mistake was made locally.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But at any rate you say that
-despite these decorations for this action you as Commander-in-Chief
-of the Navy knew nothing about it at all. That is what you say?</p>
-
-<p class='pindent'>DÖNITZ: I awarded the Knight’s Cross to Admiral Von Schrader
-for entirely different reasons. I awarded it. I knew nothing about
-decorations awarded to the other people you mentioned. It has
-nothing to do with me because their immediate superiors would
-attend to that. Nor do I know whether these awards are really
-connected with the story or if they were given for other reasons.
-I still cannot imagine—and I do not believe—that a man like
-Admiral Von Schrader would treat naval personnel in this way.
-The document does not say that they were killed in a naval action
-but that they were captured on an island. It seems to me peculiar
-that the High Command of the Navy should have received no report
-on it, since orders to that effect had been given, and that the Wehrmacht
-report should make no reference to it in accordance with the
-Commando Order. All these factors are against it. I personally
-am unable to form an opinion as to the affair.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Defendant, I am not going into
-details. You may take it from me that the evidence at the trial has
-been that this cutter was attacked by two naval task forces. If
-Dr. Kranzbühler finds I am wrong I will be happy to admit it. But
-we will pass on to another subject. Time is going.</p>
-
-<p class='pindent'>Would you turn to Page 105 of the document book?</p>
-
-<p class='pindent'>DÖNITZ: Then I can only say that it is a clear violation of
-orders and that the High Command of the Navy was not informed.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I want you to come to this next
-point, 105 in the German, 71 in the English document book. Now
-we needn’t have any trouble about this document because it is
-signed by you. It is a memorandum about the question of more
-labor for shipbuilding; and you are probably very familiar with it.
-But will you look at the first sentence?</p>
-
-<p class='pindent'>DÖNITZ: I beg your pardon, but what page is it?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Page 105, Exhibit GB-211 (Document
-Number C-195), English Page 71.
-<span class='pageno' title='342' id='Page_342'></span></p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, if you would look at the
-first sentence.</p>
-
-<div class='blockquote'>
-
-<p>“Furthermore, I propose reinforcing the shipyard working
-party by prisoners from the concentration camps.”</p>
-
-</div>
-
-<p class='pindent'>I don’t think we need trouble with coppersmiths, but if you will
-look at the end of the document, the very last, you will see Item 2
-of the summing-up reads:</p>
-
-<div class='blockquote'>
-
-<p>“12,000 concentration camp prisoners will be employed in the
-shipyards as additional labor. Security service agrees to this.”</p>
-
-</div>
-
-<p class='pindent'>Now, that is your document, so...</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: So we may take it that you
-were familiar with the fact of the existence of concentration camps?</p>
-
-<p class='pindent'>DÖNITZ: I have never denied it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And I think you went further,
-didn’t you, when asked about this on 28 September? At that time
-you said:</p>
-
-<div class='blockquote'>
-
-<p>“I generally knew that we had concentration camps. That is
-clear.</p>
-
-<p>“Question: ‘From whom did you learn that?’</p>
-
-<p>“Answer: ‘The whole German people knew that.’ ”</p>
-
-</div>
-
-<p class='pindent'>Don’t you remember saying that?</p>
-
-<p class='pindent'>DÖNITZ: Yes. The German people knew that concentration
-camps existed; but they did not know anything about the conditions
-and methods therein.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It must have been rather a surprise
-for you when the Defendant Von Ribbentrop said he only
-heard of two: Oranienburg and Dachau? It was rather a surprise to
-you, was it?</p>
-
-<p class='pindent'>DÖNITZ: No, it was not at all surprising, because I myself only
-knew of Dachau and Oranienburg.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But you say here you knew there
-were concentration camps. Where did you think you were going to
-get your labor from? What camps?</p>
-
-<p class='pindent'>DÖNITZ: From these camps.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you think that all your labor
-was going to be German or that it was going to be partly foreign
-labor?</p>
-
-<p class='pindent'>DÖNITZ: I did not think about that at all. I should like to
-explain now how these demands came to be made.
-<span class='pageno' title='343' id='Page_343'></span></p>
-
-<p class='pindent'>At the end of the war I was given the task of organizing large-scale
-transports in the Baltic Sea. Gradually the necessity arose to
-move the hundreds of thousands of poverty-stricken refugees out of
-the coastal areas of East and West Prussia where they were exposed
-to starvation, epidemics, and bombardment and to bring them to
-Germany. For this reason I made enquiries about merchant shipping,
-which was not actually under my jurisdiction; and in so doing I
-learned that out of eight ships ordered in Denmark, seven had been
-destroyed by saboteurs in the final stage of construction. I called a
-meeting of all the departments connected with those ships and asked
-them, “How can I help you so that we get shipping space and have
-damaged ships repaired more quickly?” I received suggestions from
-various quarters outside the Navy, including a suggestion that repair
-work, <span class='it'>et cetera</span>, might be speeded up by employing prisoners from
-the concentration camps. By way of justification, it was pointed
-out, in view of the excellent food conditions, such employment would
-be very popular. Since I knew nothing about the methods and conditions
-in the concentration camps, I included these proposals in my
-collection as a matter of course, especially as there was no question
-of making conditions worse for them, since they would be given
-better food when working. And I know that if I had done the
-opposite I could have been accused here of refusing these people an
-opportunity of having better food. I had not the slightest reason to
-do this, as I knew nothing about any concentration camp methods
-at the time.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I am sure we are grateful for
-your explanation. But I just want you to tell me, after you had
-proposed that you should get 12,000 people from concentration camps,
-did you get them?</p>
-
-<p class='pindent'>DÖNITZ: I do not know. I did not do anything more about that.
-After the meeting I had a memorandum prepared and submitted to
-the Führer...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Keep to the answer. The answer
-is that you do not know whether you got them or not, assuming
-that you did get them.</p>
-
-<p class='pindent'>DÖNITZ: I did not get them at all. I had nothing to do with
-shipyards and consequently I do not know how those responsible for
-the work in the shipyards received their additional workers. I just
-do not know.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But you held a position of some
-responsibility; if you get 12,000 people from concentration camps
-into the shipbuilding industry, they would have to work alongside
-people who weren’t in concentration camps, would they not?</p>
-
-<p class='pindent'>DÖNITZ: Certainly, yes.
-<span class='pageno' title='344' id='Page_344'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Are you telling this Tribunal
-that when you ask for and you may have got 12,000 people out of
-concentration camps, who work alongside people not in concentration
-camps, that the conditions inside the concentration camps
-remain a secret to the other people and to all the rulers of Germany?</p>
-
-<p class='pindent'>DÖNITZ: First of all, I do not know whether they came. Secondly,
-if they did come, I can very well imagine that they had
-orders not to talk; and thirdly, I do not even know what camps
-they came from and whether they were not people who had already
-been put into other camps on account of the work they accomplished.
-At any rate, I did not worry about the execution or
-methods, <span class='it'>et cetera</span>, because it was none of my business; I acted on
-behalf of the competent non-naval departments which required
-workmen in order to carry out repairs more quickly, so that
-something could be done about repairs for the merchant navy. That
-was my duty, considering the arrangements which I had to make
-for the re-transport of these refugees. I would do exactly the same
-thing again today. That is the position.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well now, just look a little down
-the document to the fourth paragraph, after it says, “Translator’s
-note.” If you will look at the English, the paragraph beginning:
-“Since elsewhere...” Have you found that? This is as you have told
-us, after you express your worry about the sabotage in the Danish
-and Norwegian shipyards. I just want you to look at your proposal
-to deal with saboteurs.</p>
-
-<div class='blockquote'>
-
-<p>“Since elsewhere measures for exacting atonement taken
-against whole working parties among whom sabotage
-occurred have proved successful and, for example, the shipyard
-sabotage in France was completely suppressed, possibly
-similar measures for the Scandinavian countries will come
-under consideration.”</p>
-
-</div>
-
-<p class='pindent'>That is what you were suggesting, Defendant, a collective
-penalty against the whole working party where any sabotage
-occurred; isn’t that so?</p>
-
-<p class='pindent'>DÖNITZ: Yes. May I give an explanation in that connection?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is all right. But otherwise,
-it is so?</p>
-
-<p class='pindent'>DÖNITZ: Agencies outside the Navy connected with shipbuilding
-stated at that meeting that sabotage had been prevented in France
-by the introduction of certain measures for exacting atonement.
-Through an affidavit by an officer who attended the meeting and
-drafted the minutes or the short memorandum, I have now ascertained
-that these measures at that time meant the withholding of
-the additional rations issued by the management of the shipyard.
-<span class='pageno' title='345' id='Page_345'></span>
-That is what that meant. And, secondly, to come to Norway and
-Denmark, I told these people:</p>
-
-<div class='blockquote'>
-
-<p>“It is impossible for us to build ships there with our foreign
-currency and our materials, only to have them smashed up
-by sabotage—and assuredly with the co-operation of the
-shipyard workmen—when they are nearly ready. What can
-we do against that?”</p>
-
-</div>
-
-<p class='noindent'>The answer I received was that the only way was to keep them
-away from saboteurs and to round them up in camps.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: The whole of this explanation
-that you have given us is in this document which is in front of the
-Tribunal. Have you anything to add to what is in the document?</p>
-
-<p class='pindent'>DÖNITZ: Right. I have to add that the workmen were to be
-treated in exactly the same way as our own workmen who were also
-housed in barracks. The Danish and Norwegian workers would not
-have suffered the slightest discomfort.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I want you to look at one more
-sentence:</p>
-
-<div class='blockquote'>
-
-<p>“By the employment of the working parties concerned as concentration
-camp workers, their output would not only be
-increased by 100 percent but the cessation of their previously
-good wages might possibly result in their being considerably
-deterred from sabotage...”</p>
-
-</div>
-
-<p class='pindent'>That fairly represents your view of the way to treat Norwegian
-and Danish workers, does it not?</p>
-
-<p class='pindent'>DÖNITZ: This was a safety measure to allow us to get control of
-the sabotage.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well now, just turn back to
-Page 70 of the English document book, Page 103 in the German
-document book. This is an extract from the minutes of a meeting
-between you and Hitler on 1 July 1944, signed by yourself. Have
-you got it?</p>
-
-<p class='pindent'>DÖNITZ: Not yet.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Page 70 in the English, Page 112
-in the German text (Exhibit Number GB-210).</p>
-
-<p class='pindent'>DÖNITZ: I have got it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: In connection with the general
-strike in Copenhagen, the Führer says:</p>
-
-<div class='blockquote'>
-
-<p>“The only weapon to deal with terror is terror. Court-martial
-proceedings create martyrs. History shows that the names of
-such men are on everybody’s lips whereas there is silence
-with regard to the many thousands who have lost their lives
-in similar circumstances without court-martial proceedings.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='346' id='Page_346'></span></p>
-
-<p class='noindent'>Silence with regard to those who are condemned without trial! Do
-you agree with that statement of Hitler’s?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Then why did you distribute it
-to Operations for circulation if you didn’t approve of it?</p>
-
-<p class='pindent'>DÖNITZ: I do not agree with this procedure, but it expresses an
-idea of the Führer’s. This was not a discussion between the Führer
-and myself; it represents notes on the military situation generally,
-made by the officer who accompanied me, and contains widely
-differing points.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Will you try and answer my
-question? It is a perfectly simple one. It is: Why did you distribute
-that to Operations for circulation? What was there in these few
-lines that was of interest to your officers? What did you think was
-valuable for your officers to know in that dreadful piece of savagery
-that I have just quoted to you?</p>
-
-<p class='pindent'>DÖNITZ: It is very easy to explain that. The officer who made
-the minutes included it in order to inform our shipyard establishments
-that there was a general strike in Copenhagen. That one
-paragraph from the long situation discussions was included so that
-the shipyard establishments would know that there was a strike in
-Copenhagen. That was the whole point.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I am suggesting to you, Defendant,
-that you circulated that to your officers to inculcate ruthlessness
-among them. That is my suggestion. What do you say to that?</p>
-
-<p class='pindent'>DÖNITZ: I say that is entirely wrong. I may tell you also that
-I did not even hear the Führer make that statement, but it is
-possible that it was taken down by the accompanying officer,
-Wagner, for the reason which I have just given you, to warn our
-people of the general strike in Copenhagen.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, Defendant, I am not going
-to argue with you about your knowledge of documents you have
-signed. I have questions which deal with documents you haven’t
-signed, so let’s pass on to the next one.</p>
-
-<p class='pindent'>DÖNITZ: I know the document. I know it because I have
-signed it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Page 69, that is Page 4 in the
-English document book or Page 102 in the German document book
-(Exhibit Number GB-209), the minutes of the conference on 19 February
-1945, between you and Hitler.</p>
-
-<p class='pindent'>DÖNITZ: No, that is not correct.
-<span class='pageno' title='347' id='Page_347'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: No, I beg your pardon. It is
-an extract from the minutes of the Hitler conference on 19 February
-1945; and then there is a note...</p>
-
-<p class='pindent'>DÖNITZ: No. It says here: Participation by the Commander-in-Chief
-of the Navy in situation discussion with the Führer. It was not
-a special conference on the general military situation.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I did not mean to say “special.”
-I said the Hitler conference on the 19th.</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now the first sentence of Paragraph
-1 says:</p>
-
-<div class='blockquote'>
-
-<p>“The Führer is considering whether or not Germany should
-renounce the Geneva Convention.”</p>
-
-</div>
-
-<p class='noindent'>The last sentence:</p>
-
-<div class='blockquote'>
-
-<p>“The Führer orders the Commander-in-Chief of the Navy to
-consider the pros and cons of this step and to state his opinion
-as soon as possible.”</p>
-
-</div>
-
-<p class='pindent'>And if you look down at the next minutes of the conference on
-20 February, which is headed, “Participation of C-in-C Navy at a
-Führer conference on 20 February at 1600 hours,” it reads as follows:</p>
-
-<div class='blockquote'>
-
-<p>“The C-in-C Navy informed the Chief of the Armed Forces
-Operations Staff, Generaloberst Jodl, and the representative
-of the Minister for Foreign Affairs at the Führer’s headquarters,
-Ambassador Hewel, of his views with regard to
-Germany’s possible renunciation of the Geneva Convention.
-From a military standpoint there are no grounds for this step
-as far as the conduct of the war at sea is concerned. On the
-contrary, the disadvantages outweigh the advantages. Even
-from a general standpoint it appears to the Commander-in-Chief
-of the Navy that this measure would bring no advantage.”</p>
-
-</div>
-
-<p class='noindent'>Now look to the last sentence:</p>
-
-<div class='blockquote'>
-
-<p>“It would be better to carry out measures considered necessary
-without warning and at all costs to save face with the world.”</p>
-
-</div>
-
-<p class='pindent'>That means, put in blunt and brutal language, “Don’t denounce
-the convention, but break it whenever it suits you,” doesn’t it?</p>
-
-<p class='pindent'>DÖNITZ: No, that is not true.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: What does it mean? Let’s take
-it word for word. “It would be better to carry out measures considered
-necessary....” Aren’t these measures contrary to the rules of
-the Geneva Convention?</p>
-
-<p class='pindent'>DÖNITZ: I must give an explanation of that.
-<span class='pageno' title='348' id='Page_348'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Answer my question first and
-then make a statement. You have done it before but try to answer
-my question: “These measures considered necessary”—If they don’t
-mean measures contrary to the terms of the Geneva Convention,
-what do they mean? Answer that question first.</p>
-
-<p class='pindent'>DÖNITZ: They are measures against our own troops. I had heard,
-or I was told that the Führer intended, or had said, that because
-the front was yielding in the West and he feared that American
-and British propaganda might induce men to desert, he intended to
-leave the Geneva Convention, so I said to my staff, “How is it
-possible in this connection to contemplate abandoning lock, stock,
-and barrel a system of international law almost a century old?” I
-may have said something like this, “The necessary measures must
-be taken.” There was no thought of concrete measures in that connection
-and no such measures were introduced. My own views on
-the treatment of prisoners of war can best be heard from the 8,000
-British prisoners of war who were in my camps. That is the
-situation regarding this matter. All the chiefs of the Wehrmacht
-branches protested against the idea of renouncing the Geneva Convention.
-They were not in favor of this idea.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Is that your total explanation
-of “to carry out measures considered necessary”? You have nothing
-else to add on that point? Well, I shall pass to another one. Do you
-remember saying to Dr. Kranzbühler yesterday that when you became
-Commander-in-Chief of the Navy the war was purely a defensive
-war? Do you remember saying that to your counsel yesterday?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That was not your fault, was
-it? It was not your fault that it remained limited to the countries
-engaged when you took over? Do you remember your advice to
-Hitler on the meeting of 14 May 1943?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, let me just suggest to you,
-do you remember the discussion about the sea transport for Sicily
-and Sardinia? Do you remember having a discussion on that, and
-do you remember your warning Hitler that your U-boat losses were
-15 to 17 U-boats a month and that the position as to the future of
-the U-boat war looked rather gloomy? Do you remember that?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I do.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And do you remember Hitler
-saying, “These losses are too heavy. This cannot go on.” And did
-you say to Hitler:
-<span class='pageno' title='349' id='Page_349'></span></p>
-
-<div class='blockquote'>
-
-<p>“Now our only small outlet for sorties is the Bay of Biscay,
-and control of this involves great difficulties and already
-takes up ten days. C-in-C Navy sees best strategic solution
-in occupation of Spain, including Gibraltar.”</p>
-
-</div>
-
-<p class='pindent'>And did Hitler remark:</p>
-
-<div class='blockquote'>
-
-<p>“In 1940 this would still have been possible with the co-operation
-of Spain; but now, and against the will of Spain, our
-resources are no longer adequate.”</p>
-
-</div>
-
-<p class='pindent'>Do you remember suggesting that to Hitler on 14 May 1943, and
-Hitler saying his resources were no longer adequate?</p>
-
-<p class='pindent'>DÖNITZ: I do not think that I had proposed to the Führer that
-we should occupy Spain. I described the situation very clearly;
-I said that we were blocked in that small corner of the Bay of Biscay
-and that the situation would be different if there was much more
-room. That, however, does not suggest that, in consideration of the
-defensive situation, we should occupy Spain.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Let us get it clearly, I am
-quoting you now from Admiral Assmann’s headline diary, a verbatim
-translation.</p>
-
-<p class='pindent'>The original is in London, My Lord. I will get the copy and put
-it in and certify it. This point again only arose yesterday and I
-haven’t got it. I will have the original given and I will show
-Dr. Kranzbühler this entry.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] These are the words that Admiral
-Assmann records:</p>
-
-<div class='blockquote'>
-
-<p>“C-in-C Navy continues: ‘Now our only small outlet for
-sorties is the Bay of Biscay, and control of this involves great
-difficulties and already takes up 10 days.’</p>
-
-<p>“C-in-C Navy sees best strategic solution in occupation of
-Spain, including Gibraltar.”</p>
-
-</div>
-
-<p class='pindent'>Did you say that “the best strategic solution lies in the occupation
-of Spain, including Gibraltar”?</p>
-
-<p class='pindent'>DÖNITZ: That is possible. If that is the wording you have got
-there, it is possible that that is the way I said it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, I was going to pass on
-from these general...</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, have you passed altogether from
-C-158 on Page 69?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, I had, but I can easily
-return to it, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, the second sentence in Paragraph 1
-appears to have some bearing upon the answers which the defendant
-has given.
-<span class='pageno' title='350' id='Page_350'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, I am sorry, but I tried
-to cut it as short—to the bare bone—and I am sorry if I omit matters.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Defendant, would you return to the
-last document, C-158. That’s the one about the Geneva Convention;
-it’s Page 69 of the English book; 102 of the German, whichever
-you’re following. The sergeant major will help you to find it.</p>
-
-<p class='pindent'>Now, if you’ll look at the first paragraph, after the sentence I
-read, “The Führer is considering whether or not Germany should
-renounce the Geneva Convention,” it goes on:</p>
-
-<div class='blockquote'>
-
-<p>“Not only the Russians but also the Western Powers are
-violating international law by their actions against the defenseless
-population and the residential districts of the towns.
-It therefore appears expedient to adopt the same course in
-order to show the enemy that we are determined to fight with
-every means for our existence and, also, through this measure
-to urge our people to resist to the utmost.”</p>
-
-</div>
-
-<p class='pindent'>Were not these, that are referred to there as the “same course”—were
-not these the “measures considered necessary” to which you
-were referring in the second minute?</p>
-
-<p class='pindent'>DÖNITZ: The witness who drew up these two records will be
-able to explain exactly where and when this information was given.
-I myself was only told, just as the Reich Marshal testified, that the
-Führer was upset because our Western Front was not holding, and
-men were quite pleased to become American and English prisoners
-of war. That was how the whole thing began; and that was the
-information which I originally received.</p>
-
-<p class='pindent'>I cannot give an opinion on these minutes which were drawn up
-by an officer. The best thing would be for Admiral Wagner to give
-more exact details of these matters. I cannot say more than that
-under oath. I was of the opinion that the renunciation of the Geneva
-Convention was in principle a great mistake and was wrong. I have
-given practical proof of my views on the treatment of prisoners of
-war. Everything else is wrong.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I want to make quite clear the
-point that the Prosecution put against you as this: That you were
-prepared not to denounce the Convention, but you were prepared to
-take action contrary to the Convention and say nothing about it;
-and that’s what I suggested is the effect of the last sentence,
-especially when read with these words in the first paragraph.</p>
-
-<p class='pindent'>My Lord, I am going to pass to the war at sea.</p>
-
-<p class='pindent'>DÖNITZ: I beg your pardon, but may I say one thing more? If
-measures are taken against desertion, they must be made public.
-They must have a deterrent effect; and so it never entered my head
-<span class='pageno' title='351' id='Page_351'></span>
-to keep them secret. On the contrary my only thought was, “How is
-it possible to leave the Geneva Convention at all?” And that is what
-I was expressing.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: The document is clear.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Defendant, did you know that
-on the first day of the war the Navy put up to the Foreign Office
-that the maximum damage to England could only be achieved, with
-the naval forces you had, if U-boats were permitted the unrestricted
-use of arms without warning against Allied and neutral shipping in
-a wide area? From the first day of the war, did you know that the
-Navy put that up to the German Foreign Office?</p>
-
-<p class='pindent'>DÖNITZ: I do not believe that the Naval Operations Staff at the
-time sent me a memorandum of that kind, if it was ever set up,
-which I do not know.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, I want you to try and
-remember because it’s quite important. You say that the naval
-command never informed the Flag Officer of U-boats that that was
-their view of the war?</p>
-
-<p class='pindent'>DÖNITZ: I do not know. I cannot remember that the Naval War
-Staff ever informed me of such a letter to the Foreign Office. I do
-not believe they did; I do not know.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, then, perhaps it would
-assist your memory if you looked at the letter.</p>
-
-<p class='pindent'>My Lord, this is Document Number D-851 and it will become
-Exhibit Number GB-451.</p>
-
-<p class='pindent'>DÖNITZ: No, I do not know this paper.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, I just will take it by stages
-because, of course, you wouldn’t know the first part; but I’ll read
-it to you and then we’ll look at the memorandum together.</p>
-
-<div class='blockquote'>
-
-<p>“Submitted respectfully to the Secretary of State”—that
-would be Baron von Weizsäcker—“with the enclosed memorandum.</p>
-
-<p>“The Chief of the Operational Department of the Naval High
-Command, Captain Fricke, informed me by telephone that the
-Führer was already dealing with this matter. The impression
-had, however, arisen here that the political connections had
-again to be gone into and brought to the Führer’s notice anew.
-<span class='pageno' title='352' id='Page_352'></span>
-Captain Fricke had therefore sent Korvettenkapitän Neubauer
-to the Foreign Office in order to discuss the matter further.”</p>
-
-</div>
-
-<p class='pindent'>That’s signed by Albrecht on 3 September 1939. Then there is
-the memorandum:</p>
-
-<div class='blockquote'>
-
-<p>“The question of an unlimited U-boat war against England is
-discussed in the enclosed data submitted by the Naval High
-Command.</p>
-
-<p>“The Navy has arrived at the conclusion that the maximum
-damage to England, which can be achieved with the forces
-available, can only be attained if the U-boats are permitted
-an unrestricted use of arms without warning against enemy
-and neutral shipping in the prohibited area indicated in the
-enclosed map.</p>
-
-<p>“The Navy does not fail to realize that (a) Germany would
-thereby publicly disregard the agreement of 1936 regarding
-the prosecution of economic warfare, and (b) a military
-operation of this kind could not be justified on the basis of the
-hitherto generally accepted principles of international law.”</p>
-
-</div>
-
-<p class='pindent'>And then it goes on to deal with it.</p>
-
-<p class='pindent'>Are you telling the Tribunal that the Defendant Raeder never
-consulted or informed you before these data were submitted to the
-Foreign Office?</p>
-
-<p class='pindent'>DÖNITZ: No, he did not do so, and that is shown by the fact that
-it is a memorandum from the Chief of the Operations Department
-to the Secretary of State, that is to say, a negotiation between
-Berlin and the Foreign Office; and the front-line commander, whose
-station was on the coast and who, for all practical purposes, was in
-charge of the U-boats, had nothing to do with it.</p>
-
-<p class='pindent'>I do not know this letter.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, are you saying that you
-went on with your activities at the beginning of the war without
-knowing that this was the view of the Naval High Command?</p>
-
-<p class='pindent'>DÖNITZ: I was not informed about this letter. I have said
-already that my knowledge of it...</p>
-
-<p class='pindent'>THE PRESIDENT: That wasn’t an answer to the question. The
-question was whether you knew at the time that this was the view
-of the Naval High Command. Answer the question.</p>
-
-<p class='pindent'>DÖNITZ: No, I did not know that. I knew that the view of the
-Naval High Command was to follow the measures of the enemy step
-by step. I knew that.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But you see, that is the entire
-difference, Defendant. That is what you said at great length in
-giving your evidence the day before yesterday and yesterday, that
-<span class='pageno' title='353' id='Page_353'></span>
-you were answering, step by step, the measures of the enemy. You
-gave that evidence. Do you say that you didn’t know that this was
-the view of the Defendant Raeder, formed on the first day of the
-war? Do you say you didn’t know it at all, you had no inkling that
-that was Raeder’s view?</p>
-
-<p class='pindent'>DÖNITZ: No; I did not know that because I did not know of this
-letter; and I do not know if that is Herr Raeder’s view. I do not
-know.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, again I don’t want to argue
-with you; but if the Commander, the Chief of the Navy—and I
-think at that time he called himself chief of the naval war staff as
-well—allows the chief of his Operational Department to put this
-view forward to the Foreign Office—is it the practice of the German
-Navy to allow post captains to put forward a view like that
-when it is not held by the Commander-in-Chief?</p>
-
-<p class='pindent'>It is ridiculous, isn’t it? No Commander-in-Chief would allow a
-junior officer to put forward that view to the Foreign Office unless
-he held it, would he?</p>
-
-<p class='pindent'>DÖNITZ: Will you please ask the Commander-in-Chief of the
-Navy, Raeder. I cannot give any information as to how this letter
-came to be written.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I will do that with very great
-pleasure, Defendant; but at the moment, you see, I have got to
-question you on the matters that you put forward, and my next
-question is: Was it not in pursuance of the view and desire expressed
-in that memorandum that the U-boat command disregarded from
-the start the London Treaty about warning ships?</p>
-
-<p class='pindent'>DÖNITZ: No, on the contrary, entirely on the contrary. In the
-West we wanted to avoid any further complications, and we endeavored
-as long as possible to fight according to the London Agreement.
-That can be seen from all the directives that the U-boats received.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, ought you perhaps to draw his
-attention to the penultimate paragraph in that memorandum?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, I probably should.
-My Lord, I will read the three, because if you will notice it goes on:</p>
-
-<div class='blockquote'>
-
-<p>“The High Command does not assert that England can be
-beaten by unrestricted U-boat warfare. The cessation of
-traffic with the world trade center of England spells serious
-disruptions of their national economy for the neutrals, for
-which we can offer them no compensation.</p>
-
-<p>“Points of view based on foreign politics would favor using
-military method of unrestricted U-boat warfare only if
-<span class='pageno' title='354' id='Page_354'></span>
-England gives us a justification, by her method of waging
-war, to order this form of warfare as a reprisal.</p>
-
-<p>“It appears necessary, in view of the great importance in the
-field of foreign politics of the decision to be taken, that it
-should be arrived at not only as a result of military considerations,
-but taking into full account the needs of foreign
-politics.”</p>
-
-</div>
-
-<p class='pindent'>I am greatly obliged, Your Lordship.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Did you hear of any qualification of
-this view which was arrived at on considerations of foreign politics?
-Did you hear anything about that?</p>
-
-<p class='pindent'>DÖNITZ: No, I can only repeat that I saw this document here for
-the first time.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. Well now, I would like
-you, just before we go on to the question, to look at Page 19 of the
-English document book, Page 49 of the German.</p>
-
-<p class='pindent'>My Lord, the whole of the treaty, which is very short, is set out
-there. My Lord, I have the formal copy if Your Lordship would
-like to see it, but it is set out in these two paragraphs.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] You see:</p>
-
-<div class='blockquote'>
-
-<p>“1. In action with regard to merchant ships, submarines must
-conform to the rules of international law to which surface
-vessels are subjected.</p>
-
-<p>“2. In particular, except in the case of persistent refusal to
-stop on being duly summoned or of active resistance to visit
-or search, a warship, whether a surface vessel or submarine,
-may not sink or render incapable of navigation a merchant
-vessel without having first placed passengers, crew, and ship’s
-papers in a place of safety. For this purpose the ship’s boats
-are not regarded as a place of safety unless the safety of the
-passengers and crew is assured in the existing sea and
-weather conditions by the proximity of land, or the presence
-of another vessel which is in position to take them on board.”</p>
-
-</div>
-
-<p class='pindent'>I had better remind you of that because I have some questions to
-put to you upon it.</p>
-
-<p class='pindent'>Would you turn over the page and look at the foot of Page 20
-in the English document book—it is either Page 50 or 51 in the
-German document book—where there are some figures set out.</p>
-
-<p class='pindent'>Have you got the page?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I have read it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You read it. You see that it
-says in the two sentences before:
-<span class='pageno' title='355' id='Page_355'></span></p>
-
-<div class='blockquote'>
-
-<p>“In a certain number of early cases the German commander
-allowed the crew of the merchant vessel to get clear; and he
-even made some provision for them before he destroyed the
-vessel. Such destruction was in accordance with Article 72 of
-the Prize Ordinance; and therefore, for the purpose of this
-paper, the Germans have been given the benefit of the doubt
-in such cases.”</p>
-
-</div>
-
-<p class='pindent'>The following are the figures on record. This is for the first year
-of the war:</p>
-
-<div class='blockquote'>
-
-<p>“Ships sunk: 241.</p>
-
-<p>“Recorded attacks: 221.</p>
-
-<p>“Illegal attacks: 112. At least 79 of these 112 ships were
-torpedoed without warning. This does not, of course, include
-convoy ships.”</p>
-
-</div>
-
-<p class='pindent'>I wanted you to be quite clear, Defendant, that it excludes,
-first of all, ships where any measures had been taken for the safety
-of the crew and secondly, it excludes convoy ships.</p>
-
-<p class='pindent'>Now, do you dispute these figures in any way, that there were
-79 attacks without warning in the first year of the war?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I do. These figures cannot be checked. Yesterday
-I stated that in consequence of the use of arms by ships we had to
-take other measures. So I cannot check whether this report, which
-for other reasons looks very like propaganda to me, takes into consideration
-the behavior of the crews and their resistance, <span class='it'>et cetera</span>.
-That is to say, it is impossible for me to check these figures or to say
-on what they are based. At any rate, the German point of view was
-that it was legal considering that the ships were armed and that
-they transmitted intelligence—were part of an intelligence organization—and
-that from now on action would be taken against these
-ships without warning. I have already mentioned the fact that
-England acted in exactly the same way, and so did other nations.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I am going to ask you some
-questions about that, but let’s just take one example. Was any
-warning given before the <span class='it'>Athenia</span> was sunk?</p>
-
-<p class='pindent'>DÖNITZ: No, I have already stated that that was a mistake; the
-<span class='it'>Athenia</span> was taken for an auxiliary cruiser. The sinking of an
-auxiliary cruiser without warning is quite legal. I have also stated
-already that on a thorough examination of the case, I have found
-that the commander should have been more cautious and that is
-why he was punished.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I just want to get your view,
-Defendant. Did it ever occur to you that in the case of a merchant
-ship, if it were sunk without warning, it meant either death or
-<span class='pageno' title='356' id='Page_356'></span>
-terrible suffering to the crew and to these merchant seamen? Did
-that ever occur to you?</p>
-
-<p class='pindent'>DÖNITZ: If merchant ships...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Just answer the question.</p>
-
-<p class='pindent'>DÖNITZ: If a merchant ship acts like a merchant ship, it is
-treated as such. If it does not, then the submarine must proceed to
-attack. That is legal and in accordance with international law. The
-same thing happened to the crews of German merchant ships.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That isn’t what I asked you. I
-wanted to know, because it is important on some of these points:
-Did it ever occur to you, did you ever consider, that you were going
-to cause either death or terrible suffering to the crews of merchant
-ships who were sunk without warning?</p>
-
-<p class='pindent'>Just tell us, did it occur to you or didn’t it?</p>
-
-<p class='pindent'>DÖNITZ: Of course; but if a merchant ship is sunk legally, that
-is just war, and there is suffering in other places, too, during the war.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Do you view with pride of
-achievement the fact that 35,000 British merchant seamen lost their
-lives during the war? Do you view it as a proud achievement or do
-you view it with regret?</p>
-
-<p class='pindent'>DÖNITZ: Men are killed during wars and no one is proud of it.
-That is badly expressed. It is a necessity, the harsh necessity of war.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, now, just look at Page 29
-in the English document book, or Page 58 in the German, whichever
-you care to look at. It is Document Number C-191, Exhibit GB-193.
-This is 22 September, 19 days after the beginning of the war.</p>
-
-<div class='blockquote'>
-
-<p>“Flag Officer, U-boats, intends to give permission to U-boats to
-sink without warning any vessel sailing without lights.</p>
-
-<p>“Previous instructions, permitting attacks on French war and
-merchant ships only as a defensive measure, purely French or
-Anglo-French convoys only north of the latitude of Brest and
-forbidding attacks on all passenger ships, give rise to great
-difficulties to U-boats, especially at night. In practice, there
-is no opportunity for attacking at night, as the U-boat cannot
-identify the target, which is a shadow, in a way that entirely
-obviates mistakes being made. If the political situation is such
-that even possible mistakes must be ruled out, U-boats must
-be forbidden to make any night attacks in waters where
-French and English naval forces or merchant ships may be
-moving. On the other hand, in sea areas where only English
-units are to be expected, the measure desired by the Flag
-Officer, U-boats, can be carried out. Permission to take this
-step is not to be given in writing, but need merely be based
-<span class='pageno' title='357' id='Page_357'></span>
-on the unspoken approval of the Naval Operations Staff.
-U-boat commanders would be informed by word of mouth”—and
-note the last line—“and the sinking of a merchant ship
-must be justified in the War Diary as due to possible confusion
-with a warship or an auxiliary cruiser.”</p>
-
-</div>
-
-<p class='pindent'>Now, just tell me—take your choice—do you consider that sailing
-without lights is either persistent refusal to stop on being duly
-summoned or active resistance to visit and search, within the
-Treaty? Which of either of these things do you consider it to be?</p>
-
-<p class='pindent'>DÖNITZ: If a merchant ship acts like a warship...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: First of all, you must answer my
-question, if the Tribunal does not rule otherwise; and then you can
-give your explanation. My question is this: Do you consider that
-sailing without lights is either persistent refusal to stop or active
-resistance to visit and search? Do you consider it to be either one
-or the other, or both of these things? Do you?</p>
-
-<p class='pindent'>DÖNITZ: The question is not correctly expressed, because we
-are dealing with a certain operational area in which British and
-French...</p>
-
-<p class='pindent'>THE PRESIDENT: Defendant, you will answer the question,
-please.</p>
-
-<p class='pindent'>DÖNITZ: I beg your pardon?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Do you consider that sailing
-without lights is either persistent refusal to stop on being duly
-summoned, which is one of the matters in the Treaty, or active
-resistance to visit and search, which is the other matter set out in
-the Treaty? Now, do you consider that sailing without lights is either
-or both of these matters mentioned in the Treaty?</p>
-
-<p class='pindent'>DÖNITZ: If a merchant ship sails without lights, it must run the
-risk of being taken for a warship, because at night it is not possible
-to distinguish between a merchant ship and a warship. At the time
-the order was issued, it concerned an operational area in which
-blacked-out troop transports were traveling from England to France.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Your answer is that it is not
-covered by the Treaty, but by one of the matters in the Treaty; but
-your explanation was that you thought you were entitled to torpedo
-without warning any ship that might be mistaken for a warship.
-That is your answer, is it?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Why didn’t the Defendant Von
-Ribbentrop and all these naval advisers stipulate for that when
-Germany adhered to this Treaty, if you were going to interpret it
-<span class='pageno' title='358' id='Page_358'></span>
-in that way? Were you ever asked about it before Germany adhered
-to this Treaty in 1936?</p>
-
-<p class='pindent'>DÖNITZ: I was not asked before Germany signed this Treaty;
-Germany adhered to the Treaty in practice, as I know very well,
-until countermeasures were introduced; and then I received orders
-to act accordingly.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Just let us go through this document
-and see if you can help me perhaps a little more on some other
-points. Why was this action to be based on the unspoken approval
-of the naval war staff? Why hadn’t the naval war staff the courage
-to speak its approval in an ordinary order if it was all right?</p>
-
-<p class='pindent'>DÖNITZ: Yes; the paper you are showing me is a note or
-memorandum made by a young official on the Naval Operations
-Staff. In fact—it was the idea of that particular officer on the Naval
-Operations Staff; and as I have pointed out here, I did not know of
-the matter—in actual fact, the Naval Operations Staff never gave
-me such an order. The contents of that paper are fiction.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: No, of course, they weren’t to
-issue an order at all. You see, this states with great frankness that
-you were to act on the unspoken approval of the naval war staff, so
-that the naval war staff could say, as you have said now, “We didn’t
-issue an order;” and the junior officers would be acting on an
-unspoken word, and I want to know—you have been Commander-in-Chief
-of the German Navy—why is it done in this way, why is it
-done by unspoken words, on oral orders?</p>
-
-<p class='pindent'>DÖNITZ: No, precisely that is not correct. That was this young
-officer’s idea. The order which I received from the Naval Operations
-Staff stated explicitly that blacked-out vessels could be sunk in this
-area where English transports were traveling from England to
-France. So, you see, it contained none of the things stated in this
-memorandum. There is no doubt that the section chief and likewise
-the Chief of the Naval Operations Staff refused and rejected that
-entirely impossible idea and gave me that short and explicit order.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Are you suggesting to the Tribunal
-that on these vitally important points—“unspoken approval of
-the war staff, U-boat commanders informed by word of mouth”—that
-a young staff officer is allowed to put in an incorrect memorandum
-and get away with it uncorrected? Is that the way, is that
-the state of efficiency of the staff of the German Navy?</p>
-
-<p class='pindent'>DÖNITZ: No, that is a misunderstanding. It actually has been
-corrected. That is a note submitted by the official on the Naval
-Operations Staff, of which his superiors on the Naval Operations
-Staff did not approve. It was corrected. There was no unspoken
-agreement but an explicit and clear order to myself; so that young
-<span class='pageno' title='359' id='Page_359'></span>
-officer’s idea had already been turned down by the Naval
-Operations Staff itself.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You know that the original is
-initialed by Admiral Von Friedeburg?</p>
-
-<p class='pindent'>DÖNITZ: No, that is quite wrong, that is impossible. “Fd” is
-written there—that means Fresdorf. That was Kapitänleutnant
-Fresdorf. He was an official on the Naval Operations Staff—not
-Friedeburg. He was a young officer in the first department of the
-Naval Operations Staff. These are all things which I learned of here.
-His chief, Admiral Wagner, had condemned it already. It was not
-Friedeburg, but Fresdorf. That is the way this young officer thought
-about it, but actually a definite order was issued without these
-things.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Take the next bit. “The sinking
-of a merchant ship must be justified in the War Diary as due to
-possible confusion with a warship or auxiliary cruiser.” Do you
-agree with faking the records after you have sunk a ship?</p>
-
-<p class='pindent'>DÖNITZ: No, and it was not done. That also belongs to the
-same category—the ideas of that officer. No order for that has ever
-been given. The order of the Naval Operations Staff issued to me
-in that connection has been submitted and that is a clear and
-concise order, without the things mentioned here.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Of course, you appreciate that
-these things, according to this memorandum, are to be stated without
-orders. There has to be no order because an order might come
-out—because if it is done without an order it won’t come out. Are
-you suggesting—you are putting it on the shoulders of this lieutenant
-commander, that he invented these three damning facts: Unspoken
-approval, oral instructions to commanders, and faking the
-orders? You say that these existed only in the mind of a Kapitänleutnant?
-Is that what you are telling the Tribunal?</p>
-
-<p class='pindent'>DÖNITZ: Yes, yes, of course, because the clear, concise order
-was given by the Naval Operations Staff to me in which these things
-were not mentioned. And quite as clearly I passed my orders on.
-That is how it is. This memorandum, or these ideas of that officer,
-was already disapproved by his chief of department in Berlin. A
-clear order was given to me, however, and there was nothing in it
-about a War Diary and all these things mentioned here. That order
-is available.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, we shall be able to ask, I
-understand, Admiral Wagner as to where this Kapitänleutnant got
-hold of these ideas, is that so, or whether he made them out? Is
-that what you are telling us, that Wagner will be able to deal with
-this, will he?
-<span class='pageno' title='360' id='Page_360'></span></p>
-
-<p class='pindent'>DÖNITZ: Admiral Wagner ought to know all about it, because
-this official was in his department in Berlin.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. Well, if you put that
-onto the Kapitänleutnant, let’s pass on to another point. In mid-November...</p>
-
-<p class='pindent'>DÖNITZ: I am not laying any blame on anybody, but they are
-ideas of a young officer which were already disapproved of by his
-chief of department. I am blaming no one. I do not accuse anybody.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. I thought you were.</p>
-
-<p class='pindent'>Well, now, let’s pass to another point. In mid-November of 1939,
-Germany gave warning that she would sink, without warning,
-merchant ships, if armed. Don’t you know that before that
-warning—if you want to see the point you will find it on Page 21
-of the English document book or 51 to 52 of the German document
-book. It is just before the break, about five lines.</p>
-
-<div class='blockquote'>
-
-<p>“By the middle of November, a score of”—that is 20—“British
-merchantmen had already been illegally attacked by
-gunfire or torpedoed from submarines.”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: Which page did you say?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, Page 21, about ten
-lines before the break.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] You see, what I am suggesting, Defendant,
-is that the statement, the warning, that you would sink
-merchant ships, if armed, made no difference to the practice you
-had already adopted of sinking unarmed ships without warning.</p>
-
-<p class='pindent'>DÖNITZ: In the beginning of October, if I remember correctly,
-I received the order or the permission, the legal permission, to sink
-armed merchantmen. From that moment on I acted accordingly.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Just tell me: Was it your view
-that the mere possession of arms, a gun, on the merchant ship,
-constituted active resistance to visit or search within the Treaty;
-or was this a new addition for the guidance of German U-boat
-warfare which you were introducing completely independent of
-the Treaty?</p>
-
-<p class='pindent'>DÖNITZ: It is a matter of course that if a ship has a gun on
-board she will use it. It would have been a one-sided obligation if
-the submarine, in a suicidal way, were then to wait until the other
-ship fired the first shot. That is a reciprocal agreement, and one
-cannot in any circumstances expect the submarine to wait until it
-gets hit first. And, as I said before, in practice the steamers used
-their guns as soon as they came within range.
-<span class='pageno' title='361' id='Page_361'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But you know, the arming of
-merchant ships, Defendant, was well known in the last war. It was
-well known for 20 years before this Treaty was signed. And you
-will agree with me, won’t you, that there is not a word in the
-Treaty forbidding the arming of merchant ships? Why didn’t you
-give these ships the opportunity of abstaining from resistance or of
-stopping? Why did you go in the face of the Treaty which you had
-signed only 3 years before? That is all I want to know. If
-you can’t tell me, if you say it is a matter for argument, I will ask
-Admiral Raeder. At the moment, will you tell us, or can you tell
-us, why didn’t you keep to the Treaty?</p>
-
-<p class='pindent'>DÖNITZ: That was not an infringement of the Treaty. I am
-not an expert on international law. I am soldier; and I acted according
-to my military orders. Of course, it is suicide for a submarine
-to wait till it receives the first hit. It goes without saying
-that the steamer is not carrying guns for fun, but to make use of
-them. And I have already explained what use was made of them.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, now, just one other
-matter, because I must cover these points in view of your evidence.</p>
-
-<p class='pindent'>Did you order your commanders to treat the use of wireless as
-active resistance? Did you consider that the use of wireless for
-merchant ships was active resistance within the Treaty?</p>
-
-<p class='pindent'>DÖNITZ: On 24 September, the Naval Operations Staff’s order...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: No, no, just answer the question
-first, Defendant, and then give your explanation. I said that to you
-quite 20 times yesterday and today. Did you consider the use of
-wireless by merchant ships as active resistance?</p>
-
-<p class='pindent'>DÖNITZ: It is generally laid down by international law that a
-merchant ship can be fired on if it makes use of its wireless when
-stopped. That is also in the French Ordinance, for instance. In
-order to avoid more severe measures we had not, as a rule, done
-so yet. Not until the end of September, when I received a definite
-order or permission to do so, was that rule, which is in accordance
-with international law, put into effect.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Tell me, didn’t the German
-Admiralty know in 1936 that most merchantmen had wireless?</p>
-
-<p class='pindent'>DÖNITZ: Of course, but according to the International Conference
-on International Law—I happen to know this because it
-appeared as a footnote in the Prize Ordinance—according to this
-conference of 1923, they were not allowed to use wireless when
-being stopped. That is international law and is found in all instructions.
-I know for certain that the French instructions say
-this too.
-<span class='pageno' title='362' id='Page_362'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: At any rate again, the German
-Admiralty and the German Foreign Office did not make any
-mention of use of wireless in this Treaty.</p>
-
-<p class='pindent'>What I am suggesting—I want to put it quite clearly to you—is
-that you were not bothering about this Treaty at all in any case
-where it didn’t suit you in the operations in this war.</p>
-
-<p class='pindent'>DÖNITZ: That is not true.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, let’s pass on to neutrals.
-I haven’t heard you suggest that you were dealing with neutrals
-because they were armed, but let’s take a concrete example.</p>
-
-<p class='pindent'>“On 12 November 1939...”</p>
-
-<p class='pindent'>DÖNITZ: I have never said that neutrals were armed.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is what I thought. Well,
-we will rule that out. We will take the example.</p>
-
-<p class='pindent'>My Lord, it is given on Page 20 of the document book, and in the
-middle of the middle paragraph (Exhibit Number GB-191).</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>]</p>
-
-<div class='blockquote'>
-
-<p>“On 12 November, the Norwegian <span class='it'>Arne Kjode</span> was torpedoed
-in the North Sea without warning at all. This was a tanker
-bound from one neutral port to another.”</p>
-
-</div>
-
-<p class='pindent'>Now, Defendant, were you classing tankers bound from one
-neutral port to another as warships; or for what reason was that
-ship torpedoed without warning? The master and four of the crew
-lost their lives. The others were picked up after many hours in an
-open boat. Why were you torpedoing neutral ships without warning?
-This is only the 12th of November in the North Sea, a tanker going
-from one neutral port to another.</p>
-
-<p class='pindent'>DÖNITZ: Well, the submarine commander in this case could not
-see, first of all, that the ship was traveling from one neutral port
-to the other, but this ship...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Therefore...</p>
-
-<p class='pindent'>DÖNITZ: No, not for that reason; no. But that ship was heading
-for England, and he confused it with an English ship. That is why
-he torpedoed it. I know of that case.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You approve of that action by
-the submarine commander?</p>
-
-<p class='pindent'>DÖNITZ: No; that is an assertion made by yourself and it is in
-practice refuted by our clean submarine warfare and by the fact
-that it was done by mistake.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: When in doubt, torpedo...</p>
-
-<p class='pindent'>DÖNITZ: That is one of the cases...
-<span class='pageno' title='363' id='Page_363'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Don’t you approve of that:
-when in doubt, torpedo without warning? Is that your view?</p>
-
-<p class='pindent'>DÖNITZ: No, no; that is merely what you assert. If one or two
-instances of mistakes are found in the course of 5½ years of clean
-submarine warfare, it proves nothing; but it does contradict your
-assertion.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes. Well, now, let’s look at
-your clean U-boat warfare, if you want. Will you turn to Page 30
-of the English book or Page 59 to 60 of the German book.</p>
-
-<p class='pindent'>Now, the first of these—this is the note on the intensification of
-U-boat warfare. You say that on the directive of the Armed Forces
-High Command of 30 December—this is on the 1st of January 1940:</p>
-
-<div class='blockquote'>
-
-<p>“...the Führer, on report by the C-in-C Navy”—that is
-the Defendant Raeder—“has decided: (a) Greek merchant
-vessels are to be treated as enemy vessels in the zone around
-Britain declared barred by the U.S.A.”</p>
-
-</div>
-
-<p class='pindent'>There is a mistake, My Lord, in the translation. You see it says
-“blockaded by the U.S.A. and Britain.” The proper translation should
-be “in the zone around Britain declared barred by the U.S.A.”</p>
-
-<p class='pindent'>Now, Defendant, I don’t want to make any bad point, at any rate
-intentionally. Were you including Greek ships because you believed
-that most of the Greek merchant navy was on British charter, was
-being chartered by Britain? Was that the reason?</p>
-
-<p class='pindent'>DÖNITZ: Yes. That was probably why the Naval Operations
-Staff gave the order, because of the Greek fleet sailing in England’s
-service. I assumed that those were the reasons of the Naval
-Operations Staff.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Assumed that was the reason.
-I do not want to occupy time on the point. What I want to know is
-this: Did that mean that any Greek ship in these waters would be
-sunk without warning?</p>
-
-<p class='pindent'>DÖNITZ: Yes. It says here that they were to be treated like
-enemy ships.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: In sum, then, that means that a
-Greek merchantman from then on would be sunk without warning if
-it came into the zone around the British coast.</p>
-
-<p class='pindent'>Now, you mentioned the Bristol Channel, and you have given
-your explanation of the next sentence. You say all ships may be
-attacked without warning. For external consumption, these attacks
-should be given out as hits by mines.</p>
-
-<p class='pindent'>I just want to get it clear from you. You are not suggesting that
-the reason of the Naval High Command was to conceal the maze of
-<span class='pageno' title='364' id='Page_364'></span>
-operations of the U-boats; the reason was to avoid trouble with
-neutrals whose good will you wanted to keep, was it not?</p>
-
-<p class='pindent'>DÖNITZ: I already stated my position on that yesterday. These
-are matters connected with the political leadership and I know
-nothing about them. I myself, as Commander of U-boats, looked at
-them only from the angle of military advantage or expediency, just
-as England did in similar cases. What the political reasons may have
-been, I cannot say.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is my whole suggestion to
-you, you know, Defendant, that you were acting on the military
-necessity stated in that memorandum of the Naval Command that
-the maximum damage to England could only be achieved with
-unrestricted use of arms without warning. But let us just look at
-the next one now.</p>
-
-<p class='pindent'>DÖNITZ: There were certain areas which neutrals had been
-warned not to cross. I stated yesterday that the same procedure was
-followed in English operational areas. If a neutral in spite of these
-warnings entered those areas, where military actions were constantly
-being carried on by one side or the other, it had to run the risk of
-suffering damage. Those are the reasons which induced the Naval
-Operations Staff to issue these orders.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: As you mentioned that, I shall
-deal first with your areas. Your zone, which is published, was from
-the Faroes to Bordeaux and 500 miles west of Ireland. That is, your
-zone was 750,000 square miles; isn’t that right? Your zone around
-Britain was from the Faroes to Bordeaux, and 500 miles west of
-Ireland?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is the operational area of August 1940.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, of August 1940.</p>
-
-<p class='pindent'>DÖNITZ: And it is in accord in extent with the so-called combat
-zone which America forbade her merchant ships to enter.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You say it is in accord. Let us
-just look at it and see what the two things were. The United States
-at that time said that its merchant ships were not to come into that
-zone. You said that if any merchant ship came into that zone,
-750,000 square miles in extent, none of the laws and usages of war
-applied, and that ship could be destroyed by any means you chose.</p>
-
-<p class='pindent'>That was your view, was it not?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is the German point of view in international
-law, which was also applied by other nations, that operational areas
-around the enemy are admissible. I may repeat that I am not a
-specialist in international law but a soldier, and I judge according
-to common sense. It seems to me a matter of course that an ocean
-<span class='pageno' title='365' id='Page_365'></span>
-area, or an ocean zone, around England could not be left in the
-undisturbed possession of the enemy.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I do not think you are disputing
-it at all; but I want to get it quite clear. It was your view that it
-was right that if you fixed an operational zone of that extent, any
-neutral ship—and you agree that it is a neutral ship—coming
-unarmed into that zone could be destroyed by any means that you
-cared to use? That was your view of the way to conduct a war at
-sea; that is right, is it not?</p>
-
-<p class='pindent'>DÖNITZ: Yes; and there are plenty of British statements which
-declare that in wartime—and we were at war with England—one
-cannot permit neutrals to enter and give aid to the belligerents,
-especially if they had previously been warned against doing so. That
-is quite in accordance with international law.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: We will discuss the matter of
-law with the Tribunal. I want to get at the facts.</p>
-
-<p class='pindent'>That is the position which you adopt? And equally, if you found
-a neutral vessel outside the zone using its wireless, you would treat
-it as if it were a ship of war of a belligerent power, would you not?
-If a neutral vessel used its wireless after seeing the submarine, you
-would treat it as a ship of war of a belligerent power, would you not?</p>
-
-<p class='pindent'>DÖNITZ: Yes, according to the regulations of international law.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. As I say, the matters of
-law rest with the Tribunal. I am not going to argue these with you.
-But, apart altogether from international law, did it ever strike you
-that that method of treating neutral ships was completely disregarding
-the life and safety of the people on the ships? Did that
-ever strike you?</p>
-
-<p class='pindent'>DÖNITZ: I have already said that the neutrals had been warned
-not to cross the combat zones. If they entered the combat zones,
-they had to run the risk of suffering damage, or else stay away. That
-is what war is. For instance, no consideration would be shown on
-land either to a neutral truck convoy bringing ammunition or supplies
-to the enemy. It would be fired on in exactly the same way as an
-enemy transport. It is, therefore, quite admissible to turn the seas
-around the enemy’s country into a combat area. That is the position
-as I know it in international law, although I am only a soldier.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see.</p>
-
-<p class='pindent'>DÖNITZ: Strict neutrality would require the avoidance of
-combat areas. Whoever enters a combat area must take the consequences.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. That is your view? I do
-not think it could possibly be put more fairly.
-<span class='pageno' title='366' id='Page_366'></span></p>
-
-<p class='pindent'>DÖNITZ: And for that reason the United States explicitly prohibited
-entry into these zones in November, because it refused to
-enter the combat zone.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: In your view, any neutral ship
-which entered a zone of 750,000 square miles around Britain was
-committing an un-neutral act and was liable to be sunk without
-warning at sight. That is your view of how war at sea should be
-conducted; that is right, is it not?</p>
-
-<p class='pindent'>DÖNITZ: Yes. Special lanes were left open for the neutrals.
-They did not have to enter the combat area unless they were going
-to England. Then they had to run the risk of war.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I just want you to tell me, if
-you will look back to Document C-21; that is, on Page 30 of the
-English book and Pages 59 to 60 of the German, you see that in all
-these cases—you take the one in Paragraph 2, Page 5:</p>
-
-<div class='blockquote'>
-
-<p>“Conference with the Chief of Naval Operations Staff”—on
-2 January; that was the “intensified measures” in connection
-with the “Case Yellow,” that is, the invasion of Holland and
-Belgium—“the sinking by U-boats... without any warning, of
-all ships in those waters near the enemy coasts in which
-mines can be employed.”</p>
-
-</div>
-
-<p class='pindent'>Why, if, as you have just told the Tribunal several times, you
-were acting in accordance with what you believe to be international
-law, why did you so act only in areas where mines could be
-employed?</p>
-
-<p class='pindent'>DÖNITZ: I have already explained that that was a question not
-of legality but of military expediency. For military reasons I cannot
-give the enemy explicit information as to the means of combat I am
-using in an area which may be mined. You operated in the same
-way. I remind you of the French danger zone which was declared,
-corresponding to the mined areas around Italy. You did not state
-which weapons you were using, either. That has nothing to do with
-legality. That is purely a question of military expediency.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You see, I think you will appreciate
-that the point that I am putting to you is this: That you were
-pretending to neutrals that you were acting in accordance with the
-London Treaty, whereas you were actually acting not in accordance
-with the Treaty, but in accordance with instructions you laid down
-for yourself, based on military necessity.</p>
-
-<p class='pindent'>What I am suggesting to you is that what the Naval High Command
-was doing was pretending to, and getting the advantage
-fraudulently of appearing to, comply with the Treaty. And that, I
-suggest, is the purpose of these orders that you would only do this
-where mines could be laid. Isn’t that what was in your mind?
-<span class='pageno' title='367' id='Page_367'></span></p>
-
-<p class='pindent'>DÖNITZ: It is not true that we tried to fool the neutrals. We
-warned the neutrals explicitly that combat actions were going on
-in these operational areas and that if they entered they would
-suffer damage. We pretended nothing; we told them explicitly: “Do
-not enter these zones.” England did the same.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, doesn’t the next sentence bear
-upon that?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, Your Lordship; I am very
-much obliged to Your Lordship.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Would you look at the next sentence
-in II-1, where it says the following?</p>
-
-<div class='blockquote'>
-
-<p>“By the present order, the Navy will be authorized, in keeping
-with the general intensification of the war, to sink by U-boats,
-without any warning, all ships in those waters near the
-enemy coasts in which mines can be employed. In this case,
-for external consumption, pretense should be made that mines
-are being used. The behavior of, and use of weapons by,
-U-boats should take this into consideration.”</p>
-
-</div>
-
-<p class='pindent'>Do you say, in the face of that sentence, that you were not trying
-to fool the neutrals—to use your own phrase? Do you still say you
-were not trying to fool the neutrals?</p>
-
-<p class='pindent'>DÖNITZ: No, we did not fool them because we warned them
-beforehand. In wartime I do not have to say what weapon I intend
-to use; I may very well camouflage my weapon. But the neutrals
-were not fooled. On the contrary, they were told, “Do not enter
-these zones.” After that, the question of which particular military
-method I use in these areas no longer concerns the neutrals.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now I want you to tell the Tribunal,
-what was your view of your responsibility to the seamen
-from boats that were sunk? Would you have in mind the provisions
-of the London Treaty, and will you agree that your responsibility
-was to save seamen from boats that were sunk wherever you could
-do so without imperiling your ship? Is that, broadly, correct?</p>
-
-<p class='pindent'>DÖNITZ: Of course, if the ship herself behaved according to the
-London Agreement, or unless it occurred within the operational
-areas mentioned.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Oh? Do you really mean that?
-That is, if you sank a neutral ship which had come into that zone,
-you considered that you were absolved from any of your duties
-under the London Agreement to look after the safety of the crews?</p>
-
-<p class='pindent'>DÖNITZ: In operational areas I am obliged to take care of the
-survivors after the engagement, if the military situation permits.
-The same held good in the Baltic and in many operational areas.
-<span class='pageno' title='368' id='Page_368'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is what I put to you,
-Defendant. Please believe me, I don’t want to make any false point.
-I put to you: If they could do so without imperiling their ships, that
-is, without risking losing their ships. Let us get it quite clear: Do
-you say that in the zone which you fixed there was no duty to
-provide for the safety of the crew, that you accepted no duty to
-provide for the safety of the crew?</p>
-
-<p class='pindent'>DÖNITZ: I have stated that I was obliged to take care of the
-survivors after the engagement, if the military situation permitted.
-That forms part of the Geneva Convention or the agreement on its
-application.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Then it didn’t matter whether
-the sinking was in the zone or out of the zone. According to what
-you say, you undertook exactly the same duty towards survivors
-whether it was in the zone or outside the zone. Is that right?</p>
-
-<p class='pindent'>DÖNITZ: No, that is not correct, because outside the zone neutrals
-were treated according to the Prize Ordinance, only inside the
-zone they were not.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: What I can’t understand is
-this—and really, I hope I am not being very stupid—what was the
-difference? What difference did you consider existed in your responsibility
-towards survivors if the sinking was inside the zone or
-outside the zone? That is what I want to get clear.</p>
-
-<p class='pindent'>DÖNITZ: The difference was that neutrals outside the zone were
-treated according to the Prize Ordinance. According to the London
-Agreement, we were obliged, before sinking the ship, to see that
-the crew were safe and within reach of land. There was no obligation
-to do so inside the zone. In that case we acted according to the
-Hague Agreement for the application of the Geneva Convention,
-which provides that the survivors should be taken care of after the
-fight if the military situation permits.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Will you agree that an order in
-express terms to annihilate, to kill, the survivors of a ship that is
-sunk would be an appalling order to give?</p>
-
-<p class='pindent'>DÖNITZ: I have already stated that the attacks on survivors
-were contrary to a soldier’s idea of fair fighting and that I have
-never put my name to any order which could in the slightest degree
-lead to anything of the kind—not even when it was proposed to me
-as a reprisal measure.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Will you agree that even with
-the discipline in your own branch of the service, there was a
-possibility that some U-boat commanders would have refused to
-comply with an order to annihilate survivors?
-<span class='pageno' title='369' id='Page_369'></span></p>
-
-<p class='pindent'>DÖNITZ: No such order was ever given.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I think it is quite a fair question.
-What if it were given in express terms, “Annihilate survivors after
-you sink a ship”? You know your officers. Would there, at any rate,
-have been some danger that some of them would have refused to
-carry out that order?</p>
-
-<p class='pindent'>DÖNITZ: Yes. As I know my U-boat forces, there would have
-been a storm of indignation against such an order. The clean and
-honest idealism of these would never have allowed them to do it;
-and I would never have given such an order or permitted it to be
-given.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, that is what I put to you.</p>
-
-<p class='pindent'>Now, just look at Page 33 of the English document book. That
-contains your own Standing Order Number 154 (Exhibit Number
-GB-196). Let me read it to you, rather slowly, if the Tribunal does
-not mind. It says:</p>
-
-<div class='blockquote'>
-
-<p>“Do not pick up survivors and take them with you; do not
-worry about the merchant ship’s boats; weather conditions
-and distance from land play no part. Have a care only for
-your own ship and strive only to attain your next success as
-soon as possible. We must be harsh in this war.”</p>
-
-</div>
-
-<p class='pindent'>First of all, tell me, what do you mean by “your next success”?
-Doesn’t that mean the next attack on a vessel?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, just look at that order of
-yours and compare it with the words of the London Treaty. The
-Treaty, you remember, says that a warship, including a submarine,
-may not sink or render incapable of navigation a merchant vessel
-without first having placed passengers, crew, and ship’s papers in a
-place of safety. For this purpose, the ship’s boats are not regarded
-as a place of safety unless the safety of the passengers and crew is
-assured in the existing sea and weather conditions, by the proximity
-of land or the presence of another vessel.</p>
-
-<p class='pindent'>Defendant, you had that article of the London Treaty in front of
-you, had you not, when you were drafting this order? And you were
-deliberately excluding from your order the matters mentioned in
-the London Treaty? Listen to your order: “Do not worry about the
-boats; weather conditions”—one thing mentioned in the Treaty—“and
-distance from land”—another thing mentioned in the Treaty—“play
-no part.”</p>
-
-<p class='pindent'>Your order could have been put in other language almost as
-clearly: “Disregard all the matters that are stated in Paragraph 2
-of the London Treaty.”
-<span class='pageno' title='370' id='Page_370'></span></p>
-
-<p class='pindent'>Now tell me, didn’t you have the London Treaty in front of you
-when you drew that order?</p>
-
-<p class='pindent'>DÖNITZ: Of course I had the London Treaty in my mind and in
-front of me. I stated in detail yesterday, however, that we were
-thinking in terms of an engagement, a ship under escort, as is shown
-by the order as a whole. You have taken just one paragraph. There
-was, therefore, no question of applying the London Agreement,
-which does not refer to ships under escort.</p>
-
-<p class='pindent'>Secondly, we were thinking of an area in the immediate vicinity
-of the permanent positions, enemy defenses off the harbors on the
-British coast. The London Agreement has nothing to do with
-fighting ships under escort. Those are two entirely different things;
-and that order applied to this area and the combating of ships
-under escort. I explained that in detail yesterday.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But if you say that that only
-applied when it was a question of attacking ships in convoy, would
-you look at Page 26 of the English document book and at Page 57
-of the German document book? There you will find the account of
-the sinking of the <span class='it'>Sheaf Mead</span> on 27 May 1940. And if you will
-look at the U-boat’s log, opposite the time group 1648 hours—which
-is on Page 27 of the English and Page 57 of the German (Exhibit
-Number GB-192)—this is what the log says:</p>
-
-<div class='blockquote'>
-
-<p>“A large heap of wreckage floats up. We approach it to
-identify the name. The crew have saved themselves on
-wreckage and capsized boats. We fish out a buoy; no name on
-it. I ask a man on the raft. He says, hardly turning his head
-‘Nixname.’ A young boy in the water calls, ‘Help, help,
-please.’ The others are very composed; they look damp and
-somewhat tired and have a look of cold hatred on their faces.
-Then on to the old course.”</p>
-
-</div>
-
-<p class='pindent'>If you turn to Page 57 of the German document book, or Page 28
-of the English, you will find the last sentence from the survivors’
-report describes the submarine as doing this:</p>
-
-<div class='blockquote'>
-
-<p>“They cruised around for half an hour, taking photographs of
-us in the water. Otherwise they just watched us but said
-nothing. Then she submerged and went off without offering
-us any assistance whatever.”</p>
-
-</div>
-
-<p class='pindent'>There you see the point, Defendant, that your own commander
-says that there was a young boy in the water calling, “Help, help,
-please,” and your submarine takes a few photographs, submerges,
-and then goes off.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, ought you not to refer to the
-passage just after the name of the vessel, under 1648, “It is not
-clear....”?
-<span class='pageno' title='371' id='Page_371'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: “It is not clear whether she was
-sailing as a normal merchant ship. The following seemed to point to
-the contrary.”</p>
-
-<p class='pindent'>And then, My Lord, it gives a number of matters.</p>
-
-<p class='pindent'>Of course, My Lord, I am on the point of survivors at the
-moment. I am not taking this instance as a matter of wrongful
-sinking; I am taking it as an instance of carrying out this order.</p>
-
-<p class='pindent'>I am very much obliged to Your Lordship, but that is why I
-didn’t do it.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn now.</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='372' id='Page_372'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Defendant has now had the
-opportunity of looking at the log of <span class='it'>U-37</span>. Was it not your practice
-in May 1940 to see personally the logs of all U-boats when they
-arrived?</p>
-
-<p class='pindent'>DÖNITZ: I had the commanders of submarines report verbally
-to me every time. The logs, which arrived or were finished several
-weeks later or some time after the entries were made since they
-had to be written in the port, were only submitted to me by my
-Chief of Staff if they contained something special in addition to the
-verbal report.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you remember seeing the
-log of <span class='it'>U-37</span> that was involved in this incident?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Do you now observe that the
-<span class='it'>Sheaf Mead</span> was not sailing in convoy?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I know that. And I know that she was an armed
-ship and that, according to the orders which the commander had,
-he was justified in sinking her as an armed ship. It also appears
-from his log that he could not decide on firing the torpedo until
-he had ascertained that the ship was armed. That is very clearly
-expressed here.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: May I please explain to His
-Lordship that I am not on the question of sinking. I am on the
-question of survivors. Did you take any action with the U-boat
-commander, Kapitänleutnant Ernst, for not having assisted in the
-rescue of survivors?</p>
-
-<p class='pindent'>DÖNITZ: No. But I did tell him that if he was on the spot
-where this rescue went on he should also have helped.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Was he not simply carrying out
-your Order 154 of November or December 1939?</p>
-
-<p class='pindent'>DÖNITZ: No, he was not.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, now...</p>
-
-<p class='pindent'>DÖNITZ: I have already stated to which waters it applied and
-that it only applied to ships which were protected.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, now, would you look at
-Page 34 in the English document book, Page 69 in the German
-document book. That is the report of the conversation between
-Hitler and Oshima, and you say that you were told nothing about
-it. Now I want you just to follow about halfway down, halfway
-through the extract, where it says:
-<span class='pageno' title='373' id='Page_373'></span></p>
-
-<div class='blockquote'>
-
-<p>“After having given further explanations on the map, the
-Führer pointed out that however many ships the United
-States built, one of its main problems would be the lack of
-personnel. For that reason merchant ships would be sunk
-without warning, with the intention of killing as many of the
-crew as possible. Once it gets around that most of the seamen
-are lost in the sinkings, the Americans would soon have difficulties
-in enlisting new people. The training of seagoing personnel
-takes a long time.”</p>
-
-</div>
-
-<p class='pindent'>Now, did you agree with that argument of Hitler’s that once it
-gets around that most of the seamen are lost in the sinkings, the
-Americans would soon have difficulties in enlisting new people?
-Did you think that that was a sound argument on the question of
-sea warfare against the United States?</p>
-
-<p class='pindent'>DÖNITZ: I have already given my answer to that question in
-writing to the Foreign Office, and I clearly stated my opinion, which
-was that I did not believe that it would take a long time to train
-seamen, and that America had no lack of them. Consequently I
-would also not be of the opinion that this would serve as a deterrent
-if they had enough men.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: So you do not agree with the
-Führer’s reasoning on that point?</p>
-
-<p class='pindent'>DÖNITZ: No, I do not agree with the last part, namely, that
-there would be a shortage of seamen.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: No, it is the first point that I
-want your opinion on expressly: “Once it gets around that most of
-the seamen are lost in the sinkings, the Americans would soon have
-difficulties in enlisting new people.” That is, I suggest to you, that
-the new people would be scared off by the news of the sinking and
-killing of the first people. Did you agree that that was a sound
-argument? That is what I want your view on.</p>
-
-<p class='pindent'>DÖNITZ: That is his personal point of view. Whether they
-would be scared off or not is an American matter which I cannot
-judge.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Would you look at your own
-document book, Volume I, Page 29 in the English version, which is
-your report to the Führer on 14 May 1942. Do you see the last sentence
-where you are advocating a range pistol? You say:</p>
-
-<div class='blockquote'>
-
-<p>“A range pistol will also have the great advantage that the
-crew will not be able to rescue themselves on account of the
-quick sinking of the torpedoed ship. This greater loss of crews
-will no doubt cause difficulties for the assignment of crews
-for the great American construction program.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='374' id='Page_374'></span></p>
-
-<p class='pindent'>DÖNITZ: It is perfectly clear, it is correct. If I have not got the
-old crews any more, I have to have new ones. It makes it more
-difficult. It says nothing about scaring off there, but the positive
-fact is stated that new crews have to be trained.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: So are we to take it that you
-did not think that would have any frightening or terrorizing effect
-on the getting of new crews, if the old crews were sunk under conditions
-where they would probably lose their lives.</p>
-
-<p class='pindent'>DÖNITZ: That is a matter of opinion, it depends on the courage,
-the bravery of the people. The American Secretary Knox said that
-if in peacetime—in 1941—the sinkings of German U-boats were
-not published he expected it would have a deterrent effect on my
-U-boats. That was his opinion. I can only say that the silent disappearance
-through American sinkings in peacetime did not scare
-off my U-boats. It is a matter of taste.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, on 14 May the Führer was
-pressing you to take action against the crews after the vessel was
-sunk. Is that not so?</p>
-
-<p class='pindent'>DÖNITZ: Yes. He asked whether we could not take action against
-the crew and I have already said, after I heard of the Oshima discussion
-here, that I believe this question to Grossadmiral Raeder
-and myself was the result of that Oshima discussion.</p>
-
-<p class='pindent'>My answer to that, of course, is known; it was “no.”</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Your answer was “no,” it would
-be far better to have a range pistol and kill them while they were
-still on the boat. That was your answer, was it not?</p>
-
-<p class='pindent'>DÖNITZ: No. My answer was: Taking action against shipwrecked
-personnel is out of the question, but it is taken for granted that
-in a fight one must use the best possible weapon. Every nation
-does that.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, but the object of your
-weapon, as quite clearly set out, was that the crew would not be
-able to rescue themselves on account of the quick sinking of the
-ship. That is why you wanted to use the range pistol.</p>
-
-<p class='pindent'>DÖNITZ: Yes. And also of course, because we considered the
-crews of the steamers as combatants since they were fighting with
-weapons.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, I am not going back to
-deal with that point again, but that was in your mind. Now, the
-Führer raised this point again on 5 September 1942, as is shown
-in your document book, Volume II, Page 81.</p>
-
-<p class='pindent'>DÖNITZ: I do not have it. Where is it?
-<span class='pageno' title='375' id='Page_375'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It begins with the discussion in
-the OKW on 5 September 1942. It is Exhibit Dönitz-39, Page 81,
-and it is in the English document book, Volume II.</p>
-
-<p class='pindent'>DÖNITZ: Yes, I have it now.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It arises out of an incident of
-the sinking of the mine boat, <span class='it'>Ulm</span>, and there is a question of whether
-British destroyers had fired with machine arms on soldiers in lifeboats;
-and the Führer gave orders to the Naval Command to issue
-an order, according to which “our warships would use reprisals”;
-and if you look a little lower down, you will see that the matter
-had been investigated by your operations staff, and it is stated:</p>
-
-<div class='blockquote'>
-
-<p>“It could not be proved beyond a doubt that the fire had been
-aimed at the crew boarding the lifeboats. The enemy fire was
-evidently aimed at the ship itself.”</p>
-
-</div>
-
-<p class='pindent'>Then you discuss the question of applying reprisals, at the foot
-of that page, and you say:</p>
-
-<div class='blockquote'>
-
-<p>“It is the opinion of the Naval Operations Staff that before
-issuing reprisal orders, one should take into consideration
-whether such measures, if applied by the enemy against us,
-would not in the end be more harmful to us than to the
-enemy. Even now our boats are able only in a few cases to
-rescue shipwrecked enemy crews by towing the lifeboats,
-<span class='it'>et cetera</span>, whereas the crews of sunken German U-boats and
-merchant vessels have so far, as a rule, been picked up by the
-enemy. The situation could therefore only change in our
-favor if we were to receive orders, as a measure of reprisal,
-that shipwrecked enemy crews should not only not be saved,
-but that they should be subdued by fire. It is significant in
-this respect that so far it could not be proved that in the cases
-on record where the enemy used arms against shipwrecked
-Germans such action was the result of, or was covered by, an
-order of an official British agency. We should therefore bear
-in mind the fact that knowledge of such a German order
-would be used by enemy propaganda in such a manner that
-its consequences could not easily be foreseen.”</p>
-
-</div>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I object
-against this manner of procedure. The document about which this
-cross-examination is being made is a document from me, and I have
-not submitted it yet. I do not know whether it is customary in this
-Trial that exhibits of the Defense are submitted by the Prosecution.
-For this reason I had suggested at the time to begin with the documentary
-evidence so that the Prosecution should also have an opportunity
-to use my exhibits in cross-examination.
-<span class='pageno' title='376' id='Page_376'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Have you any objection to the document
-which is in your document book being offered in evidence?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I only want to avoid
-having my documents presented by the Prosecution in cross-examination
-because this upsets my entire documentary evidence.
-This particular case does not play a decisive role for me, but if
-the Prosecution proposes to present other documents of mine
-which have not yet been submitted, I should like to ask that the
-cross-examination be interrupted and I first be afforded an opportunity
-to submit my documents.</p>
-
-<p class='pindent'>THE PRESIDENT: That will only waste time, will it not? It
-would not do any good; it would only waste time.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I do not
-think it would be a waste of time if I, as Defense Counsel, ask
-that I be allowed to submit my own documents to the Tribunal
-myself and that they shall not be quoted to the Tribunal by the
-Prosecution from my document book, because the manner of presentation
-and the questions asked by the Prosecution do, of course,
-give these documents a quite definite meaning.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the Tribunal thinks there
-is no objection to the course that is being taken. You have had
-the opportunity already of putting this document to the witness.
-You will have a further opportunity of putting it to him again
-in re-examination.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: So that there was fresh pressure
-put on you to take this course, that is, to fire on the crews of
-sunken vessels and that in September, was there not?</p>
-
-<p class='pindent'>DÖNITZ: No, that is not correct. I only learned of this document
-of the naval war here; I was not under pressure, therefore;
-but it is true that, in accordance with this document, the Naval
-Operations Staff had apparently had orders from the OKW to
-compile a list of all such cases and that the Naval Operations
-Staff very correctly took the point of view that one would have
-to be very careful in judging these cases and that it advised
-against reprisal measures. It appears to me that the compilation
-of this document served to convince us that in principle one
-should keep away from these reprisal measures.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you know that on the
-instructions of Hitler the OKW had put through an inquiry to
-the naval war command on this point in September?</p>
-
-<p class='pindent'>DÖNITZ: No, I did not know that. I just said I do not know
-about this entry in the War Diary of the Naval Operations Staff
-and the appendix which is attached to it. I first heard of it here.
-<span class='pageno' title='377' id='Page_377'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You first heard of it here?</p>
-
-<p class='pindent'>DÖNITZ: I did not know about the entry in the War Diary
-of the Naval Operations Staff. That was done in Berlin, and I
-was Commander of the Submarine Fleet in France at the time.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, if you tell the Tribunal
-that you did not know about it in September, then we will pass
-on to another document. That is what you say, that you did not
-know about it in September 1942?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, I would just like you—I
-do not want to take you through the <span class='it'>Laconia</span> in any detail, but
-I want you just to tell me about one, I think, one or two entries.
-I think it is Page 40 of your own document book.</p>
-
-<p class='pindent'>THE PRESIDENT: Is that not on Page 41?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I am very much obliged to Your
-Lordship.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] It is Page 41, at the bottom. It
-is on 20 September, 1320 hours. That is your wireless message
-to the U-boat <span class='it'>Schacht</span>. Do you see that?</p>
-
-<p class='pindent'>DÖNITZ: Yes, and I explained that in great detail yesterday.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I just want to know: Is it true
-what is stated in your wireless message that the boat was dispatched
-to rescue Italian allies, not for the rescue and care of
-Englishmen and Poles? Is that true?</p>
-
-<p class='pindent'>DÖNITZ: That is correct, because the vessel had reported to
-me that it had four boats in tow—and it says on Page 40, “...with
-British in tow.” It was clear, considering the whole situation,
-that a submarine with vessels in tow could not remain on the
-surface without the greatest danger to itself. Hence on Page 40
-under heading 2 the order and the instructions given, “Boats with
-British and Poles to be cast adrift.” I wanted to get rid of the
-boats. That was the only reason. And it was only afterwards—Page
-41—when a long radio message came from him, which in
-itself was a repetition but which was interpreted to mean that
-after the two air attacks had taken place he had again endangered
-his boat by stopping and picking up men, only then did he receive
-this wireless message, after it had gradually dawned on me—during
-the first four days, or perhaps three days, I had nothing
-against rescuing the British—that the Italians, who after all were
-our allies, were getting the worst of it, which indeed proved to
-be the case.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You have given a long explanation.
-Now, is that wireless message true, that the boat was
-<span class='pageno' title='378' id='Page_378'></span>
-dispatched to rescue Italian allies, not for the rescue and care of
-Englishmen and Poles? Is that true or not true?</p>
-
-<p class='pindent'>DÖNITZ: Of course; this wireless message contained both
-instructions and it becomes unequivocally clear from these two
-instructions as well as from the impression I had that the British
-who were rescued far outnumbered the Italians, who were left
-to drown.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, there is one point I want
-you to make a little clearer. When you were interrogated about
-this matter, you said that you were under great pressure at the
-time; and, I think, that the pressure came to you from Hitler only
-through Captain Fricke. Is that right?</p>
-
-<p class='pindent'>DÖNITZ: No, “only” is not correct. It was “also.” The pressure,
-as I have very clearly explained here, was due to worry and
-anxiety regarding the fate of my submarines, because I knew
-that they were now being greatly jeopardized. We had evidence
-of that already from the bombing attacks; secondly, of course,
-from the Führer’s orders which Fricke gave. But I have also
-stated here that in spite of that order, even if it was not militarily
-correct to act in this way, I continued rescuing. However, the
-pressure, my worry and anxiety, were mostly caused by the fate
-of the submarines themselves.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: So that at this time you had
-had the report to the Führer on 14 May; you had then had the
-<span class='it'>Laconia</span> incident, and during that incident you had had the
-pressure from the Führer. Now, was it not because of this...</p>
-
-<p class='pindent'>DÖNITZ: I beg your pardon, but...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Allow me to ask my question.</p>
-
-<p class='pindent'>DÖNITZ: I think there is an error that has crept in here.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Very well, I will correct it.
-You had had the report to the Führer on 14 May. You have told
-me that. There was then the <span class='it'>Laconia</span>...</p>
-
-<p class='pindent'>DÖNITZ: That has nothing to do with the Führer’s order in
-the case of the <span class='it'>Laconia</span>. In the case of the <span class='it'>Laconia</span> the Führer
-had given orders, and quite rightly, that no boats should be endangered
-by the rescue. That is something quite different from the
-subject of 14 May.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I am trying to assemble for
-the moment what matters you had to deal with. You had had the
-14th of May, the <span class='it'>Laconia</span> incident, and then an order to stop,
-coming through from the Führer.</p>
-
-<p class='pindent'>DÖNITZ: No, in the case of the <span class='it'>Laconia</span> incident I never thought
-at all of the order or of the discussion of 14 May with the Führer,
-<span class='pageno' title='379' id='Page_379'></span>
-and I could not, because that was an entirely different subject.
-This is quite another matter, here it was purely a matter of rescue.
-There is no connection whatsoever between the two.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: We will see about that. Turn
-to Page 36 in the British document book, or Pages 71 to 75 in
-the German document book.</p>
-
-<p class='pindent'>Now, you have told us that what mainly concerned you was
-the safety of your own boats and of your own personnel.</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Why did you put into the order,
-“The elementary demands of warfare for the destruction of ships
-and crews are contrary to rescuing”? What was the point of
-putting these words in, unless you meant to encourage people
-to destroy enemy ships and crews?</p>
-
-<p class='pindent'>DÖNITZ: I explained that in great detail yesterday. I preached
-during all these years: You must not rescue when your own safety
-is in danger. In the case of the <span class='it'>Laconia</span> I myself in my anxiety
-and worry wirelessed that to the troops many times. Apart from
-that, I found again and again that submarine commanders were
-taking the danger from the air too lightly. I also showed how
-that is to be explained psychologically. I described yesterday the
-overwhelming increase of the air force, and consequently in no
-circumstances would I have again given my people as a reason
-that, if there is danger from the air, or since you are being endangered
-from the air, <span class='it'>et cetera</span>, you must not rescue, or rescuing
-would be contrary to the elementary demands of warfare; because
-I did not want to leave it to my commanders to discuss whether
-there was danger from the air or not. After all my experience of
-the losses suffered and in view of the ever-present air force, which
-as history has shown was becoming stronger and stronger, I had
-to give a clear-cut order to the commanders based on that experience:
-“You cannot go on like that, or while we rescue the enemy
-we shall be attacked and killed by the enemy.” Therefore
-this reasoning must not enter into it. I did not wish to give
-the commanders another opportunity of deliberating or discussing.
-I told you already yesterday that I could have added, “If now,
-in view of the danger from the air, we are killed by that self-same
-enemy while rescuing him, then rescue is contrary to the
-elementary demands of warfare.” I did not want to do that, because
-I did not want any more discussion. We all had the impression
-that this refrain, “Do not rescue if there is danger from the air,”
-was outworn, because this would have meant that the commanders
-would nevertheless lose their liberty of action, and might slip
-into this thing.
-<span class='pageno' title='380' id='Page_380'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But if you had simply said,
-“You are forbidden to rescue,” and if you had wanted to give a
-reason, “You are forbidden to rescue because in view of the Allied
-air cover it is a matter of too great danger for the safety of yourself
-and your boat ever to rescue at all,” that would have been quite
-clear. Why did you not put it that way?</p>
-
-<p class='pindent'>DÖNITZ: No, that is just what I could not do. I have just said
-so, because some commander in some naval theater might get the
-idea that there was no danger from the air, and the next moment
-the plane would appear and he would be struck down. I have
-already said all that in reply to your suggestion.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, you had two experienced
-staff officers with you at the time that you got this order out—Captains
-Godt and Hessler, had you not?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is right.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And both Captain Godt and
-Captain Hessler advised you strongly against the issue of this
-order, did they not?</p>
-
-<p class='pindent'>DÖNITZ: As far as I can remember, they said something like
-this, “The bulk of the submarines”—I have said that here—“the
-bulk of the U-boats, that is, more than 90 percent of the U-boats,
-are already fighting the convoys, so that such an order is out of
-the question for them.”</p>
-
-<p class='pindent'>That was the question: Should we issue such a general order
-at all, and would not the further developments which forced us
-all the time to issue new orders, namely, “Remain on the surface as
-little as possible,” make such an order superfluous? However,
-since I was responsible for warding off every possible danger to
-a submarine, I had to give this order and my staff agreed with me
-perfectly as far as this measure was concerned.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you not say when you were
-interrogated on 22 October and on other occasions: “Godt and Hessler
-told me, ‘Do not send this wireless message—you see, one day there
-may be a wrong impression about it; there may be a misinterpretation
-of that.’ ” Did you not say that?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I said that, and it is true too that such a remark
-may have been made. But it was not misinterpreted by the U-boats;
-nobody thought of that or we would not have issued the order. But
-we were thinking of the effects on the outside world.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: And was not the effect that you
-wanted to produce: That you would have an order which could be
-argued was merely a prohibition of rescue, and would encourage the
-submarine commanders who felt that way to annihilate the survivors
-of the crews?
-<span class='pageno' title='381' id='Page_381'></span></p>
-
-<p class='pindent'>DÖNITZ: No, that is absolutely wrong, and it is also proved by
-the documents which we have submitted.</p>
-
-<p class='pindent'>Apart from the Möhle case, nobody misunderstood this order
-and when we compiled the order we were aware of that fact. That
-becomes clear from the communications which we had with U-boat
-commanders, and it becomes clear from my searching inquiries when
-I asked whether they had in any way thought of that. The order
-does not show that at all, neither does the reason which led to it.
-The fact is that we were rescuing for all we were worth. The question
-was, “to rescue or not to rescue,” and nothing else. That is the
-key to the <span class='it'>Laconia</span> case.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You said that “we issued the
-order.” Do you remember saying this in an interrogation on 6 October:
-“I am completely and personally responsible for it, because
-Captains Godt and Hessler both expressly stated that they considered
-the telegram as ambiguous or likely to be misinterpreted.”</p>
-
-<p class='pindent'>Do you remember saying that, “I am completely and personally
-responsible” because both your staff officers had pointed out that
-it was ambiguous? Did you say that?</p>
-
-<p class='pindent'>DÖNITZ: I do not think so. I cannot think I said it that way.
-I am not sure, but I will say the following:</p>
-
-<p class='pindent'>During the interrogation I was told that Captains Godt and
-Hessler made this order, and in reply to that I said, “It is quite
-immaterial, I am responsible for the order.” Moreover, the main
-point of discussion on that order was whether one ought to issue
-such an order. That it should ever have entered Captain Godt’s or
-Captain Hessler’s mind that such an order could be misunderstood
-by us—by the U-boats—is completely erroneous. I emphatically
-stated that, too, during the interrogation. I clearly stated that this
-consideration and the discussion of the question whether the order
-was to be issued or not had nothing whatever to do with it as far
-as these two gentlemen were concerned. That is quite clear; and
-that also was contained in the interrogation.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You were making clear that it
-was the first occasion. I made it clear that you were not blaming
-your junior officer who had advised you against this, and you were
-taking the responsibility on this occasion yourself. That is true,
-these junior officers advised you against it? In your own words,
-they both expressly stated that they considered the telegram ambiguous
-and liable to be misinterpreted; that is right, is it not, they
-did say that?</p>
-
-<p class='pindent'>DÖNITZ: I did not see the discussion after it was put down, and
-I did not sign it. I can tell you quite clearly—and this is clear from
-<span class='pageno' title='382' id='Page_382'></span>
-another discussion—that I said that I myself will assume full responsibility.
-For me that was the essential thing. The only reason why
-the whole question came up was because the interrogating officer
-told me these officers had drafted the order, and then, as I recall
-it, the idea was that on no account should these officers be held
-responsible for my order. That was the point of the matter.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, at any rate, you are not
-changing what you said a few minutes ago that both Captain
-Godt and Captain Hessler advised you against issuing this order,
-are you?</p>
-
-<p class='pindent'>DÖNITZ: According to my recollection, at first both advised
-against it. I have now heard that both are saying they did not
-advise against it, but that perhaps I or somebody else might have
-advised against it. I do not know for certain. I recollect that
-at first both advised me against issuing such an order at a time
-when 90 percent of our submarines were already engaged in
-fighting convoys and when we were being forced under the water
-anyway and it was absolutely impossible to make any more
-rescues since we were below the surface; and I said, “No; there
-will surely still be cases where such a thing can happen and where
-the commander will be faced with an awkward situation and in
-that case I want to relieve him of such a decision.” That was the
-reason and the meaning of the discussion, nothing else.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: We will continue. That is the
-first part of the order. Now take Paragraph 2, “Orders for bringing
-in captains and chief engineers still apply.” Now, Defendant, you
-know perfectly well that in order to find the captain or chief
-engineer, the U-boat has got to go around the lifeboats or wreckage
-and make inquiries, “Where is the captain?” And you know very
-well that the usual practice of the British merchant navy was
-to try and hide the captain and prevent them finding out who he
-was. Is that not the practical position that had to be met, that
-you had to go around the lifeboats asking for the captain if you
-wanted to bring him in? Is that not so?</p>
-
-<p class='pindent'>DÖNITZ: Not exactly, no. I stated quite clearly yesterday that,
-first, the risk of taking aboard one man was much less as far as
-time was concerned, and would not limit the crashdiving ability
-of the boat, whereas rescuing activities would limit severely the
-crashdiving ability. Secondly, that that had a military aim ordered
-by the Naval Operations Staff for which, as is always the case
-in war, a certain risk would have to be taken; and, thirdly, that
-the significance of that paragraph appeared to all of us to be
-unimportant, the results being always poor. This order, if you
-want to construe it like this and take it out of its context, militates
-against your contention that I wanted to destroy these people;
-<span class='pageno' title='383' id='Page_383'></span>
-because I wanted to take prisoners, and if I intended to kill somebody
-first, then I certainly could not have taken him prisoner.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I am putting it to you that the
-second part of the order is that you are to bring in captains and
-chief engineers to find out what you can from them.</p>
-
-<p class='pindent'>Look at the third paragraph: “Rescue ship crews only if their
-statements will be of importance for U-boats,” that is, of importance
-for you to learn from them the position of Allied ships or
-the measures the Allies are taking against submarines. That is the
-point against two and three, is it not? You are only to take
-prisoners if you can find out some useful thing from them?</p>
-
-<p class='pindent'>DÖNITZ: I think it is taken for granted that we should try to
-get as much information as possible, and since I cannot take the
-whole crew as prisoners on a U-boat, I have to confine myself to
-the most important persons. Therefore I remove these people from
-further engagement, whereas the others may engage again. Of
-course, in view of the limited room on a U-boat, I do not take
-unimportant people but the important ones.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I do not want to take up a lot
-of time, but I want you to tell me this: Did I understand your
-explanation of the word “again” in the War Diary to be that you
-had drawn the attention of certain submarine commanders to your
-telegrams during the <span class='it'>Laconia</span> incident, is that your explanation?</p>
-
-<p class='pindent'>DÖNITZ: No, it did not refer to U-boat commanders; and I
-believe the word “again,” as my staff says, referred to those
-four wireless messages which we have read as meaning this during
-the last few days and which were submitted to the Tribunal
-yesterday.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I put to you a moment ago a
-question and you said the “again” refers to the messages you sent
-out during the <span class='it'>Laconia</span> incident. I think you agree with that, do
-you not? Do not be afraid to agree with what I say. When was that?</p>
-
-<p class='pindent'>DÖNITZ: Yesterday it was explained to me that there were
-four wireless messages, and I assumed that the person was summarizing
-the whole event, and that was probably his way of putting
-it. He was a chief petty officer and I do not know what he meant
-when he used the word “again.”</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now you say you had never
-heard of the Hitler and Oshima conversations which I put to you
-a few moments ago?</p>
-
-<p class='pindent'>DÖNITZ: No.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Therefore, one may assume,
-may one not, that Lieutenant Heisig, who gave evidence, had not
-<span class='pageno' title='384' id='Page_384'></span>
-heard of the Hitler and Oshima conversations either; do you not
-think he could not have heard about it?</p>
-
-<p class='pindent'>DÖNITZ: I assume it was out of the question.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you notice that Heisig said
-in his evidence that during a lecture he heard you put forward
-the same argument as Hitler put forward in his conversations with
-Oshima?</p>
-
-<p class='pindent'>DÖNITZ: First of all I want to state that Heisig here in this
-witness box said something different from what he said during his
-interrogation. During cross-examination he has admitted here that
-I have not said anything about fighting against shipwrecked personnel;
-secondly, everything else he said is so vague that I do not
-attach much value to its credibility; thirdly, he stated quite clearly
-that I did not say this in a lecture but during a discussion, which
-is in itself of no importance; and fourthly, it may well be that
-the subject of America’s new construction program and the manning
-of the new ships by trained crews was discussed. It was
-possible during that discussion.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Do you now say you agree you
-never opened any discussion having reference to the American
-shipbuilding program and the difficulty of finding crews? Do you
-agree with Heisig on that?</p>
-
-<p class='pindent'>DÖNITZ: The German press was full of that. Everybody read
-and knew about the shipbuilding program. Pictures were made...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But the argument I am suggesting
-to you, you know, was that the building program would
-be useless if you could destroy or frighten off sufficient merchant
-navy crews. That is the point in Hitler’s conversation, and that
-Heisig said you said. Did you say that?</p>
-
-<p class='pindent'>DÖNITZ: I have always taken the view that losses of crews
-would make replacement difficult, and this is stated in my war
-diary together with similar ideas, and perhaps I said something
-of the kind to my midshipmen.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Would you look at Page 37 of
-the Prosecution document book, Page 76 in the German translation?
-It is an order dated 7 October 1943 (Document Number
-D-663, Exhibit Number GB-200). I just want you to look at the
-last sentence: “In view of the desired destruction of ships’ crews,
-their sinking is of great value.”</p>
-
-<p class='pindent'>DÖNITZ: I have read it.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: “In view of the desired destruction
-of ships’ crews, their sinking is of great value,” and it
-is continually pressing, the need for ships’ crews.
-<span class='pageno' title='385' id='Page_385'></span></p>
-
-<p class='pindent'>DÖNITZ: Yes, of course, but in the course of fighting. It is
-perfectly clear that these rescue ships were heavily armed. They
-had aircraft and could be sunk just like other convoy ships. If there
-were steamer crews on hand it was naturally our desire to sink
-them since we were justified in sinking such crews. Moreover
-they were used as U-boat traps near the steamers.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: On the question of the rightness
-or wrongness of sinking rescue ships, the destruction of ships’
-crews, now, I want to ask you one or two questions about Möhle.
-He commanded the U-boat Flotilla from 1942 until the end of the
-war. That is nearly three years; and as he told us, he has a
-number of decorations for gallant service. Are you telling the
-Tribunal that Commander Möhle went on briefing submarine commanders
-on a completely mistaken basis for three years without
-any of your staff or yourself discovering this? You saw every
-U-boat commander when he came back.</p>
-
-<p class='pindent'>DÖNITZ: I am sorry that Korvettenkapitän Möhle, being the
-only one who said he had doubts in connection with this order,
-as he declared here, did not report this right away. I could not
-know that he had these doubts. He had every opportunity of
-clearing up these doubts and I did not know, and nobody on my
-staff had any idea, that he had these thoughts.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now, I have a letter here, a
-letter from a widow of one of your submarine commanders. I
-cannot get the commander and this is a letter from his widow.
-I want you to say what you think of a passage in it.</p>
-
-<p class='pindent'>She says—in the second paragraph—“Captain Möhle says he
-has not found one U-boat commander who objected to the order
-to fire at helpless seamen who were in distress in the water.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I object to the use of
-this letter. I think this is the sort of letter which cannot be used
-as an exhibit. It is not sworn, and it is a typical example of the
-kind of letter which Mr. Justice Jackson has already repeatedly
-characterized.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: The only point I make is this:
-The man himself has not come back. His widow can give information
-as to how he understood his orders before he went out. I
-should have submitted it with probative value. I think it occurs
-in Article 19. I will not use it if there is the slightest doubt about
-it before the Tribunal.</p>
-
-<p class='pindent'>DÖNITZ: It is full of incorrect statements, too. It says there
-that he, Prien, died in a concentration camp, which is not true.</p>
-
-<p class='pindent'>THE PRESIDENT: Wait just a minute.
-<span class='pageno' title='386' id='Page_386'></span></p>
-
-<p class='pindent'>DÖNITZ: It is not true.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have
-only just finished reading the whole letter.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, the Tribunal is considering the matter
-at the moment.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: May I state one argument
-in this connection first?</p>
-
-<p class='pindent'>THE PRESIDENT: Well, we have heard your argument and we
-are considering the matter.</p>
-
-<p class='pindent'>The Tribunal thinks that it is undesirable and that this document
-should not be used.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: As Your Lordship pleases.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Now I want to deal just for one
-moment with a passage in your own document book which Dr. Kranzbühler
-put to you yesterday. It is Volume II, Page 92, Exhibit 42.
-Before I ask you a question about it, there is one point that I would
-like you to help me on. In your interrogation you said that on
-22 October that about two months after that order of 17 September
-you issued orders forbidding U-boats to surface at all. Is that right?
-You gave orders forbidding U-boats to surface, is that right?</p>
-
-<p class='pindent'>DÖNITZ: So far as it is possible for a submarine not to do so
-at all. We were always making changes, day and night, and it
-depended upon the degree of danger and weather conditions whether
-we gave orders for the U-boats to surface and recharge when on
-the move.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: They were not to surface after
-attacks, were not to surface at all before or after attacks; is that
-not the effect of your order?</p>
-
-<p class='pindent'>DÖNITZ: Of course submarines, for example at night, had to be
-on the surface for attacks, but the main thing was to avoid every
-risk when on the move.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Then two months later there was
-an order that they were to surface as little as possible, and you tell
-me it was your order?</p>
-
-<p class='pindent'>DÖNITZ: As far as possible they were to try by all means to
-avoid danger from the air.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Did you give orders as to surfacing?</p>
-
-<p class='pindent'>DÖNITZ: I gave them quite a number of orders, as I have already
-said, according to the weather, according to what part of the sea
-they were in, and whether it was day or night. The orders were
-different according to these factors, because the danger depended
-<span class='pageno' title='387' id='Page_387'></span>
-on these elements and varied accordingly. There were changes too;
-if we had bad experiences, if we found that night was more dangerous
-than day, then we surfaced during the day. We had the
-impression that in the end it was better to surface during the day,
-because then one could at least locate beforehand the aircraft
-attacking by direction-finding, so we changed.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But it is a fact that quite soon
-after this order the Allied air cover became so heavy that—I quote
-your own words; you say, “Two months later submarines were no
-longer in a position to surface.” That is, as I understood it, surfacing
-became very difficult in view of the heavy nature of Allied
-air attacks, is that right?</p>
-
-<p class='pindent'>DÖNITZ: Yes, they did not have a chance to come to the surface
-in certain waters without being attacked immediately. That
-is just the point. The submarines were however in readiness, in
-the highest degree of readiness—and that is the big difference, for
-in rescue work readiness is disrupted; yet these heavy losses and
-difficulties occurred at the height of readiness.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now I want you to look at
-Page 93. It is the page after the one I referred you to in Volume II
-of your document book; do you see Paragraph 1?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<div class='blockquote'>
-
-<p>SIR DAVID MAXWELL-FYFE: “The percentage of merchant
-vessels sunk out of convoys in 1941 amounted to 40 percent;
-in the entire year of 1942 to barely 30 percent; in the last
-quarter of 1942 to 57 percent; in January 1943, to about
-65 percent; in February to about 70 percent; and in March to
-80 percent.”</p>
-
-</div>
-
-<p class='pindent'>Your worst period was the first three quarters of 1942, is that
-not so? That appears from your own figures.</p>
-
-<p class='pindent'>DÖNITZ: Which “worst period”? What do you mean? I do not
-understand.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, it is Page 93, Paragraph 1.</p>
-
-<p class='pindent'>DÖNITZ: Yes, but how do you mean, “worst period”?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, the percentage of sunk
-merchant vessels in convoys in 1941 amounted to 40 percent.</p>
-
-<p class='pindent'>DÖNITZ: You mean merchant ships?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, I am reading your own
-war diary, or rather the naval war staff War Diary. “In the entire
-year of 1942 to barely 30 percent...”</p>
-
-<p class='pindent'>DÖNITZ: From convoys?
-<span class='pageno' title='388' id='Page_388'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Convoys, yes. So that the worst
-period that you had was the first three quarters of 1942?</p>
-
-<p class='pindent'>DÖNITZ: No. In 1942, as I have already said in my description
-of the entire situation, a large number of submarines were just
-outside the ports, they were off New York, off Trinidad, <span class='it'>et cetera</span>,
-so that they are not mentioned here. In this list only the sinkings
-carried out by those packs which were attacking the convoys in the
-North Atlantic are mentioned.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: But is it not right that these
-figures mean that your worst period was the first three quarters
-of 1942? It must have been around 30 percent.</p>
-
-<p class='pindent'>DÖNITZ: No, my most successful period was the year 1942.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Well, how can you call it the
-most successful period if for the entire year of 1942 your percentage
-of sunk merchant vessels in convoys is only 30 percent, whereas in
-January and February and March 1943, it got up to 65, 70, and
-80 percent?</p>
-
-<p class='pindent'>DÖNITZ: Quite right, that is so. Of the merchant ships sunk in
-1942, 30 percent were sunk in the Atlantic, but the total figure was
-much larger than, for instance, in 1943, when 65 and 70 percent
-were sunk; and that is simply because at that time in 1943 we could
-no longer remain outside a port like New York. This indicates percentages
-of sinkings in the Atlantic from convoys only.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: You see what I am putting to
-you is this, that in 1942, when your percentage from convoys was
-low, when you had had that pressure that I have gone into with
-you before, there was every reason for you to issue an unequivocal
-order which would have the effect of getting submarine commanders
-to destroy the crews of the ships. In 1943 your U-boats were
-not surfacing, your convoy proportions had gone up, and there was
-not any reason to make your order more explicit. That is what I
-am suggesting to you, Defendant.</p>
-
-<p class='pindent'>DÖNITZ: I consider that that is quite wrong.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now I just want to...</p>
-
-<p class='pindent'>DÖNITZ: It was like this. As I already said, from the summer
-of 1942 onwards we found that the danger from the air suddenly
-increased. This danger from the air was making itself felt in all
-waters, also in those waters where submarines were not fighting
-convoys or were not fighting just outside the ports.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now I just want you to help
-me on one other point. Dr. Kranzbühler put to you yesterday that
-Kapitänleutnant Eck said that if he had come back he would not
-have expected you to have objected or been angry with him for
-<span class='pageno' title='389' id='Page_389'></span>
-shooting up the crew of the <span class='it'>Peleus</span>. You said you knew that Eck
-was carrying this order of yours in his locker when he did shoot
-up the crew of the <span class='it'>Peleus</span>?</p>
-
-<p class='pindent'>DÖNITZ: Yes, but I also know that this order did not have the
-slightest effect on his decision but that, as Eck has expressly said,
-his decision was to shoot up the wreckage; and he had quite a different
-aim, namely, to remove the wreckage because he was afraid
-for his boat which would have been smashed to pieces just like
-other boats in those wakes. He stated clearly that there was no
-connection whatsoever in his mind between the order with reference
-to the <span class='it'>Laconia</span>, which he had on board quite accidentally, and
-his decision.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Now you know there are two
-other cases before the Tribunal, the <span class='it'>Noreen Mary</span> and the <span class='it'>Antonico</span>,
-which are on Pages 47 and 52 of the Prosecution’s document book,
-where witnesses give specific evidence of the U-boat carrying out
-attacks on them when they are in one case on wreckage and in the
-other case in the lifeboat. Will you look at the <span class='it'>Noreen Mary</span> on
-Page 47 of the document book? The testament of the survivor is
-on Pages 49 and 50. He deals with this point; he says in the fourth
-paragraph—Page 85 of the German book...</p>
-
-<p class='pindent'>DÖNITZ: I have the English document book.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: It is Page 50 of the English one;
-I have got the English document:</p>
-
-<div class='blockquote'>
-
-<p>“I swam around until I came across the broken bow of our
-lifeboat, which was upside down, and managed to scramble
-on top of it. Even now the submarine did not submerge but
-deliberately steamed in my direction and when only about 60
-to 70 yards away fired directly at me with a short burst from
-the machine gun. As their intention was quite obvious I fell
-into the water and remained there until the submarine ceased
-firing and submerged, after which I climbed back on to the
-bottom of the boat.”</p>
-
-</div>
-
-<p>The statement by the Brazilian gentleman you will find on
-Page 52. Have you got it?</p>
-
-<p>DÖNITZ: Yes, I have got it.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Fifteen lines from the foot, he
-says, “...the enemy ruthlessly machine-gunned the defenseless
-sailors in Number 2 lifeboat...”</p>
-
-<p>Assuming—of course one has to assume—that Mr. McAllister
-and Senhor de Oliveira Silva are speaking the truth, are you
-saying that these U-boat officers were acting on their own?</p>
-
-<p>DÖNITZ: It is possible that the men might have imagined
-these happenings. I want to point out, however, that in a night
-<span class='pageno' title='390' id='Page_390'></span>
-fight—let us take the case of the <span class='it'>Antonico</span> first—which lasted 20
-minutes, it could very easily have been imagined that these were
-shots, or that shots directed against the ship hit a lifeboat. At
-any rate, if someone makes a report on a night attack lasting
-20 minutes, then it is a subjective report and everyone who
-knows how these reports vary, knows how easily a seaman can
-make a mistake. If, during such a night fight, the U-boat had
-wanted to destroy these people, then it would not have left after
-20 minutes, particularly as the person states that he could not see
-the submarine in the darkness. These are certainly all very vague
-statements.</p>
-
-<p>The case of the <span class='it'>Noreen Mary</span> is quite similar. A large number
-of statements are made in this deposition which certainly are
-not true; for instance, that the submarine bore a swastika. Not
-a single submarine went to sea painted in any way. If someone
-is on some wreckage or in a lifeboat and there are shots nearby,
-then he very easily feels that he is being shot at. It was for this
-very reason that quite a number of cases of the Anglo-American
-side have been mentioned by us; not because we wanted to make
-an accusation, but because we wanted to show how very skeptical
-one has to be regarding these individual reports.</p>
-
-<p>And the only cases in 5½ years of war, during several thousand
-attacks, are the ones brought up here.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Yes, and of course for the 2½
-of these years that the submarine commanders have been shooting
-up survivors, you are not likely to get many cases, are you? I just
-want to ask you one other point...</p>
-
-<p>DÖNITZ: Submarine commanders with the exception of the case
-of Eck have never shot up shipwrecked persons. There is not a
-single instance. That is not true.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: That is what you say.</p>
-
-<p>DÖNITZ: In no case is that proved. On the contrary, they made
-the utmost efforts to rescue. No order to proceed against shipwrecked
-people has ever been given the U-boat force, with the
-exception of the case of Eck, and for that there was a definite
-reason. That is a fact.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Well, now, tell me this: Did
-you know that the log of the <span class='it'>Athenia</span> was faked, after she came in?</p>
-
-<p>DÖNITZ: No, it was not faked, but there was a clear order
-that the case of the <span class='it'>Athenia</span> should be kept secret for political
-reasons and, as a result, the log had to be changed.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: I see. You do not like the word
-“faked.” Well, I will use the word “changed”; that a page was
-<span class='pageno' title='391' id='Page_391'></span>
-cut out of the log and a false page had been put in. Did you know
-about that?</p>
-
-<p>DÖNITZ: I cannot tell you that today. It is possible. Probably
-Captain Lemp received the order either from me or my staff:
-“The case is to be kept secret.” And following that, he or the
-flotilla took the log, which went to ten different departments of
-the Navy, and altered it. What else could he do? He could not do
-otherwise.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: I want to know, was it your
-order and with your knowledge that that log was altered from,
-I suppose, the truth into the falsity in which it exists today? That
-is a simple question. Can you answer it?</p>
-
-<p>DÖNITZ: Yes. Either it was done by my order or, if it had
-not been done, then I would have ordered it, because the political
-instructions existed that “it must be kept secret.” The fighting men
-had no other choice, therefore, but to alter the log. The U-boat
-commanders never received the order to make a false entry, but
-in the particular case of the <span class='it'>Athenia</span>, where it was ordered afterwards
-that it must be kept secret, it was not noted in the log.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Well, now I have only one other
-point to deal with you, and I can deal with it quite shortly. You
-were a firm adherent of ideological education for service personnel,
-were you not?</p>
-
-<p>DÖNITZ: Yes, I have explained my reasons.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Well, I just want to get this,
-and then you can explain your reasons afterwards. You thought
-it nonsense that a soldier should have no politics, did you not?
-If you want to...</p>
-
-<p>DÖNITZ: Of course. The soldier had nothing to do with politics;
-but, on the other hand, he naturally had to stand by his country
-during the war.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: And you wanted your commanders
-to indoctrinate the Navy with Nazi ideology, did you not?</p>
-
-<p>DÖNITZ: I wanted the troops’ commanders to tell them that
-the unity of the German people as it existed then was a source
-of strength for our conduct of the war and that consequently,
-since we enjoyed the advantages of this unity, we also should see
-to it that the unity should continue, because during the World
-War we had had very bad experiences precisely because of that.
-Any lack of unity among the people would have necessarily
-affected the conduct of the war.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Look at Page 7 in the English
-document book (Document Number D-640, Exhibit Number GB-186).
-<span class='pageno' title='392' id='Page_392'></span>
-I think it puts it almost exactly as in my question. The last
-sentence:</p>
-
-<div class='blockquote'>
-
-<p>“From the very start the whole of the officers’ corps must
-be so indoctrinated that it feels itself coresponsible for the
-National Socialist State in its entirety. The officer is the
-exponent of the State. The idle chatter that the officer is
-nonpolitical is sheer nonsense.”</p>
-
-</div>
-
-<p>That is your view, is it not?</p>
-
-<p>DÖNITZ: I said that. But you have also got to read from the
-beginning, where it says that our discipline and our fighting
-strength is miles above that of 1918 and the reason is because
-the people as a whole are behind us, and if that had not been
-the case then our troops would have become disintegrated long
-ago; that is the reason why I said that.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Tell me, how many men were
-you attempting to apply this to, or how many men had you got
-in the Navy on the 15th of February 1944? I want to see what
-body you were trying to affect. How many? A quarter of a
-million?</p>
-
-<p>DÖNITZ: 600,000 or 700,000.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Now, I would just like you to
-turn to the next page, Page 8 in the British document book, which
-gives your speech on Heroes’ Day, 12 March 1944. You say this:</p>
-
-<div class='blockquote'>
-
-<p>“What would have become of our country today if the
-Führer had not united us under National Socialism? Split
-parties, beset with the spreading poison of Jewry, and vulnerable
-to it because we lacked the defense of our present
-uncompromising ideology, we would long since have succumbed
-under the burden of this war and delivered ourselves
-up to the enemy who would have mercilessly destroyed us.”
-(Document Number 2878-PS)</p>
-
-</div>
-
-<p>What did you mean by the “spreading poison of Jewry”?</p>
-
-<p>DÖNITZ: I meant that we were living in a state of unity
-and that this unity represented strength and that all elements
-and all forces...</p>
-
-<p>SIR DAVID MAXWELL-FYFE: No, that is not what I asked.
-I am asking you, what did you mean by the “spreading poison
-of Jewry”? It is your phrase, and you tell us what you meant by it.</p>
-
-<p>DÖNITZ: I could imagine that it would be very difficult for
-the population in the towns to hold out under the stress of heavy
-bombing attacks if such an influence was allowed to work, that
-is what I meant.
-<span class='pageno' title='393' id='Page_393'></span></p>
-
-<p>SIR DAVID MAXWELL-FYFE: Well, now, can you tell me
-again; what do you mean by the “spreading poison of Jewry?”</p>
-
-<p>DÖNITZ: It means that it might have had a disintegrating
-effect on the people’s power of endurance, and in this life-and-death
-struggle of our country I, as a soldier, was especially anxious
-about this.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Well, now, that is what I want
-to know. You were the Supreme Commander and indoctrinated
-600,000 or 700,000 men. Why were you conveying to them that
-Jews were a spreading poison in party politics? Why was that?
-What was it that you objected to in Jews that made you think
-that they had a bad effect on Germany?</p>
-
-<p>DÖNITZ: That statement was made during my memorial speech
-on Heroes’ Day. It shows that I was of the opinion that the endurance,
-the power to endure, of the people, as it was composed,
-could be better preserved than if there were Jewish elements in
-the nation.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: This sort of talk, “spreading
-poison of Jewry,” produced the attitude in the mind which caused
-the death of five or six million Jews in these last few years.
-Do you say that you knew nothing about the action and the intention
-to do away with and exterminate the Jews?</p>
-
-<p>DÖNITZ: Yes, of course I say that. I did not know anything
-at all about it and if such a statement was made, then that does
-not furnish evidence that I had any idea of any murders of Jews.
-That was in the year 1943.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Well, what I am putting to you
-is that you are joining in the hunt against this unfortunate section
-of your community and leading six or seven hundred thousand
-of the Navy on the same hunt.</p>
-
-<p>Now, just look at Page 76 of the document book in this last
-reference to you...</p>
-
-<p>DÖNITZ: Nobody among my men thought of using violence
-against Jews, not one of them, and nobody can draw that conclusion
-from that sentence.</p>
-
-<p>SIR DAVID MAXWELL-FYFE: Well, now, just look at Page 76.
-This is where you are dealing with the promotion of under officers
-and men who have shown themselves to be personalities in warfare.
-You first of all say:</p>
-
-<div class='blockquote'>
-
-<p>“I want the leaders of units responsible for ratings and the
-flotilla commanders and other commanders superior to them
-to interest themselves more in the promotion of those petty
-officers and men who have shown in special situations in the
-<span class='pageno' title='394' id='Page_394'></span>
-war that, thanks to their inner attitude and firmness, their
-energetic and inner drive, in short, owing to their personal
-qualities, they are capable of taking the right decisions
-independently and of carrying them out without wavering
-in their aim and with willing acceptance of responsibility.</p>
-
-<p>“One example: On the auxiliary cruiser <span class='it'>Cormoran</span>, which was
-used as a place of detention in Australia, a warrant officer,
-acting as senior camp officer, had all communists who made
-themselves noticeable among the inmates of the camps
-systematically and unobtrusively done away with. This petty
-officer is sure of my full recognition for his decision and its
-execution; and after his return I shall do everything I can to
-promote him, as he has, shown he is fitted to be a leader.”</p>
-
-</div>
-
-<p class='pindent'>Was that your idea of leadership in this National Socialist
-indoctrinated Navy; that he should murder political opponents
-in a way that would not be found out by the guards?</p>
-
-<p class='pindent'>DÖNITZ: No, it was not so. It has been reported to me that
-there was an informer there who, when new crews were brought
-in, was smuggled into the camp and, after listening around, passed
-information on to the enemy. The result was that on the strength
-of that information U-boats were lost. And it was then that the
-senior man in the camp, a petty officer, decided to remove that
-man as a traitor. That is what was reported to me and what I
-shall prove by a witness. In my opinion, and every nation will
-recognize that, the man acted like anyone else who finds himself
-in an extremely difficult situation and he had to...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Why did you not say that,
-Defendant? If you had stated that this man had killed a spy, who
-by the spreading of information was dangerous, I would not have
-put this to you. But what you say is that it was communists who
-made themselves noticeable, and this man had killed them without
-knowledge of the guard. Why do you put communists in your
-order if you mean a spy?</p>
-
-<p class='pindent'>DÖNITZ: I think this is an order from a Baltic station. I had
-been told that it concerned a spy, and it is something that a witness
-will prove. If there were reasons—perhaps intelligence reasons—for
-not divulging that...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Are you putting the responsibility
-for this order on one of your junior officers? Are you
-saying it was one of your junior officers who put the order out
-like this? It was not what you meant at all? Is that what you
-are saying?</p>
-
-<p class='pindent'>DÖNITZ: I have merely said how the order came about; up to
-now, I have not once shirked the responsibility.
-<span class='pageno' title='395' id='Page_395'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: All right.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>THE PRESIDENT: Is there any further cross-examination?</p>
-
-<p class='pindent'>COLONEL POKROVSKY: My Lord, the Soviet Prosecution has
-several questions to ask the Defendant Dönitz.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Defendant Dönitz, your address to
-the German people and your order to the Armed Forces in connection
-with Hitler’s death were drafted by you on 30 April 1945,
-is that not so?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>COL. POKROVSKY: In these documents you informed the
-people that Hitler’s successor, appointed by Hitler himself, was you.
-That is correct, is it not?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>COL. POKROVSKY: Did you ask yourself then for what particular
-reason Hitler selected you?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I put that question to myself when I received
-that telegram, and came to the conclusion that after the Reich
-Marshal had been removed, I was the senior officer of an independent
-branch of the Armed Forces, and that that was the reason.</p>
-
-<p class='pindent'>COL. POKROVSKY: In your address to the Army and to the
-people, you demanded the continuation of military operations, and
-all those who were opposed to resistance were called traitors and
-cowards, is that not so?</p>
-
-<p class='pindent'>DÖNITZ: Yes.</p>
-
-<p class='pindent'>COL. POKROVSKY: A few days afterwards, you gave an order
-to Keitel to capitulate unconditionally, is that not right?</p>
-
-<p class='pindent'>DÖNITZ: Yes. I said quite clearly in the first order that I
-would fight in the East until troops and refugees could be rescued
-from the East and brought to the West and that I would not fight
-one moment longer. That was my intention, and that is also clearly
-expressed in that order.</p>
-
-<p class='pindent'>COL. POKROVSKY: By the way, there was not a word about
-it in this order, but that is not so important. Do you agree that
-on 30 April...</p>
-
-<p class='pindent'>DÖNITZ: I...</p>
-
-<p class='pindent'>COL. POKROVSKY: First listen to my question and then answer.
-Do you agree with the fact that on 30 April also, right on the
-<span class='pageno' title='396' id='Page_396'></span>
-day when you published the two documents that we are talking
-about now, it was absolutely clear that further resistance of
-Hitlerite Germany was absolutely aimless and useless?</p>
-
-<p class='pindent'>Do you understand my question? Do you agree with that?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I understood the question. May I say the following:
-I had to continue fighting in the East in order to rescue the
-refugees who were moving to the West. That is certainly very
-clearly stated. I said that we would continue to fight in the East
-only until the hundreds and thousands of families from the German
-eastern area could be safely transferred to the West.</p>
-
-<p class='pindent'>COL. POKROVSKY: Still you did not answer my question,
-Dönitz, did you, even though it was very clearly put. I repeat it
-once again so that you can manage to understand it. Do you agree
-with the fact that already on 30 April it was fully clear that
-further resistance of Hitlerite Germany was absolutely aimless
-and useless? Answer me “yes” or “no.”</p>
-
-<p class='pindent'>DÖNITZ: No, that was not clear. From the military point of view
-the war was absolutely lost, and there was then only the problem
-of saving as many human beings as possible, and therefore we
-had to continue resistance in the East. Therefore that resistance
-in the East had a purpose.</p>
-
-<p class='pindent'>COL. POKROVSKY: Very well, I understand you, but will you
-deny that your order, which called for a continuation of the war,
-led to further bloodshed?</p>
-
-<p class='pindent'>DÖNITZ: That is extremely small, compared to the one or two
-millions which otherwise would have been lost.</p>
-
-<p class='pindent'>COL. POKROVSKY: One moment, please; will you wait. Do not
-try and make any comparisons. First answer and then explain.
-That is the order that we have to follow here all the time. First
-“yes” or “no,” and then an explanation, please.</p>
-
-<p class='pindent'>DÖNITZ: Of course, in the fighting in the East during those
-few days there might be further losses, but they were necessary in
-order to save hundreds of thousands of refugees.</p>
-
-<p class='pindent'>COL. POKROVSKY: You did not answer my question. I shall
-repeat it for the third time.</p>
-
-<p class='pindent'>THE PRESIDENT: He did answer; he said “yes,” that bloodshed
-would be caused. That is an answer to your question.</p>
-
-<p class='pindent'>COL. POKROVSKY: Thank you.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] I would like you to explain exactly
-the question of whether you look upon yourself, first and foremost,
-as a politician, or do you look upon yourself as a soldier who obeyed
-direct orders of his own superiors without any analysis of the
-political meaning and content of such orders?
-<span class='pageno' title='397' id='Page_397'></span></p>
-
-<p class='pindent'>DÖNITZ: I do not understand that question completely. As head
-of State, from 1 May on, I was a political man.</p>
-
-<p class='pindent'>COL. POKROVSKY: And before that time?</p>
-
-<p class='pindent'>DÖNITZ: Purely a soldier.</p>
-
-<p class='pindent'>COL. POKROVSKY: On 8 May 1946, at 1635 hours, in this room
-you mentioned, “As a soldier I did not have in mind such political
-considerations as might have been in existence.” On 10 May, at 1235
-hours, here, you said, when the question of submarine warfare was
-taken up, “All this concerns political aims; but I, as a soldier, was
-concerned with military problems.” Is that not so?</p>
-
-<p class='pindent'>DÖNITZ: Yes, it is quite correct. I said that before 1 May 1945
-I was purely a soldier. As soon as I became the head of State I relinquished
-the High Command of the Navy because I became the
-head of State and therefore a political personality.</p>
-
-<p class='pindent'>COL. POKROVSKY: Sir David Maxwell-Fyfe, about 15 minutes
-ago, addressed you also and referred to two documents, and in
-particular to Document GB-186, D-640; and he cited one sentence
-from this, one sentence which grossly contradicts what you said
-just now. You remember this sentence “idle chatter”?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I know exactly what you mean.</p>
-
-<p class='pindent'>COL. POKROVSKY: I want to ask you: How can you reconcile
-these two extremely contradictory statements, the statement about
-“idle chatter,” about the fact that the officer is not a politician. This
-statement took place on 15 February 1944, at the time when you
-were not the supreme head of the State. Is that not so?</p>
-
-<p class='pindent'>DÖNITZ: If a soldier during the war stands firmly behind his
-nation and his government, that does not make him a politician; that
-is said in that sentence and that was meant by that sentence.</p>
-
-<p class='pindent'>COL. POKROVSKY: All right. We will be more exact about
-whether this is really the fact. Several times, in a very definite
-manner, you testified here before the Tribunal that for many years
-before the war and during the war you were indoctrinating the
-Navy in the spirit of pure idealism and firm respect for the customs
-and laws of war. Is that so?</p>
-
-<p class='pindent'>DÖNITZ: Right; yes.</p>
-
-<p class='pindent'>COL. POKROVSKY: In particular, on 9 May, yesterday, at 1254
-hours, you said, “I educated the submarine fleet in the pure idealism
-and I continued such education during the war. It was necessary
-for me in order to achieve high fighting morale.” Five minutes later
-on the same day, you said, when speaking about the Navy, “I never
-would have tolerated that orders were given to these people which
-would be contradictory to such morale, and it is out of the question
-<span class='pageno' title='398' id='Page_398'></span>
-that I myself could have given such an order.” You acknowledge
-that those were your words, or approximately your words, allowing
-for the possible inexactness of translation; is that not so?</p>
-
-<p class='pindent'>DÖNITZ: Of course, that is what I said.</p>
-
-<p class='pindent'>COL. POKROVSKY: I would like you to take a look at the document
-which is in your possession now, the document presented by
-your defense counsel as Dönitz-91. In this document your defense
-counsel presents an excerpt from the testimony, the affidavit made
-by Dr. Joachim Rudolphi. In order not to waste the Tribunal’s time,
-I would like you to tell us briefly in one word, “yes” or “no,”
-whether Rudolphi is correct in his testimony; that you always
-strongly opposed the introduction into the German Armed Forces of
-the Hitlerite so-called “People’s Courts.” Did you understand me?</p>
-
-<p class='pindent'>DÖNITZ: I was against handing over legal cases from the Navy
-to other courts. I said that, if one bears the responsibility for a
-branch of the Armed Forces, one also must have court-martial
-jurisdiction. That is what it says.</p>
-
-<p class='pindent'>COL. POKROVSKY: And you are familiar with Rudolphi’s
-affidavit?</p>
-
-<p class='pindent'>DÖNITZ: Yes, I know it.</p>
-
-<p class='pindent'>COL. POKROVSKY: You remember that on the first page of that
-excerpt presented to the Tribunal it says:</p>
-
-<div class='blockquote'>
-
-<p>“Early in the summer of 1943, the first threatening attempt to
-undermine the nonpolitical jurisdiction of the Armed Forces
-was made.”</p>
-
-</div>
-
-<p class='pindent'>Is Rudolphi correct in explaining this question and is it true that
-you were against this attempt to introduce special political courts
-into the Navy and Armed Forces? Is that correct?</p>
-
-<p class='pindent'>DÖNITZ: According to my recollection, my resistance began in
-the summer 1943. It may be that already in the spring the jurisdiction
-of the Wehrmacht was threatened. That may be, but I did not
-learn of it.</p>
-
-<p class='pindent'>COL. POKROVSKY: Do you acknowledge, Dönitz, or not, that
-these so-called “People’s Courts” were to deal, as Rudolphi puts it,
-with anything that smacked, even remotely, of politics? That is his
-sentence which you can find on the first page of Document D-91.</p>
-
-<p class='pindent'>DÖNITZ: As I have already stated, my point of view was the
-following: I wanted to keep my soldiers under my own jurisdiction.
-I could not judge proceedings outside the Navy, because I did not
-know the legal procedure. My point was that my soldiers should
-remain with me and be sentenced by me.</p>
-
-<p class='pindent'>COL. POKROVSKY: For all kinds of crimes, including political
-crimes, is that not so? Did I understand you correctly?
-<span class='pageno' title='399' id='Page_399'></span></p>
-
-<p class='pindent'>DÖNITZ: Yes, I meant that; I have stated that I was of the
-opinion that they should remain under Navy jurisdiction.</p>
-
-<p class='pindent'>COL. POKROVSKY: Will you deny, Dönitz, that you were always
-preaching and always encouraging in every way the murder of
-defenseless people from among the members of the German Armed
-Forces for purely political reasons and that you always looked upon
-such murders as acts of military valor and heroism?</p>
-
-<p class='pindent'>DÖNITZ: I do not understand you. I do not know what you mean.</p>
-
-<p class='pindent'>COL. POKROVSKY: You did not understand my question?</p>
-
-<p class='pindent'>DÖNITZ: No, I have not understood the meaning of your question
-at all.</p>
-
-<p class='pindent'>COL. POKROVSKY: I can repeat it. Perhaps it will be clearer
-to you. I am asking you: Will you deny the fact that you preached
-in favor of the murder of members of the German Armed Forces,
-by other members of the German Armed Forces and purely for
-political reasons? Now, is the question clear to you?</p>
-
-<p class='pindent'>DÖNITZ: How do you come to ask this question?</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal does not find your question
-quite clear.</p>
-
-<p class='pindent'>COL. POKROVSKY: What I have in mind, My Lord, is the
-Order Number 19 for the Baltic Fleet, which in part was dealt with
-by Sir David Maxwell-Fyfe. There is one point of this order which
-elucidates, with absolute precision, the motives for publishing and
-promulgating this order. One idea is expressed there in a very clear
-manner—and with your permission I shall read one paragraph from
-this document. “One example”—it says in Order Number 19, last
-paragraph but one—“On the auxiliary cruiser <span class='it'>Cormoran</span>, which was
-used as a place of detention in Australia a warrant officer...”</p>
-
-<p class='pindent'>THE PRESIDENT: Which paragraph?</p>
-
-<p class='pindent'>COL. POKROVSKY: The last paragraph but one of Document
-D-650, Page 4 of the English text. I beg your pardon, Page 4 of the
-German text, and the last paragraph on the third page of the
-English copy.</p>
-
-<p class='pindent'>THE PRESIDENT: It was read already in cross-examination.</p>
-
-<p class='pindent'>COL. POKROVSKY: This particular part was not read in the
-cross-examination, and it is really very important for the case.</p>
-
-<p class='pindent'>THE PRESIDENT: We have just heard this very question, this
-very example, read by Sir David Maxwell-Fyfe, not half an hour ago.</p>
-
-<p class='pindent'>COL. POKROVSKY: But Sir David, in reading this example, did
-not read one particular sentence which is of great importance to me
-and which clarifies Dönitz’ position; and that is the reason why I
-<span class='pageno' title='400' id='Page_400'></span>
-permitted myself to come back to this particular passage. It is only
-one sentence which interests me.</p>
-
-<p class='pindent'>THE PRESIDENT: What sentence are you referring to?</p>
-
-<p class='pindent'>COL. POKROVSKY: The first sentence in the second paragraph
-from the end. It is the paragraph which begins, “One example: In a
-prisoner-of-war camp...”</p>
-
-<p class='pindent'>THE PRESIDENT: You are entirely wrong. He read the whole
-of the paragraph. Sir David Maxwell-Fyfe read the whole of the
-paragraph.</p>
-
-<p class='pindent'>COL. POKROVSKY: When, with your permission, I shall read
-these few words, then you will convince yourself, Sir, that these
-particular words were not read.</p>
-
-<p class='pindent'>THE PRESIDENT: Colonel Pokrovsky, I have a note in my notebook
-made at the time, which shows that the whole of this was read;
-that the defendant was cross-examined about the meaning of the
-word “communist”; and that he explained it by saying that he was
-referring to a spy among the crew who might give away submarine
-secrets. The whole matter was gone into fully by Sir David Maxwell-Fyfe,
-and the Tribunal does not wish to hear any more about it.</p>
-
-<p class='pindent'>COL. POKROVSKY: It is absolutely necessary for me to read
-two expressions from this sentence which were not read into the
-record here, and I ask your permission to read these two words.</p>
-
-<p class='pindent'>THE PRESIDENT: Which two words do you say were not read?
-State the two words.</p>
-
-<p class='pindent'>COL. POKROVSKY: “Systematically” and “unobtrusively,” that
-is, according to plan. They are not talking about one particular
-instance, but they are talking about the whole definite plan, about
-the system.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, but that was all read, Colonel Pokrovsky.
-You must have missed it.</p>
-
-<p class='pindent'>COL. POKROVSKY: I am not saying that Sir David has omitted
-that.</p>
-
-<p class='pindent'>THE PRESIDENT: That was read by Sir David Maxwell-Fyfe
-and put to the witness, to the defendant.</p>
-
-<p class='pindent'>COL. POKROVSKY: Perhaps Sir David may have accidentally
-omitted this, but it is really very important for me, because Dönitz
-testified here to the killing of only one spy; but what is really meant
-here is that there was a plan to exterminate all communists, or
-rather men who were supposed to be communists, according to the
-idea of some petty officer.</p>
-
-<p class='pindent'>THE PRESIDENT: It is exactly what Sir David Maxwell-Fyfe
-put to the witness. He said, “How can you say that this refers to a
-<span class='pageno' title='401' id='Page_401'></span>
-case of spies or one spy, when it is referring to all communists”?
-It is exactly the question he put to him.</p>
-
-<p class='pindent'>COL. POKROVSKY: Perhaps I did not understand quite correctly
-what our interpreter translated, but in our translation this was not
-mentioned.</p>
-
-<p class='pindent'>Then with your permission I will go to the next question.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Will you deny, Dönitz, that in this
-order, as the one example of high military valor—that military valor
-which serves as the basis or the reason for extraordinary promotion
-of noncommissioned officers and officers—you used, as one example,
-the treacherous and systematic murder of people for political
-reasons? Do you deny that this order was correctly understood?</p>
-
-<p class='pindent'>DÖNITZ: No, that is quite wrong. This order refers to one
-incident in a prisoner-of-war camp, and it should be considered in
-what serious dilemma the senior member of the camp found himself
-and that he acted in a responsible and correct manner by removing
-in the interests of our warfare as a traitor that communist who was
-at the same time a spy. It would have been easier for him if he had
-just let things take their course, which would have harmed the
-U-boats and caused losses. He knew that after his return home he
-would have to account for it. That is the reason why I gave this
-order.</p>
-
-<p class='pindent'>COL. POKROVSKY: Perhaps you will agree that the incidents,
-as you explain them now, are absolutely different from what is
-written in your order.</p>
-
-<p class='pindent'>THE PRESIDENT: I have already told you that the Tribunal
-does not wish to hear further cross-examination upon this subject.
-You are now continuing to do that, and I must draw your attention
-again clearly to the ruling of the Tribunal that the Tribunal will not
-hear further cross-examination upon this subject.</p>
-
-<p class='pindent'>COL. POKROVSKY: In the light of this document, I ask you
-how do you explain your statements about your alleged objections
-in principle to special political courts being introduced into the
-Navy, that is, the considerations in principle which were testified to
-by Dr. Rudolphi? How do you explain this contradiction?</p>
-
-<p class='pindent'>DÖNITZ: I did not understand what you said.</p>
-
-<p class='pindent'>COL. POKROVSKY: You say here that the document does not
-deal with political acts, whereas the order is formulated very
-precisely and Dr. Rudolphi testified to the fact that you were against
-introducing political courts into the Army and the Navy. Obviously
-there is a contradiction in terms here, and I would like to have this
-contradiction explained.
-<span class='pageno' title='402' id='Page_402'></span></p>
-
-<p class='pindent'>DÖNITZ: I do not see any contradiction, because Dr. Rudolphi
-says that I was against handing over legal cases to courts outside of
-the Navy and because the case of the <span class='it'>Cormoran</span> deals with an action
-by the senior camp member, far away in a prisoner-of-war camp in
-a foreign land. He decided on this action only after grave deliberation,
-knowing that at home he would have to answer for it
-before a military court. He did this because he considered it
-necessary, in the interests of the conduct of the war, to stop the loss
-of submarines by treason. Those are two entirely different things.
-Here we deal with an individual case in the <span class='it'>Cormoran</span> camp.</p>
-
-<p class='pindent'>COL. POKROVSKY: What you are testifying to now is a
-repetition of what you said before; and, as you heard, the Tribunal
-does not want to listen to it any more. This is really not an answer
-to my question.</p>
-
-<p class='pindent'>DÖNITZ: Yes. In answering your question I cannot say anything
-but the truth, and this is what I have done.</p>
-
-<p class='pindent'>COL. POKROVSKY: Of course our ideas of truth may be
-altogether different. I, for instance, look upon this question in an
-altogether different manner. This fact...</p>
-
-<p class='pindent'>DÖNITZ: Will you excuse me. I am under oath here, and you
-do not want to accuse me of telling an untruth, do you?</p>
-
-<p class='pindent'>COL. POKROVSKY: We are not talking about false testimony,
-but we are talking about a different approach to the idea of truth.
-I, for instance, consider that by this order you revealed yourself as
-a real...</p>
-
-<p class='pindent'>DÖNITZ: No, I cannot agree with that.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you kindly put the question if you want
-to put a question?</p>
-
-<p class='pindent'>COL. POKROVSKY: I want to ask him one question, My Lord,
-and I must explain to him why I am asking this question.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] I consider this order a revelation of
-your loyalty, your fanatical loyalty, to fascism; and in this connection
-I want to ask you whether you consider that it was because
-of the fact that you showed yourself to be a fanatical follower of
-fascism and fascist ideas that Hitler chose you to be his successor—because
-you were known to Hitler as a fanatical follower who was
-capable of inciting the Army to any crime in the spirit of the
-Hitlerite conspirators and that you would still call these crimes pure
-idealism. Do you understand my question?</p>
-
-<p class='pindent'>DÖNITZ: Well, I can only answer to that that I do not know. I
-have already explained to you that the legitimate successor would
-have been the Reich Marshal; but through a regrettable misunderstanding
-a few days before his appointment, he was no longer in the
-<span class='pageno' title='403' id='Page_403'></span>
-game, and I was the next senior officer in command of an independent
-branch of the Wehrmacht. I believe that was the determining
-factor. That fact that the Führer had confidence in me may also
-have had something to do with it.</p>
-
-<p class='pindent'>COL. POKROVSKY: The Soviet Prosecution, My Lord, has no
-more questions to ask of this defendant.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, do you want to re-examine?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should like to put a few
-more questions, Mr. President.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] Admiral, during the cross-examination
-by Sir David you were asked about your knowledge of conditions
-in concentration camps; and you wanted to make an
-additional statement, which you could not do at the time. What
-personal connections did you have with any inmates of concentration
-camps, or did you have any connections at all?</p>
-
-<p class='pindent'>DÖNITZ: I had no connections with anybody who had been sent
-to a concentration camp; with the exception of Pastor Niemöller.
-Pastor Niemöller was a former comrade of mine from the Navy.
-When my last son was killed, he expressed his sympathy; and on
-that occasion I asked him how he was.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When was that?</p>
-
-<p class='pindent'>DÖNITZ: That was in the summer of 1944, and I received the
-answer that he was all right.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you write him
-directly, or how did it happen?</p>
-
-<p class='pindent'>DÖNITZ: No. I received this information through a third person.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was that the only
-message you received from a concentration camp?</p>
-
-<p class='pindent'>DÖNITZ: The only one I received.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the cross-examination
-a report by Captain Assmann was presented about a conference
-with the Führer in May 1943. You remember its contents. You are
-alleged to have said that in view of the present naval war situation,
-it was desirable that Germany should get possession of Spain and
-Gibraltar. Did you make a positive suggestion in that direction?
-One cannot see that from the document.</p>
-
-<p class='pindent'>DÖNITZ: Of course, when I discussed the situation, I mentioned
-the danger of the narrow strip along the Bay of Biscay; and I said
-that it would be more favorable to us if we could start our U-boats
-from a wider area. At that time nobody even contemplated a move
-against Spain, either with the consent of Spain or in the form of an
-attack. It was quite obvious that our forces were in no way sufficient
-<span class='pageno' title='404' id='Page_404'></span>
-for that. On the other hand, it is quite understandable that, in
-showing my concern about that narrow strip, I should say that it
-would have been better if the area had been larger. That is what I
-meant by that statement. I was referring to U-boat warfare and
-not to any move against Spain on land. It certainly would have
-been impossible for me as a naval officer to make a suggestion to
-attack Spain.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In connection with the
-sinking of the <span class='it'>Athenia</span> it has been hinted that your statement was
-considered an excuse; that is, that the commanding officer of the
-submarine confused the <span class='it'>Athenia</span> with an auxiliary cruiser. Therefore,
-I should like to put to you an excerpt from the war diary of
-the officer commanding in that action and I want you to confirm
-that it is really by the same commanding officer. I shall read from
-the document of the Prosecution, Exhibit GB-222, on Page 142 of
-my document book, Volume III. It is the war diary of the submarine
-U-30. The excerpt is dated 11 September 1939, Page 142 in document
-book, Volume III.</p>
-
-<div class='blockquote'>
-
-<p>“Sighted a blacked-out vessel. Got on its trail. In zigzag
-course recognized as merchant ship. Requested to stop by
-morse lantern. Steamer signals ‘not understood,’ tries to
-escape in the thick squall and sends out SOS ‘chased by submarine’
-and position by radiotelegraphy.</p>
-
-<p>“Gave ‘stop’ signal by radio and morse lantern.</p>
-
-<p>“Ran ahead. First 5 shots with machine gun C/30 across the
-bow. Steamer does not react. Turns partly, about 90°, directly
-toward the boat. Sends ‘still chased.’ Therefore, fire opened
-from aft bearing with 8.8 cm. English steamer <span class='it'>Blairlogie</span>,
-4,425 tons.</p>
-
-<p>“After 18 shots and three hits, steamer stops. Crew boards
-boats. Last message by radio, ‘Shelled, taking to boats.’ Fire
-immediately ceased when emergency light was shown and
-steamer stopped.</p>
-
-<p>“Went over to lifeboats, gave orders to pull away toward
-south. Steamer sunk by torpedo. Afterwards both boat crews
-supplied with Steinhäger and cigarettes. 32 men in two boats.
-Fired red stars until dawn. Since American steamer, <span class='it'>American
-Skipper</span>, was nearby, we departed. Crew was rescued.”</p>
-
-</div>
-
-<p class='pindent'>Can you confirm, Admiral, that this was an entry by the same
-commanding officer who nine days before had torpedoed the
-<span class='it'>Athenia</span>?</p>
-
-<p class='pindent'>DÖNITZ: Yes, that is the same commander of the same operation
-who shortly before had committed this error.
-<span class='pageno' title='405' id='Page_405'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the cross-examination
-it was once more maintained, and very definitely, that you had sent
-an order to destroy to the commanders. I should like to put to you
-a letter which is signed by various U-boat commanders. You know
-the letter and know the signatures, and I should like to ask you to
-tell me whether the U-boat commanders who signed were taken
-prisoner before September 1942, that is, before your alleged orders
-to destroy, or whether they were captured afterwards.</p>
-
-<p class='pindent'>I am reading from the document book, Volume II, Page 99,
-Dönitz-53, which I submit to the Tribunal. It is addressed to the
-camp commander of the prisoner-of-war camp, Camp 18, in the
-Featherstone Park camp in England. I received it through the
-British War Ministry and the General Secretary of the Court. I read
-under the date of 18 January 1946, and the text is as follows:</p>
-
-<div class='blockquote'>
-
-<p>“The undersigned commanders, who are now here in this
-camp and whose U-boats were active on the front, wish to
-make the following statement before you, Sir, and to express
-the request that this statement should be forwarded to the
-International Military Tribunal in Nürnberg.</p>
-
-<p>“From the press and radio we learn that Grossadmiral Dönitz
-is charged with having issued the order to destroy survivors
-from the crews of torpedoed ships and not to take any
-prisoners. The undersigned state under oath that neither in
-writing nor orally was such an order ever given by Grossadmiral
-Dönitz. There was an order that for reasons of
-security of the boat, because of increased danger through
-defense measures of all kinds, we were not to surface after
-torpedoing. The reason for that was that experience had
-shown that if the boat surfaced for a rescue action, as was
-done in the first years of the war, we had to expect our own
-destruction. This order could not be misunderstood. It has
-never been regarded as an order to annihilate shipwrecked
-crews.</p>
-
-<p>“The undersigned declare that the German Navy has always
-been trained by its leaders to respect the written and unwritten
-laws and rules of the sea. We have always regarded it as
-our honor to obey these laws and to fight chivalrously while
-at sea.”</p>
-
-</div>
-
-<p class='pindent'>Then come the signatures of 67 German submarine commanders
-who are at present prisoners of war in British hands.</p>
-
-<p class='pindent'>I ask you, Admiral—you know these signatures—were these commanders
-captured before September 1942 or after September 1942?</p>
-
-<p class='pindent'>DÖNITZ: Most of them beyond doubt were made prisoner after
-September 1942. In order to examine that exactly from both sides,
-<span class='pageno' title='406' id='Page_406'></span>
-I should like to see the list again. But most of them beyond doubt
-were captured after September 1942.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is enough. I have
-no further questions.</p>
-
-<p class='pindent'>DR. LATERNSER: Mr. President, I should like to clarify only
-one point which came up during the cross-examination.</p>
-
-<p class='pindent'>Admiral, during the cross-examination you have stated that you
-were present at the situation conferences on 19 and 20 February
-1945, and you said...</p>
-
-<p class='pindent'>DÖNITZ: No, that this date...</p>
-
-<p class='pindent'>DR. LATERNSER: I made a note of it and you will recognize the
-conference at once. During the situation conference of 19 February,
-Hitler is alleged to have made the suggestion to leave the Geneva
-Convention. I ask you now to tell me: Which high military leaders
-were present during that situation conference?</p>
-
-<p class='pindent'>DÖNITZ: I believe there is a mistake here. I did not hear this
-question or suggestion of the Führer from his own lips, but I was
-told about it by a naval officer who regularly took part in these
-situation conferences. Therefore I do not know for certain whether
-the date is correct, and I also do not know who was present when
-the Führer first made that statement. In any case, I remember the
-matter was again discussed the next day or two days later; and then
-I believe the Reich Marshal, and of course Jodl and Field Marshal
-Keitel, were present. At any rate, the whole of the Wehrmacht were
-unanimously against it; and to my recollection, the Führer, because
-he saw our objection, did not come back to this question again.</p>
-
-<p class='pindent'>DR. LATERNSER: Thank you. I have no further questions.</p>
-
-<p class='pindent'>THE PRESIDENT: The defendant can return to the dock.</p>
-
-<p class='pindent'>[<span class='it'>The defendant left the stand.</span>]</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, after the
-experience of the cross-examination of today, I consider it proper
-to submit my documents to the Tribunal now, if it pleases the
-Tribunal, before I call further witnesses. I believe that I can thereby
-shorten the questioning of the witness and that it will be more easily
-understood.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well, Dr. Kranzbühler.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: May I first remind the
-Tribunal that the Prosecution Exhibits GB-224 and GB-191 contain
-the same general accusations against U-boat warfare as are referred
-to in many of my following documents. The documents dealing with
-these general accusations are in Document Books 3 and 4.
-<span class='pageno' title='407' id='Page_407'></span></p>
-
-<p class='pindent'>First, I submit Document Dönitz-54 which contains the German
-declaration of adherence to the London Submarine Protocol. I do
-not need to read it because it has already been mentioned repeatedly.</p>
-
-<p class='pindent'>Then, I ask the Tribunal to take judicial notice of the German
-Prize Ordinance, an excerpt of which can be found on Page 137. I
-should like to point out that Article 74 agrees word for word with
-the regulations of the London Protocol.</p>
-
-<p class='pindent'>May I point out at the same time that, as shown on Page 138, this
-Prize Ordinance was not signed by the Commander-in-Chief of the
-Navy. That is a contribution to the question as to whether the Commander-in-Chief
-of the Navy was a member of the Reich Government.
-He had no authority to sign this ordinance.</p>
-
-<p class='pindent'>The next document which I submit is Dönitz-55. That is the
-order of 3 September 1939, with which the U-boats entered the war.
-I do not know whether these documents are so well known to the
-Tribunal that I need merely sum them up or whether it is better to
-read parts of them.</p>
-
-<p class='pindent'>THE PRESIDENT: I think you might mention them together,
-really, specifying shortly what they relate to.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes. The order of 3 September
-directs the boats to pay strict attention to all the rules of
-naval warfare. It orders the war to be conducted according to the
-Prize Ordinance. Furthermore, it provides for a preparatory order
-for the intensification of economic warfare, because of the arming
-of enemy merchant ships. This order is on Page 140. Since I shall
-refer to that later when examining a witness, I need not read
-it now.</p>
-
-<p class='pindent'>I should like to read to the Tribunal from an English document,
-to show that the boats were really acting according to these orders.
-It is Exhibit Number GB-191. It is in the original on Page 5,
-Mr. President. That sentence is not in the English excerpt, and that
-is why I will read it in English from the original:</p>
-
-<div class='blockquote'>
-
-<p>“Thus the Germans started with the Ordinance which was, at
-any rate, a clear, reasonable, and not inhuman document.</p>
-
-<p>“German submarine commanders, with some exceptions,
-behaved in accordance with its provisions during the first
-months of the war. Indeed, in one case, a submarine had
-ordered the crew of a trawler to take to their boat as the ship
-was to be sunk. But when the commander saw the state of the
-boat, he said: ‘Thirteen men in that boat! You English are no
-good, sending a ship to sea with a boat like that.’ And the
-skipper was told to re-embark his crew on the trawler and
-make for home at full speed, with a bottle of German gin and
-the submarine commander’s compliments.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='408' id='Page_408'></span></p>
-
-<p class='pindent'>That is an English opinion taken out of a document of the Prosecution.</p>
-
-<p class='pindent'>My next document is Dönitz-56, an excerpt from the War Diary
-of the Naval Operations Staff of 9 September 1939, on Page 141.</p>
-
-<div class='blockquote'>
-
-<p>“English information office disseminates the news through
-Reuters that Germany has opened total U-boat warfare.”</p>
-
-</div>
-
-<p class='pindent'>Then, as Dönitz-57, on Page 143, I should like to submit to the
-Tribunal an account of the experiences which the Naval Operations
-Staff had in U-boat warfare up to that date. It is an entry of
-21 September 1939 in the War Diary of the Naval Operations Staff.
-I read under Figure 2:</p>
-
-<div class='blockquote'>
-
-<p>“The commanders of U-boats which have returned report the
-following valuable experiences:</p>
-
-<p>“...(b) English, partly also neutral steamers, sharp zigzags,
-partly blacked-out. English steamers, when stopped, immediately
-radio SOS with exact position. Thereupon English planes
-come in to fight U-boats.</p>
-
-<p>“(c) English steamers have repeatedly tried to escape. Some
-steamers are armed, one steamer returned fire.</p>
-
-<p>“(d) Up to now no cases of abuse by neutral steamers.”</p>
-
-</div>
-
-<p class='pindent'>The document on Page 144 of the document book is already in
-evidence. It is an excerpt from Exhibit GB-222, war diary of the
-U-boat U-30, of 14 September. I will only read a few sentences
-from the beginning:</p>
-
-<div class='blockquote'>
-
-<p>“Smoke clouds. Steamer on sharp zigzag course. Easterly
-course. Ran towards her. When recognized, turns to counter-course
-and signals SOS.</p>
-
-<p>“English steamer <span class='it'>Fanad Head</span>, 5200 tons, bound for Belfast.</p>
-
-<p>“Pursued at full speed. Since steamer does not react to order
-to stop, one shot fired across her bows from a distance of
-2,000 meters. Steamer stops. Crew takes to the boats. Boats
-pulled out of the danger zone.”</p>
-
-</div>
-
-<p class='pindent'>I summarize the following: It shows how the U-boat, as a result
-of the wireless message from the steamer, was attacked by airplanes,
-what difficulties it had in getting the prize crew on board again,
-and how, in spite of the bombing attacks of the planes, it did not
-sink the steamer until two English officers who were still on deck
-had jumped overboard and had been rescued by the U-boat. The
-depth charge pursuit lasted for ten hours.</p>
-
-<p class='pindent'>The next document, Dönitz-58, shows that merchant ships acted
-aggressively against U-boats; and that also is an excerpt from the
-War Diary of the Naval Operations Staff. I read the entry of
-24 September:
-<span class='pageno' title='409' id='Page_409'></span></p>
-
-<div class='blockquote'>
-
-<p>“Commander, Submarine Fleet, reports that on 6 September
-the English steamer <span class='it'>Manaar</span>, on being told to stop by <span class='it'>U-38</span>
-after a warning shot, tried to escape. Steamer sent wireless
-message and opened fire from rear gun. Abandoned ship only
-after four or five hits, then sank it.”</p>
-
-</div>
-
-<p class='pindent'>Then, another message of 22 September:</p>
-
-<div class='blockquote'>
-
-<p>“English reports that, when the English steamer <span class='it'>Akenside</span>
-was sunk, a German U-boat was rammed by a steam trawler.”</p>
-
-</div>
-
-<p class='pindent'>From the document of the Prosecution, Exhibit GB-193, which is
-copied on Page 147, I should only like to point out the opinion from
-the point of view of the Naval Operations Staff as to radio messages.
-I read from Figure 2, two sentences, beginning with the second:</p>
-
-<div class='blockquote'>
-
-<p>“In almost every instance English steamers, on sighting
-U-boats, have sent out wireless SOS messages and given their
-positions. Following these SOS messages from the ship,
-after a certain time English airplanes always appeared which
-makes it clear that with the English it is a matter of a military
-measure and organized procedure. The SOS call together
-with the giving of the position may therefore be considered
-as the giving of military information, even as resistance.”</p>
-
-</div>
-
-<p class='pindent'>The next document, Dönitz-59, shows the approval of the entry
-submitted by the Commander of the Submarine Fleet that ships
-which used their wireless when stopped should be sunk. I read the
-entry of 24 November 1939. It is quite at the bottom, Figure 4:</p>
-
-<div class='blockquote'>
-
-<p>“On the basis of the Führer’s approval, the following order is
-given to Groups and Commander, Submarine Fleet:</p>
-
-<p>“4) Armed force should be employed against all merchant
-vessels using wireless when ordered to stop. They are subject
-to seizure or sinking without exception. Efforts should be
-made to rescue the crew.”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 11 May 1946, at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='410' id='Page_410'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-SEVENTH DAY</span><br/> Saturday, 11 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I continue
-to submit documents concerning naval warfare. My next document
-is printed on Page 149 of Document Book Number 3. It is a declaration
-of 26 September 1939 by the British First Lord of the Admiralty
-concerning the arming of the British merchant fleet. In this declaration
-he announces that within a short time the entire British
-merchant fleet will be armed. Then he speaks about the training of
-the crews, and in conclusion he thanks his predecessors for the care
-with which they prepared that work before the beginning of the war.</p>
-
-<p class='pindent'>I submit Document Dönitz-60. Dönitz-60 is a large collection of
-documents concerning laws of naval warfare. It contains altogether
-550 documents. In accordance with the request of the President, I
-have given special numbers to the later documents.</p>
-
-<p class='pindent'>I come now to some documents which deal with the treatment of
-ships which acted suspiciously and were for that reason attacked by
-U-boats. The first document of this series is Dönitz-61, Page 150. It
-is a warning to neutral shipping against suspicious tactics. That
-warning was sent in a note to all neutral missions. At the end it
-points out that ships should avoid being mistaken for enemy
-warships or auxiliary cruisers, especially during the night. There is
-a warning against all suspicious tactics, for instance, changing
-course, use of wireless on sighting German naval forces, zig-zagging,
-blacking-out, not stopping upon demand, and the acceptance of
-enemy escort.</p>
-
-<p class='pindent'>That warning is repeated in Document Dönitz-62, which is on
-Page 153, a renewed note of 19 October 1939 to the neutral governments.
-Document 63 is an example of how a neutral government,
-namely the Danish Government, in accordance with the German
-notes, warned its merchant shipping against suspicious conduct. It
-is found on Page 154. I should like to remind you again that the
-first warning was given on 28 September.</p>
-
-<p class='pindent'>My next Document, Dönitz-64, shows that on 2 October the order
-was issued to the submarines to attack blacked-out vessels in certain
-operational areas close to the British coast. That order is particularly
-significant in view of the cross-examination of yesterday
-<span class='pageno' title='411' id='Page_411'></span>
-where the question was put as to whether an order of that kind had
-been issued at all, or whether that subject was transmitted to the
-commanders orally with instructions to falsify their logs. I read
-the order of 2 October 1939 on Page 155.</p>
-
-<div class='blockquote'>
-
-<p>“Order by the SKL (Naval Operations Staff) to the Front:</p>
-
-<p>“Inasmuch as it must be assumed that blacked-out vessels
-encountered on the English and French coasts are warships or
-auxiliary warships, full armed action is authorized against
-blacked-out vessels in the following waters.”</p>
-
-</div>
-
-<p class='pindent'>An area around the British coast follows. The excerpt under it
-is taken from the War Diary of Commander of Submarines of the
-same date and shows the transmission of this order to the submarines.</p>
-
-<p class='pindent'>The readiness of British merchant shipping to commit aggression
-against German submarines is motivated or furthered by the next
-document which I am going to show. It is numbered Dönitz-101 and
-is on Page 156. The old number was Dönitz-60, Mr. President. It
-is an announcement by the British Admiralty, which I will read:</p>
-
-<div class='blockquote'>
-
-<p>“The British Admiralty circulated the following warning to
-the British merchant marine on 1 October:</p>
-
-<p>“Within the last few days some German U-boats have been
-attacked by British merchant marine vessels. In this connection
-the German radio announces that the German U-boats
-have so far observed the rules of international law in warning
-the merchant marine vessels before attacking them.</p>
-
-<p>“Now, however, Germany intends to retaliate by considering
-every British merchant marine vessel as a warship. While the
-first-mentioned fact is absolutely untrue, it may indicate an
-immediate change in the policy of German submarine warfare.</p>
-
-<p>“Be prepared to meet it. Admiralty.”</p>
-
-</div>
-
-<p class='pindent'>On Page 157 there is a second report of the same date. “The
-British Admiralty announces that German submarines are pursuing
-a new strategy. English boats are called upon to ram every German
-submarine.”</p>
-
-<p class='pindent'>The next document, Dönitz-65, contains orders issued as a result
-of the armament of, and armed resistance by, merchant vessels. I
-read the order of 4 October 1939, which was issued by the SKL to
-the Front.</p>
-
-<div class='blockquote'>
-
-<p>“Immediate attack in any manner available is permitted submarines
-against enemy merchant vessels which are obviously
-armed or have been proclaimed as such on the basis of conclusive
-evidence received by the Naval Operations Staff. As
-far as circumstances permit, measures are to be taken to save
-the crew after every possibility of danger for the submarine
-<span class='pageno' title='412' id='Page_412'></span>
-has been eliminated. Passenger ships not used to transport
-troops are still not to be attacked, even if armed.”</p>
-
-</div>
-
-<p class='pindent'>The excerpt below shows the transmission of the order to the
-submarines. The experiences gained in the war up to that period are
-summarized in a document on Page 159, which is an excerpt from
-the Prosecution’s Exhibit GB-196, “Standing War Order 171,” by
-Commander of Submarines. I should only like to read from Paragraph
-4, the first sentence:</p>
-
-<div class='blockquote'>
-
-<p>“Tactics of Enemy Merchant Vessels. The following instructions
-have been issued for British shipping...”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: What is the date of this document?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The document was issued
-before May 1940. I shall have to call on a witness to give the correct
-date, Mr. President; I assume it was in October 1939:</p>
-
-<div class='blockquote'>
-
-<p>“The British Merchant Navy has received the following instructions:</p>
-
-<p>“(a) To fight every German submarine with all the means at
-hand, to ram it or attack it with depth charges, if equipped
-to do so.”</p>
-
-</div>
-
-<p class='pindent'>Further details follow.</p>
-
-<p class='pindent'>Experiences drawn, from the entire operations of the British
-Merchant Service are summarized in the next document in an order.
-It has been numbered Dönitz-66, and is on Page 161. I shall read
-the order, which is dated 17 October 1939:</p>
-
-<div class='blockquote'>
-
-<p>“At 1500 hours the following order was issued to Commander
-of Submarines:</p>
-
-<p>“Submarines are permitted immediate and full use of armed
-force against all merchant vessels recognizable with certainty
-as being of enemy nationality, as in every case attempts to
-ram or other forms of active resistance may be expected.
-Exceptions to be made as hitherto in the case of enemy
-passenger boats.”</p>
-
-</div>
-
-<p class='pindent'>On Page 162 I have reproduced another part of Document
-Dönitz-62, which has been submitted already. It is a note to the
-neutral countries dated 22 October 1939, defining conduct on the
-part of ships which is, according to German opinion, incompatible
-with the peaceful character of a merchant ship. I read from the long
-paragraph, the second sentence:</p>
-
-<div class='blockquote'>
-
-<p>“According to previous experiences such tactics may be expected
-with certainty from English and French boats, particularly
-when sailing in convoys: inadmissible use of wireless,
-sailing without lights, and in addition armed resistance and
-aggressive action.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='413' id='Page_413'></span></p>
-
-<p class='pindent'>In the next, the German Government warns neutral nations
-against the use of enemy ships for this reason. The German orders
-were issued in consequence of the experiences gained by our U-boats.</p>
-
-<p class='pindent'>I have already submitted the next document, Dönitz-67, on
-Page 163 <span class='it'>et sequentes</span> and I only wish to explain on the basis of a
-report made by the British Admiralty, which is on Page 163, that
-the orders for merchant shipping were published in the <span class='it'>Handbook
-for the Defense of Merchant Ships</span> of January 1938—they were issued
-before the war.</p>
-
-<p class='pindent'>Now I come to several documents dealing with the treatment of
-passenger ships. They have an important bearing on the <span class='it'>Athenia</span>
-case, since the <span class='it'>Athenia</span> was a passenger ship.</p>
-
-<p class='pindent'>Document Dönitz-68 presents some evidence on the treatment of
-passenger ships. First comes an order issued on 4 September 1939,
-which I should like to read:</p>
-
-<div class='blockquote'>
-
-<p>“On the Führer’s orders, no hostile action is to be taken
-against passenger ships for the time being, even when in
-convoy.”</p>
-
-</div>
-
-<p class='pindent'>The next excerpt from the same page contains reports on the
-use of passenger ships as troop transports.</p>
-
-<p class='pindent'>I will now read an excerpt from the Directives for the Conduct
-of the War against Merchant Shipping, from October to the middle
-of November 1939, Page 3. As the fullest possible use was made
-of enemy passenger boats for the transport of troops, it was no
-longer possible to justify their being spared, at least when they
-were sailing in convoy. The following order was issued on 29 October:
-I will read the order, which is dated 29 October. It is at the
-bottom of the page:</p>
-
-<div class='blockquote'>
-
-<p>“Passenger liners in enemy convoys may be subjected to immediate
-unrestricted armed attack by U-boats.”</p>
-
-</div>
-
-<p class='pindent'>The next document, Dönitz-69, on Page 170, is to show that in
-November and December the German press issued a warning against
-the use of armed passenger ships by publishing lists of these ships.</p>
-
-<p class='pindent'>The next document is Dönitz-70, on Page 171. It is an order
-issued on 7 November 1939 by the SKL to Commander of U-boats.
-I read the order:</p>
-
-<div class='blockquote'>
-
-<p>“U-boats are permitted to attack immediately with all weapons
-at their command all passenger ships which can be identified
-with certainty as enemy ships and whose armament is detected
-or is already known.”</p>
-
-</div>
-
-<p class='pindent'>That was about 6 weeks after permission to attack other armed
-ships had been given.</p>
-
-<p class='pindent'>Dönitz-71 shows that the U-boats were also not permitted to
-attack blacked-out passenger ships until as late as 23 February 1940,
-<span class='pageno' title='414' id='Page_414'></span>
-5 months—no, 4 months—after they were given permission to attack
-other ships.</p>
-
-<p class='pindent'>Now I come to the Prosecution’s Exhibit GB-224, which is reproduced
-on Pages 199 to 203 in Volume IV of my document book. I
-should like to emphasize again that the object of this document was
-to incriminate Admiral Raeder in particular; and that it was described
-by the Prosecution as a cynical denial of international law.
-I should like to point out, to begin with, that according to the title
-it concerns deliberations by the Naval Operations Staff on the possibilities
-of intensifying economic warfare against England. I shall
-read a few paragraphs, or give a short account of them, to show
-that a very thorough investigation of international law was made.
-The first paragraph is headed “War Aims.”</p>
-
-<div class='blockquote'>
-
-<p>“The Führer’s proposal to restore a just and honorable peace
-and establish a new political order in Central Europe has
-been rejected. The enemy powers want war, with Germany’s
-destruction as the goal. In the struggle in which Germany
-is now forced to defend her existence and rights, Germany
-must employ her weapons ruthlessly while fully respecting
-the rules of soldierly conduct in warfare.”</p>
-
-</div>
-
-<p class='pindent'>Then there follows a paragraph in which it is stated that the
-enemy is also ruthless in carrying out his plans. On the next page,
-Page 200, there are a few sentences of basic importance which I
-should like to read. I read from the paragraph “Military Requirements”
-the fourth sentence:</p>
-
-<div class='blockquote'>
-
-<p>“It is still desirable to base military measures on the existing
-principle of international law; but military measures recognized
-as necessary must be taken if they seem likely to
-lead to decisive military successes, even if they are not
-admitted by international law. For that reason, the military
-weapon which effectively breaks the enemy’s powers of
-resistance must on principle be given a legal base, even if
-new rules of naval warfare have to be created for the purpose.</p>
-
-<p>“After weighing political, military, and economic considerations
-with regard to the war as a whole, Supreme War
-Command must decide on the military procedure and legal
-rules of warfare to be applied.”</p>
-
-</div>
-
-<p class='pindent'>Then there are a number of excerpts to show the way in which
-the Naval Operations Staff investigated the legal aspect of the
-situation; that is to say, the present legal aspect of the situation,
-the situation which would arise in the case of a siege of England
-or a blockade against England. The end, which is on Page 203,
-emphasizes the political character of the final decision. I shall
-read it:
-<span class='pageno' title='415' id='Page_415'></span></p>
-
-<div class='blockquote'>
-
-<p>“The decision as to the form to be taken by the intensification
-of economic warfare and the time fixed for changing over to
-the most intensified and therefore final form of naval warfare
-in this war is of far-reaching political importance. It can be
-made only by the Supreme War Command, which will weigh
-the military, political, and economic requirements against
-each other.”</p>
-
-</div>
-
-<p class='pindent'>I should like to add that this document is dated 15 October 1939.</p>
-
-<p class='pindent'>At the end of November 1939 the Naval Operations Staff took
-the consequent...</p>
-
-<p class='pindent'>THE PRESIDENT: In our document it is 3 November. You said
-just now it was some date in October.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: 15 October, Mr. President.
-It is a memorandum dated 15 October, which was submitted.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, I thought you were dealing with Exhibit
-GB-224. That is the one you have been reading just now.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: That is headed on our Page 199, 3 November
-1939.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. The
-3rd of November is the date on which the memorandum was
-distributed to the High Command of the Armed Forces and to the
-Foreign Office. I have just been told that in the English text, above
-the word “Memorandum,” the date is apparently not printed. In the
-original it says, right above the word “Memorandum,” “Berlin,
-15 October 1939.”</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have already submitted
-Document Dönitz-73, on Page 206, in which neutrals are warned
-against entry into the zone which corresponds to the American
-combat zone declared by President Roosevelt on 4 November.</p>
-
-<p class='pindent'>The German point of view, that entry into this zone constitutes
-a danger to all neutrals by their own action, was also published in
-the press. Therefore, I submit Document Dönitz-103 on Page 210.
-It is an interview given by Admiral Raeder to a representative of
-the National Broadcasting Company, New York, on 4 March 1940.
-I should like to read a few sentences from that document. In the
-second paragraph Admiral Raeder points out the danger existing
-for neutral merchant ships if they act in a warlike manner and are
-consequently taken for enemy ships. The last sentence of that
-paragraph reads:
-<span class='pageno' title='416' id='Page_416'></span></p>
-
-<div class='blockquote'>
-
-<p>“The German standpoint may be concisely expressed by the
-formula: Whoever depends on the use of arms must be prepared
-for attack by arms.”</p>
-
-</div>
-
-<p class='noindent'>I shall read the two last paragraphs:</p>
-
-<div class='blockquote'>
-
-<p>“In discussing the possibility that there might be frequent
-differences of opinion, the Commander-in-Chief of the Navy
-mentioned President Roosevelt’s order prohibiting American
-shipping in the dangerous zones around England. He said,
-‘This prohibition is the best proof against England’s practice
-of forcing neutrals to sail through these zones without being
-able to guarantee their security. Germany can only advise
-all neutrals to imitate the policy of your President.’</p>
-
-<p>“Question: ‘Thus, according to this state of affairs, there is no
-protection for neutral shipping in the war-endangered zones?’</p>
-
-<p>“Answer: ‘Probably not, so long as England adheres to her
-methods....’ ”</p>
-
-</div>
-
-<p class='pindent'>With the collapse of France, the entire U.S.A. combat zone was
-declared a German blockade area. That is shown by the next document,
-Dönitz-104, Page 212. I read from the middle of the long
-paragraph on that page:</p>
-
-<div class='blockquote'>
-
-<p>“The entire sea area around England has thus become a
-theater of operations. Every ship sailing this zone runs the
-risk of being destroyed not only by mines but also by other
-combat means....”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, did you call that Exhibit
-Dönitz-60 or...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That was originally also
-one of the documents from Dönitz-60, Mr. President, to which I
-have now given a new number. It is now Dönitz-104.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, thank you.</p>
-
-<div class='blockquote'>
-
-<p>FLOTTENRICHTER KRANZBÜHLER: “Every ship sailing
-this zone runs the risk of being destroyed not only by mines
-but also by other combat means. For that reason the German
-Government issues a fresh and most urgent warning against
-sailing in the danger zone.”</p>
-
-</div>
-
-<p class='pindent'>At the end of the note, the German Government refuses to
-assume any responsibility for damage or loss incurred in this area.</p>
-
-<p class='pindent'>I produce as the next document, on Page 214, with the new Exhibit
-Number Dönitz-105, an official German statement made on
-the occasion of the announcement of the total blockade of 17 August
-1940. I only want to mention it.
-<span class='pageno' title='417' id='Page_417'></span></p>
-
-<p class='pindent'>I now come to several documents dealing with the treatment
-of neutrals outside the declared danger zones. As the first document,
-I submit, on Page 226, an excerpt of the Prosecution’s Exhibit
-GB-196. It is a standing war order from the Commander of U-boats
-which was also issued before May 1940. I read the first sentences:</p>
-
-<div class='blockquote'>
-
-<p>“Not to be sunk are:</p>
-
-<p>“(a) All ships readily recognized as neutral so long as they
-do not (1) move in any enemy convoy, (2) move into a declared
-danger zone.”</p>
-
-</div>
-
-<p class='pindent'>The next document, Dönitz-76, Page 227, shows the concern of
-the Naval Operations Staff that the neutrals should really be recognizable
-as such. I read the first sentences of the entry of 10 January
-1942:</p>
-
-<div class='blockquote'>
-
-<p>“In view of the further extension of the war, the Naval
-Operations Staff has asked the Foreign Office to point out
-again to the neutral seafaring nations, with the exception of
-Sweden, the necessity of carefully marking their ships in
-order that they shall not be mistaken for enemy ships.”</p>
-
-</div>
-
-<p class='pindent'>The next Document, Dönitz-77, on Page 228, is an entry dated
-24 June 1942, from the War Diary of the Flag Officer of U-boats:</p>
-
-<div class='blockquote'>
-
-<p>“All commanders will again be given detailed instructions as
-to their conduct toward neutrals.”</p>
-
-</div>
-
-<p class='pindent'>I have already submitted Dönitz-78—excuse me, it has not been
-submitted. Dönitz-78, Page 229, contains examples of the consideration
-which the Commander of U-boats showed to neutrals. The
-entry of 23 November 1942 shows that a submarine was ordered
-to leave one area solely because there was a great deal of neutral
-traffic in that area. The second entry of December 1942 specifies
-that Portuguese naval tankers had to be treated in accordance with
-directives, in other words, allowed to proceed.</p>
-
-<p class='pindent'>On Page 230 there is a document which I have already mentioned.
-It contains an account of court-martial proceedings taken against a
-commanding officer who had torpedoed a neutral by mistake.</p>
-
-<p class='pindent'>The next document, Dönitz-79, on Page 231, is an order decreeing
-the manner of treating neutrals which remained in force up to the
-end of the war. I do not think I have to read it. It again stresses
-the necessity of neutral ships being easily recognizable as such and
-refers to shipping agreements which have been made with a number
-of countries, such as Spain, Portugal, Sweden, and Switzerland.</p>
-
-<p class='pindent'>THE PRESIDENT: What is the correct date of it? You said...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: August 1944, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: That is on the original...
-<span class='pageno' title='418' id='Page_418'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The original date was
-1 April 1943. The order was revised on 1 August 1944 on the basis
-of the revisions necessitated by the shipping agreements.</p>
-
-<p class='pindent'>So far I have dealt with the general principles which have been
-attacked by the Prosecution’s Exhibit GB-191 and GB-224. Now I
-should like to submit several documents on individual points contained
-in the Prosecution’s Exhibit GB-191. Mention is made there
-of a speech by Adolf Hitler ending with the words:</p>
-
-<div class='blockquote'>
-
-<p>“Every ship, with or without escort, which comes within range
-of our torpedo tubes will be torpedoed.”</p>
-
-</div>
-
-<p class='pindent'>I now wish to present as Dönitz-80, on Page 232, an excerpt
-from that speech. It shows that in that context the Führer’s statement
-only applied to ships carrying war materials to England.</p>
-
-<p class='pindent'>I now come to two examples mentioned in GB-191 as characteristic
-examples of illegal German naval warfare. The first is the
-case of the Danish steamer <span class='it'>Vendia</span>. The Prosecution’s document says:</p>
-
-<div class='blockquote'>
-
-<p>“On 30 September 1939 the first sinking of a neutral ship by
-a submarine took place without a warning signal having been
-given. On that occasion some people lost their lives. The ship
-was the Danish steamer <span class='it'>Vendia</span>.”</p>
-
-</div>
-
-<p class='pindent'>With reference to this I am submitting Dönitz-83, on Page 235.
-That is the War Log of Submarine U-3, which sank the <span class='it'>Vendia</span>. I
-should like to read parts of it on account of its importance. I begin
-with the second sentence:</p>
-
-<div class='blockquote'>
-
-<p>“The steamer turns away gradually and increases speed. The
-boat comes up only very slowly. Obvious attempt to escape.
-The steamer is clearly recognizable as the Danish steamer
-<span class='it'>Vendia</span>. Boat reduces speed and uncovers her machine gun.
-Several warning shots are fired across the steamer’s bow.
-Thereupon the steamer stops very slowly; nothing more
-happens for a while. Then some more shots are fired. The
-<span class='it'>Vendia</span> lies into the wind.</p>
-
-<p>“For 10 minutes nothing is visible on deck to remove suspicion
-of possible intended resistance; at 1124 hours I suddenly
-see bow waves and screw movements. The steamer swings
-sharply round toward the boat. The officer on watch and the
-first mate agree with my view that this is an attempt at
-ramming. For this reason I turn in the same angle as the
-steamer. A torpedo is fired 30 seconds later; point of aim,
-bow; point of impact, extreme rear of stern. The stern is
-torn off and goes down. The front part remains afloat.</p>
-
-<p>“By risking the loss of our own crew and boat (heavy sea
-and numerous floating pieces of wreckage) six men of the
-<span class='pageno' title='419' id='Page_419'></span>
-Danish crew are rescued, among them the captain and helmsman.
-No further survivors can be seen. In the meantime the
-Danish steamer <span class='it'>Swawa</span> approaches and is stopped. She is
-requested to send her papers across in a boat. She is carrying
-a mixed cargo from Amsterdam to Copenhagen. The six
-persons rescued are transferred to the steamer for repatriation.”</p>
-
-</div>
-
-<p class='pindent'>I read the second to the last sentence on the next page:</p>
-
-<div class='blockquote'>
-
-<p>“After the crew of the steamer had been handed over, it was
-learned that the engineer artificer of the steamer had told
-the stoker Blank that the captain had intended to ram the
-submarine.”</p>
-
-</div>
-
-<p class='pindent'>The document on Page 237, an excerpt from the Prosecution’s
-Exhibit GB-82, shows that the <span class='it'>Vendia</span> case formed the subject of
-a protest by the German Government to the Danish Government.</p>
-
-<p class='pindent'>I shall deal now with the sinking of the <span class='it'>City of Benares</span> on
-18 September 1940. In this connection I should like first to read
-several sentences from the Prosecution’s document, because in my
-opinion it is characteristic of the probative value of the entire
-Exhibit GB-191. I read from the British Document Book, Page 23,
-starting at the passage where the Prosecution stopped reading. The
-Tribunal will remember that the <span class='it'>City of Benares</span> had children on
-board. The Foreign Office report says here:</p>
-
-<div class='blockquote'>
-
-<p>“The captain of the U-boat presumably did not know that
-there were children on board the <span class='it'>City of Benares</span> when he
-fired the torpedoes. Perhaps he did not even know the name
-of the ship, although there the evidence suggests strongly that
-he had been dogging her for several hours before torpedoing
-her. He must have known, however, that this was a large
-merchant ship, probably with civilian passengers on board,
-and certainly with a crew of merchant seamen. He knew the
-state of the weather, and he knew that they were six hundred
-miles from land and yet he followed them outside the
-blockade area and deliberately abstained from firing his
-torpedo until after nightfall when the chances of rescue would
-be enormously reduced.”</p>
-
-</div>
-
-<p class='pindent'>The next document I submit is Dönitz-84, Page 238, the War Log
-of U-boat 48, which sank the <span class='it'>City of Benares</span>. I read the entry of
-17 September 1940:</p>
-
-<div class='blockquote'>
-
-<p>“Time 1002. Convoy sighted. Course about 240 degrees, speed
-7 nautical miles. Contact maintained, since underwater attack
-is no longer possible because of the heavy swell. No escort
-can be seen with the convoy.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='420' id='Page_420'></span></p>
-
-<p class='pindent'>I will summarize the entry of 18 September 1940.</p>
-
-<p class='pindent'>It describes the firing of a torpedo on a ship belonging to that
-convoy—the <span class='it'>City of Benares</span>.</p>
-
-<p class='pindent'>A few minutes later, at 0007 hours, the submarine attacked a
-second ship in the convoy, the British steamer <span class='it'>Marina</span>. Both ships
-sent wireless messages. Twenty minutes later the submarine again
-had an artillery combat with a tanker from the convoy. That is the
-true story of the <span class='it'>City of Benares</span>.</p>
-
-<p class='pindent'>I reproduce the Prosecution’s Exhibit GB-192 again on Page 240.
-It concerns the sinking of the <span class='it'>Sheaf Mead</span>. In this connection I
-should like to point out that that ship was heavily armed and that it
-probably was no merchant vessel but a submarine trap. The Prosecution’s
-Exhibit GB-195, which was dealt with in yesterday’s
-hearing, contains an order issued by the Führer in July 1941 concerning
-attacks on United States merchant vessels in the blockade
-zone which had been declared around England. On the basis of this
-document, the Prosecution charges Dönitz with conducting a cynical
-and opportunistic warfare against neutrals.</p>
-
-<p class='pindent'>My next document is Donitz-86, Page 243. It shows the efforts
-which were made to avoid a conflict with the United States. I read
-the entry, dated 5 March 1940, from the War Diary of the Naval
-Operations Staff:</p>
-
-<div class='blockquote'>
-
-<p>“With reference to the conduct of economic warfare, orders
-are given to the Naval Forces that U.S. ships are not to be
-stopped, seized, or sunk. The reason is the assurance given by
-the Commander-in-Chief to the American Naval Attaché,
-whom he received on 20 February, that German submarines
-had orders not to stop any American ships whatsoever. All
-possibility of difficulties arising between the U.S.A. and
-Germany as a result of economic warfare are thereby to be
-eliminated from the start.”</p>
-
-</div>
-
-<p class='pindent'>This order means, therefore, that prize law measures were
-renounced.</p>
-
-<p class='pindent'>The next document, Dönitz-87, Page 244, shows the practical
-recognition of the American zone of neutrality. It reads:</p>
-
-<div class='blockquote'>
-
-<p>“4 April 1941. The following WIT message is directed to all
-ships at sea:</p>
-
-<p>“American neutrality zone from now on to be observed south
-of 20° North only at a distance of 300 nautical miles from
-the coast. For reasons of foreign policy, the hitherto existing
-limitation will for the time being continue to be observed
-north of the above-mentioned line.”</p>
-
-</div>
-
-<p class='pindent'>That means full recognition of the neutral zone.
-<span class='pageno' title='421' id='Page_421'></span></p>
-
-<p class='pindent'>The next document, Dönitz-88, shows President Roosevelt’s
-attitude to the question of neutrality toward Germany in that war.
-It is an excerpt from the speech of 11 September 1941 and is well
-known:</p>
-
-<div class='blockquote'>
-
-<p>“Hitler knows that he must win the mastery of the seas if
-he wants to win the mastery of the world. He knows that he
-must first tear down the bridge of ships which we are building
-over the Atlantic and over which we constantly transport
-the war material that will help, in the end, to destroy him
-and all his works. He has to destroy our patrols on the sea
-and in the air.”</p>
-
-</div>
-
-<p class='pindent'>I should like to say a few words about the view also expressed
-in Exhibit GB-191, namely, that the crews of enemy merchant ships
-were civilians and noncombatants. On Page 254 of the document
-book I have reproduced part of Document Dönitz-67, which I have
-already submitted. It is an excerpt from the confidential Admiralty
-Fleet Orders and deals with gunnery training for the civilian crews
-of merchant ships. I only wish to refer to the first page of these
-orders which say that, as a general rule, there should be only one
-navy man at a gun, all the rest being taken from the crew of the
-ship. I read from the paragraph headed “Training,” Section (d):</p>
-
-<div class='blockquote'>
-
-<p>“In addition to the gunlayer and the men specially trained
-for serving guns, five to seven men more—depending on the
-size of the gun—are needed to complete the gun crew and
-to bring ammunition from the magazine.”</p>
-
-</div>
-
-<p class='pindent'>This is followed by regulations for training in port and gunnery
-drill for the crews.</p>
-
-<p class='pindent'>The next document, re-numbered Dönitz-106, is a circular decree
-issued by the French Minister for the Merchant Marine on 11 November
-1939. It deals with the creation of a special badge for men
-serving on merchant ships who are liable for military service. That
-is on Page 256. I should like to point out that this decree was signed
-by the head of the Military Cabinet, a rear admiral. The character
-of the order is demonstrated by the second to the last paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“This armband may only be worn in France or in the French
-colonies. In no case may men issued the armband wear it in
-foreign waters.”</p>
-
-</div>
-
-<p class='pindent'>I come now to several documents dealing with the question of
-the rescue of survivors. These documents can be found in Document
-Books 1 and 2.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, do you not think it would
-be sufficient if you were to refer to these documents and give us the
-numbers without reading from them? They are all dealing, as you
-say, with rescue.
-<span class='pageno' title='422' id='Page_422'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I believe I can do this
-with most of them. On Page 9 there is reproduced the Hague Convention
-regarding the application of the Geneva Convention to naval
-warfare. Page 10 is Document Dönitz-8, the order of 4 October
-1939 concerning the sinking of armed merchantmen. It contains the
-order already read, namely, that rescues should be effected wherever
-possible without endangering their own ship.</p>
-
-<p class='pindent'>Dönitz-9, Page 12, gives examples of exaggerated rescue measures
-by German submarines which even let enemy ships pass without
-attack while so engaged. Dönitz-10 deals with the same subject
-and gives a further example.</p>
-
-<p class='pindent'>The collection of statements made by commanding officers in
-Dönitz-13 can be found on Pages 19 to 26. I should like to deal with
-it along with War Order 154, which is the Prosecution’s Exhibit
-GB-196. These statements contain numerous examples, taken from
-all the war years, of rescue measures on the part of German submarines.
-One of these statements is supplemented by photographs—Page
-21—which are included in the original. The facts stated in
-these statements are confirmed by Document Dönitz-14, Page 27,
-where there is a report on rescue measures in the war diary of a
-submarine; and at the end we find the sentence: “Taking British
-airmen on board is sanctioned.” It is signed by the Commander of
-U-boats.</p>
-
-<p class='pindent'>The next document, Donitz-15, is again an excerpt from the war
-diary, giving an example of rescue measures after a battle with a
-convoy on 21 October 1941. It is on Page 28. The next two documents
-concern the <span class='it'>Laconia</span> order. The Tribunal has permitted me
-to use Standing War Orders 511 and 513 in cross-examining Möhle.
-They deal with the capture of captains, chief engineers, and air
-crews. I submit them as Dönitz-24 and 25, and they can be found on
-Pages 46 and 47. I should like to point out that both orders explicitly
-state that capture should only be effected as far as is possible
-without endangering the boats.</p>
-
-<p class='pindent'>Document Dönitz-24 explains that the British Admiralty, on their
-part, had issued orders to prevent the capture of British captains by
-German submarines. The next excerpt, on Page 48, cites an example
-showing that this British order was carried out and that a U-boat
-searched in vain among the lifeboats for the captain.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, could you inform the Tribunal
-what Paragraph 2 on Page 46 refers to and means?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The paragraph refers to
-Standing War Order Number 101, that is, the order specifying which
-neutral ships can be sunk. That is, of course, in the blockade area.</p>
-
-<p class='pindent'>THE PRESIDENT: Would it mean that those officers have to be
-sunk with the ship, or what?
-<span class='pageno' title='423' id='Page_423'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No, Mr. President. That
-means that captains and ships’ officers of neutral ships might be left
-in the lifeboats and need not be taken aboard the submarine from
-the lifeboats. The fact that it was actually much safer in the
-lifeboats than on the submarine is seen from the English order
-instructing captains to remain in the lifeboats and hide from the
-U-boats.</p>
-
-<p class='pindent'>THE PRESIDENT: What if they do not have lifeboats?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I believe, Mr. President,
-that that case has not been ruled on here. I know of no case where
-a ship did not have lifeboats, especially in 1943, in which year the
-order originated. Every ship was provided not only with lifeboats
-but also with automatically inflating rafts.</p>
-
-<p class='pindent'>Figure 2 refers only to the question of capture of neutral captains.
-May I continue, please?</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, you may.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: A number of instances
-showing that captains were rescued after these orders were issued
-are quoted in the statements by commanders reproduced on Pages
-22, 25, and 26, under Exhibit Number Dönitz-13.</p>
-
-<p class='pindent'>I now come to the case of Submarine <span class='it'>U-386</span>, which figures very
-largely in Korvettenkapitän Möhle’s statement. The Tribunal will
-remember that this case was the decisive reason for the way in
-which Möhle interpreted the <span class='it'>Laconia</span> order. With reference to this
-case, I submit Exhibit Number Dönitz-26, the affidavit made by
-Captain Witt. I should like to read a few paragraphs from that.</p>
-
-<p class='pindent'>THE PRESIDENT: What page?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: On Page 50, Mr. President.</p>
-
-<div class='blockquote'>
-
-<p>“In November 1943, in the course of my official duties as a
-member of the staff of Commander of U-boats, I had to interview
-Lieutenant Albrecht, commander of U-boat <span class='it'>U-386</span>, on his
-experiences during the action which had just terminated.
-Albrecht reported to me that in the latitude of Cape Finisterre
-he had sighted in daylight a rubber boat with shipwrecked
-British airmen in the Bay of Biscay. He did not take any
-steps to rescue them because he was on his way to a convoy
-in process of formation. He could only reach his position by
-continuing without a stop. Besides he was afraid...”</p>
-
-</div>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, is it necessary to go into the
-details of each particular case? I mean, they all depend upon their
-own particular circumstances. You need not read the documents
-very carefully. It is not necessary at this stage of the case.
-<span class='pageno' title='424' id='Page_424'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Very well, Mr. President,
-I shall only report.</p>
-
-<p class='pindent'>The affidavit states briefly that the commander has been
-informed that he should have brought the airmen back. That is, in
-other words, the opposite of what Möhle has said in this courtroom.
-The correctness of Captain Witt’s statements is confirmed by the
-next document, Dönitz-27, which is the U-boat’s war log and contains
-the comments of the Commander of U-boats expressing
-disapproval of the fact that the Englishmen floating on the raft
-were not taken aboard.</p>
-
-<p class='pindent'>The fact that Admiral Dönitz’ attitude toward rescues was not
-based on cruelty but on military expediency is shown by Page 53 of
-the following document, Dönitz-28. He is considering the rescue of
-our own personnel and comes to the conclusion that military considerations
-may forbid such a rescue. The following Document
-Dönitz-29 deals with the statement made by witness Heisig. It is
-on Page 54 and the following. It begins with an affidavit made by
-the Adjutant, Kapitänleutnant Fuhrmann, who describes the general
-ideas on which Admiral Dönitz’ talks were based. At the end he
-stresses the fact that he was never, in connection with Admiral
-Dönitz’ pronouncements, approached by young officers, who
-expressed any doubts as to the treatment of shipwrecked persons.</p>
-
-<p class='pindent'>On Page 56 there is a statement made by Lieutenant Kress, who
-was present at the same lecture as Heisig. He says that neither
-directly nor indirectly did Admiral Dönitz order the survivors to be
-killed.</p>
-
-<p class='pindent'>That is confirmed by Lieutenant Steinhoff’s statement on Page 59.
-The considerations which weighed with the Naval Operations Staff
-at that time in the question of fighting the crews are illustrated by
-the following document, Donitz-30, which is reproduced on Pages 60
-and 61. Here again, no mention is made of the killing of survivors.
-It is the record of a conference with the Führer on 28 September
-1942, which was attended by Admiral Raeder and Admiral Dönitz.</p>
-
-<p class='pindent'>The Tribunal will remember Exhibit GB-200 which describes
-rescue ships as desirable targets. The same document states that
-they have the significance of submarine traps. For that reason I
-have reproduced on Page 63 Standing War Order Number 173, dated
-2 May 1940. That order States that, in accordance with instructions
-from the British Admiralty, U-boat traps are employed in convoys.
-Document Dönitz-34, on Page 67 of Document Book 2, shows that
-the treatment of rescue ships has nothing to do with the sanctity of
-hospital ships. It is the last of the Standing Orders referring to
-hospital ships and is dated 1 August 1944. It begins with the words,
-“Hospital ships must not be sunk.”
-<span class='pageno' title='425' id='Page_425'></span></p>
-
-<p class='pindent'>My next document, Dönitz-35, is meant to show that the Naval
-Operations Staff actually went beyond the provisions of international
-law in regard to the sanctity of hospital ships, for, as the entry of
-17 July 1941 proves, the Soviet Government on its part rejected the
-hospital ship agreement, basing its action on violations of international
-law committed by Germany on land. According to Article 18
-of the hospital ship agreement, this meant that the agreement was
-no longer binding on any of the signatories.</p>
-
-<p class='pindent'>In Document Dönitz-36, Pages 69 and following, I submit the only
-known instance of a U-boat commander’s actually firing on means
-of rescue. This is the interrogation of Kapitänleutnant Eck, carried
-out on 21 November 1945 by order of this Tribunal. That was
-10 days before he was shot.</p>
-
-<p class='pindent'>According to the wish of the Tribunal, I shall confine myself to
-a summary.</p>
-
-<p class='pindent'>After sinking the Greek steamer <span class='it'>Peleus</span>, Eck tried to sink the
-lifeboats and wreckage by means of gunfire. The reason he gave was
-that he wanted in this way to get rid of the debris and avoid being
-detected by enemy aircraft. He states that he had the <span class='it'>Laconia</span> order
-aboard, but that this order had no influence whatsoever upon his
-decision. In fact, he had not even thought of it. He had received
-his instructions from Möhle but had heard nothing about the killing
-of survivors which is alleged to have been desired; and he knew
-nothing about the instance of <span class='it'>U-386</span>. At the end of his examination,
-Eck states that he expected his action to be approved by Admiral
-Dönitz. A further reference was made in cross-examination yesterday
-to the question of whether Admiral Dönitz...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, we will adjourn now for a
-few minutes—only for a short time.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Very well.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the Tribunal, as you know,
-was going to deal with the applications for documents and witnesses,
-but if you could finish your documents in a short time, they would
-like to go on with that and get them finished, if you can.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I believe
-that even at my present speed, I shall need about an hour. I should
-like to ask you, therefore, for permission to continue on Monday
-morning.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, Dr. Kranzbühler, if you think it will be
-as long as that, of course we must put it off to Monday morning, but
-<span class='pageno' title='426' id='Page_426'></span>
-the Tribunal does hope that you would not take anything like so
-long as that, because going in detail into these documents does not
-really help the Tribunal. They have all got to be gone into again
-in great detail, both in your speeches and in further consideration
-by the Tribunal.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I shall confine myself to
-making clear the connections, Mr. President, but in spite of that,
-I think it would be better if I did so on Monday morning.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well, yes. Then the Tribunal will now
-deal with the applications. Yes, Sir David.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If Your Lordship pleases, the
-first application is on behalf of the Defendant Von Schirach, who
-asked for one Hans Marsalek as a witness for cross-examination.
-The Prosecution have already introduced an affidavit from this man,
-and they have no objection to him being called for cross-examination.</p>
-
-<p class='pindent'>My Lord, the second application on behalf of the Defendant Von
-Schirach is in respect of one Kaufmann. The Defense desires to
-administer interrogatories to Kaufmann in lieu of calling Kaufmann,
-who has already been allowed as a witness. There is no objection
-to that.</p>
-
-<p class='pindent'>My Lord, the next matter is an application by Dr. Seidl on behalf
-of the Defendant Hess, and it is a request for five documents relating
-to the German-Soviet agreements in August and September 1939.
-And it is also a request for the calling of Ambassador Gaus as a
-witness in connection with the above. But the position with regard
-to previous applications is somewhat lengthy, and without going
-into details, I tell the Tribunal that this matter has already been
-before them on six occasions. I have the details if the Tribunal
-would like them.</p>
-
-<p class='pindent'>THE PRESIDENT: No, because the Tribunal made an order, did
-they not, that these documents were to be translated?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: And that they would then be considered by
-the Tribunal?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: That is so, My Lord. The Tribunal
-made an order for them to be translated on 25 March and,
-My Lord, if I may just remind Your Lordship of the bare facts, on
-28 March Fräulein Blank, the private secretary of the Defendant
-Von Ribbentrop, was asked about the agreement. Your Lordship
-may remember that my friend General Rudenko objected, but the
-Tribunal ruled that the questions were admissible, and the witness
-said she knew of the existence of the secret pact, but gave no details.</p>
-
-<p class='pindent'>Then, on 1 April, in the course of Dr. Seidl’s cross-examination
-of the Defendant Von Ribbentrop, the Gaus affidavit was read, and
-<span class='pageno' title='427' id='Page_427'></span>
-on 3 April, Dr. Seidl applied for Hilger and Weizsäcker to be called
-as witnesses on this point, and on 15 April Dr. Seidl applied for
-Ambassador Gaus to be called.</p>
-
-<p class='pindent'>Now, My Lord, it was discussed before the Tribunal on 17 April,
-when I said that in view of the Tribunal’s previous ruling I could
-not contest the question of the agreement, but I objected to the
-witnesses. General Rudenko, I think, stated that he had submitted
-written objections, and the Tribunal said they would consider the
-matter. The position today appears to be, taking the five documents,
-that the affidavit of Dr. Gaus is already in evidence. My Lord, that
-is the first affidavit. But the second affidavit of Dr. Gaus is not in
-evidence. With regard to the Non-Aggression Pact between Germany
-and the Soviet Union, that is already in evidence. As to the
-Secret Supplementary Protocol appended to the Non-Aggression
-Pact between Germany and the Soviet Union, the substance is
-already in evidence. It was given in the Gaus affidavit.</p>
-
-<p class='pindent'>Then, My Lord, we have the German-Soviet Frontier and
-Friendship Pact of 28 September 1939, and the Secret Supplementary
-Protocol to that pact. The Prosecution submit that these documents
-have no relevance to the defense of the Defendant Hess, and
-they cannot see any reason for them being wanted. If necessary,
-my Soviet colleague can deal further with the matter, but that is
-the general position. And we also submit that the second affidavit
-of Ambassador Gaus is unnecessary in view of his previous affidavit,
-and without stating them again, I refer to and repeat my objections
-to witnesses to the discussions preceding the conclusion of the
-agreement. It is submitted that this is really an irrelevant matter,
-and unnecessary to occupy the time of the Tribunal regarding it.
-My Lord, I do not know whether it is convenient...</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, the Tribunal, as I have said, is
-going to consider this matter. They have not yet had an opportunity
-to consider these documents, but I should like to ask you whether
-there is any reason why Ambassador Gaus should be called as a
-witness.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: None at all, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: He has already stated the substance of these
-documents, as has the Defendant Ribbentrop, and if the documents
-are now produced and supposing that the Tribunal took the view
-that they ought to be admitted, it would be entirely irrelevant to
-call Gaus as a witness.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: In my submission that is so,
-My Lord.
-<span class='pageno' title='428' id='Page_428'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Well, I think the Tribunal had better consider
-these documents, as they had stated in their order they were going
-to do when the documents had been produced.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If Your Lordship pleases.</p>
-
-<p class='pindent'>Now, My Lord, the next application is on behalf of the Defendant
-Funk, and he requests permission to read the affidavit of the witness
-Kallus. The permission was previously granted to the Defendant
-Funk to submit an interrogatory to Kallus, which has been done,
-and the interrogatory has already been introduced in evidence. The
-affidavit now in question has been received and supplements the
-interrogatory, and the Prosecution have no objection.</p>
-
-<p class='pindent'>The next application is on behalf of the Defendant Streicher, and
-he desires to call the witness Gassner as a witness, and he is desired
-to speak as to the <span class='it'>Stürmer</span> and the size of the circulation and the
-profits. The Prosecution submit that it is unnecessary to call a
-witness as to the form of the <span class='it'>Stürmer</span> after 1933. A representative
-number of copies of the newspaper are before the Tribunal and the
-form of the newspaper can be seen from them.</p>
-
-<p class='pindent'>On the second point, both the Defendant Streicher and the
-witness Hiemer have given evidence as to the <span class='it'>Stürmer’s</span> circulation,
-and it is respectfully submitted that the takings of the <span class='it'>Stürmer</span> and
-the use to which they were put are irrelevant.</p>
-
-<p class='pindent'>Then, My Lord, the next application, on behalf of the Defendant
-Sauckel, is for one Biedermann as a witness, instead of a witness
-allowed previously who cannot be found. The Prosecution have no
-objection to that, and they have no objection to the documents that
-are asked for, so with the approval of the Tribunal I shall not go
-through them in detail.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David, we should like to know when you
-think the most appropriate time would be to hear the evidence on
-behalf of those defendants whose cases have already been presented,
-whether to hear it at the end of all the evidence or to hear it earlier?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, I should have thought
-that it was better to hear it earlier if the Tribunal could put aside
-a Saturday morning for it, or something of that kind, before the
-cases of the various defendants have gone too far into the background.</p>
-
-<p class='pindent'>THE PRESIDENT: We will consider that and let you know.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If Your Lordship pleases. Now,
-My Lord, the next application is in behalf of the Defendant Seyss-Inquart,
-and he asks for an interrogatory to be submitted to
-Dr. Stuckart to complement the testimony of the witness Lammers.
-The Prosecution have no objection to such an interrogatory. They
-reserve the right, or they ask the Tribunal to let them reserve the
-<span class='pageno' title='429' id='Page_429'></span>
-right, to put in a cross-interrogatory. The Defendant Frick asks for
-Dr. Konrad as a witness on the question of Church persecution, and
-the Prosecution suggest that an interrogatory would be sufficient on
-this point. I think there is a little confusion here; I think that what
-is desired is an affidavit. The original application says:</p>
-
-<div class='blockquote'>
-
-<p>“Contrary to the charge to the effect that the defendant participated
-in the persecution of the Churches, an affidavit by
-the witness is to establish that Frick strongly defended Church
-interests.”</p>
-
-</div>
-
-<p class='pindent'>So the only question is between an affidavit and interrogatory,
-not between an oral witness and an interrogatory. Then, if I might
-leave the next one, the application on behalf of the Defendant
-Göring, to my friend Colonel Pokrovsky, who is going to deal with
-that. I pass to the applications of the Defendants Hess and Frank.
-That is Dr. Seidl’s application; and if I might just read what is
-stated in the Secretary General’s note, it is official information
-from the ministry of war of the United States of America, or
-another ministerial service official of the Office of Strategic Services.
-It is stated that such a report is desired to show that the
-witness Gisevius had perjured himself on the witness stand and
-that they desire to show this to attack his credibility. It is alleged
-that the perjuring consists of his denial under cross-examination
-that he acted on behalf of foreign powers and his denial of receiving
-any favors from any power at war with Germany, which is supposed
-to be at variance with his statement that he had friendly and political
-relations with the American Secret Service and with some
-subsequently published reports. Confirmation of these two factors,
-alleged to be at variance with his prior statements, is sought by
-requesting official statement; and they ask for United States Secretary
-of War, Mr. Patterson, as a witness for the essential points, in
-case the Tribunal does not consider an official report admissible
-or sufficient or the United States ministry of war refuses the information.</p>
-
-<p class='pindent'>Now, My Lord, I deal with this matter simply as a question of
-jurisprudence on which I submit that the English view is a sound
-one and should be followed by this Tribunal. The law of England,
-as I understand it, is that when you cross-examine a witness to
-credit, you are bound by his answers. There is only one exception
-to that which, in my recollection, is contained in a note in Roscoe’s
-Criminal Evidence, that when you have cross-examined a witness
-to credit, you may call a witness to say that, knowing the general
-reputation of the witness who has been cross-examined to credit, on
-that general reputation, and only on that general reputation, the
-witness would not believe him on it. That is the only exception that
-I know in English Law.
-<span class='pageno' title='430' id='Page_430'></span></p>
-
-<p class='pindent'>THE PRESIDENT: And, of course, if he is cross-examined as to
-a crime or a misdemeanor, he may be contradicted.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Certainly; Your Lordship is
-quite right. I should have put that as an exception; that if he is
-cross-examined as to a specific conviction, then the conviction may
-be proved. I am very grateful to Your Lordship. But, My Lord,
-what is not permissible in English jurisprudence is that when a
-witness has been cross-examined to credit on particular facts other
-than a conviction by the State, evidence may be adduced as to these
-particular facts. I should submit that the principle which I am sure
-obtains in all systems of jurisprudence, <span class='it'>interest rei publicae ut sit
-finis litium</span> must apply and support that condition. Now, I will put
-it in English—I am sorry. “It is in the interest of the community
-that there should be an end of the legal proceedings.”</p>
-
-<p class='pindent'>My Lord, if one did not apply the limit which English jurisprudence
-has applied, one would then call evidence to attack the credit
-of witnesses for the Prosecution. The Prosecution would then render
-a rebuttal and call evidence to attack the credit of each of these
-witnesses who had attacked the credit of the Prosecution’s witnesses
-and there would never be an end to legal proceedings at all. My
-Lord, on that point which is a general point—and I do not mean to
-be academic; it is a point of practical importance for preserving
-some decent limit to legal proceedings—I would submit that this
-application should be refused. My Lord, I think that covers all the
-points except the question of the Defendant Göring’s application
-with which my friend Colonel Pokrovsky will deal.</p>
-
-<p class='pindent'>COL. POKROVSKY: The Defendant Göring is applying, My
-Lord, for the calling of supplementary witnesses in connection
-with the Katyn Forest shootings to clarify the matter from the point
-of view of the Wehrmacht. That is to say he intends to prove that
-German Armed Forces were not in any way concerned with this
-Hitler provocation. The Prosecution of the Soviet Union categorically
-protests.</p>
-
-<p class='pindent'>THE PRESIDENT: Colonel Pokrovsky, we have this matter fully
-in our mind as we have already had to consider it; therefore, it is
-not necessary for you to deal with it in detail, for I understand
-that these are new witnesses who have not before been applied for.</p>
-
-<p class='pindent'>COL. POKROVSKY: I had in mind the fact that the new witnesses
-have been called and I would like to inform the Tribunal of
-our exact point of view with regard to the calling of the new witnesses,
-without going into detail about the Katyn Forest incident.
-The Soviet Prosecution, from the very beginning, considered the
-Katyn Forest incident as common knowledge. The Tribunal can see,
-by the limited space allotted to this crime in the Indictment and by
-the fact that we found it possible to limit ourselves to reading into
-<span class='pageno' title='431' id='Page_431'></span>
-the record only a few short excerpts from the report of the Commission,
-that we consider this episode to be only an episode. If the
-question mentioned by Sir David should be raised, that is, the fact
-that the Tribunal may have doubts about the credibility of certain
-witnesses or certain documents accepted as evidence—then, once
-again, we would be forced to present new evidence in order to discredit
-the new material again presented by the Defense.</p>
-
-<p class='pindent'>Thus, if the Tribunal considers it necessary to admit two new
-witnesses relative to the Katyn Forest shootings, the Soviet Prosecution
-will find itself obliged to call about ten more new witnesses
-who are experts and specialists, and to present to the Tribunal new
-evidence put at our disposal and which we have recently received—new
-documents.</p>
-
-<p class='pindent'>Furthermore, we shall have to return to the question of reading
-into the record all of the documents of the Special Commission,
-excerpts from which were read before the Tribunal. We think that
-it will greatly delay the proceedings, and it will not be a matter
-of hours but of days. So far as we are concerned, there is no
-necessity for doing this, and I think that this request should be
-refused, since there is absolutely no basis or reason for it. That,
-My Lord, is what I wanted to say in regard to the Defendant
-Göring’s application.</p>
-
-<p class='pindent'>I would also like to add a few words to what Sir David said in
-regard to Dr. Seidl’s application. I will not go into all our motives.
-We certainly support Sir David fully, and we consider that Dr. Seidl’s
-applications should be refused. But I want to report to you that this
-morning I signed a document which is being sent to you, Your
-Honor, and which contains a full and detailed statement of our
-motives and considerations in regard to this question; and this document
-is presented to the Tribunal. Therefore, without taking up
-your time, I have found another way of informing the Tribunal
-about our position.</p>
-
-<p class='pindent'>THE PRESIDENT: Now, it is not necessary, I think, to ask
-counsel for the Defendant Schirach to address the Tribunal, because
-there is no objection to those two applications with reference to the
-witness Marsalek and the interrogatory of Kaufmann.</p>
-
-<p class='pindent'>With reference to the Hess matter, the Tribunal will consider
-that. They are going to consider it as they said they would in their
-previous order.</p>
-
-<p class='pindent'>With reference to the Defendant Funk, there is no objection to
-the affidavit of Kallus, and so unless counsel for Funk wants to
-address us upon it, we need not bother about that.</p>
-
-<p class='pindent'>With reference to Streicher, there is an objection to Gassner as
-a witness, so perhaps the counsel for Streicher had better say anything
-that he wishes to say.
-<span class='pageno' title='432' id='Page_432'></span></p>
-
-<p class='pindent'>[<span class='it'>There was no response.</span>]</p>
-
-<p class='pindent'>Well, the Tribunal will consider that, then.</p>
-
-<p class='pindent'>As to Sauckel there has been no objection. As to Seyss-Inquart,
-an interrogatory—there is no objection there.</p>
-
-<p class='pindent'>As to the Defendant Frick, Sir David suggested an interrogatory.
-It was not quite clear whether the application meant that. Is
-counsel for the Defendant Frick here or not?</p>
-
-<p class='pindent'>[<span class='it'>There was no response.</span>]</p>
-
-<p class='pindent'>Well, we will consider that. And with reference to Göring, the
-Tribunal will consider the applications for the Defendant Göring.</p>
-
-<p class='pindent'>And with reference to Hess and Frank, as to Gisevius’ evidence—Dr.
-Seidl, do you wish to say anything about that?</p>
-
-<p class='pindent'>DR. ALFRED SEIDL (Counsel for Defendants Hess and Frank):
-Mr. President, the application regarding the obtaining of official information
-from the minister of war was made for the sole purpose
-of obtaining evidence as to the credibility of the witness Gisevius.
-Afterwards I made another application to examine Secretary of War
-Patterson by means of an interrogatory dealing with the same subject.
-On the following day I made an application to examine the
-Chief of the O.S.S., General Donovan, also by means of an interrogatory.
-I think that this new application is in the hands of the
-Tribunal.</p>
-
-<p class='pindent'>I have made this further application only because the first-named
-witness, Patterson, was minister of war for only a comparatively
-short period, and because it seemed helpful to have the chief
-of that organization himself as an additional witness. As a reason
-for these applications, I refer to my written statement of 1 May this
-year, which I have also submitted as Appendix 1 of the form. I
-further refer to Appendix 2, a report by Associated Press on this
-incident. I should like to reply very briefly to Sir David Maxwell-Fyfe’s
-statement here.</p>
-
-<p class='pindent'>The Tribunal does not appear to be bound by any particular
-rules in dealing with the question of additional witnesses in connection
-with the credibility of other witnesses. Neither the Charter
-of the International Military Tribunal nor the regulations governing
-its procedure contain any definite rules. In my opinion, it is rather
-left exclusively to the free judgment of the Tribunal whether such
-additional evidence referring to the credibility of a witness should
-be admitted or not, and in what circumstances. In German criminal
-procedure such evidence is admissible without question.</p>
-
-<p class='pindent'>However, since the Tribunal in setting up this procedure is
-not bound by any rules of procedure, I see no reason why the decision
-should be based on any of the customary Anglo-American
-legal procedure, since the Charter is not based on either the
-<span class='pageno' title='433' id='Page_433'></span>
-Anglo-American legal procedure or the continental European legal
-procedure. This Tribunal and its rules of procedure are entirely
-independent and give complete freedom to the judgment of the
-court.</p>
-
-<p class='pindent'>That is all I wanted to say in that connection.</p>
-
-<p class='pindent'>THE PRESIDENT: One moment, Dr. Seidl. Do the questions
-which you wish to put with reference to the witness Gisevius relate
-solely to credit?</p>
-
-<p class='pindent'>DR. SEIDL: In my written application I have already said that
-as far as I am concerned, it is not a question of whether in certain
-circumstances the witness Gisevius was guilty of an action which
-from the German legal standpoint might constitute the crime of
-treason. I only put that question in connection with the examination
-of the credibility of the witness before the Tribunal.</p>
-
-<p class='pindent'>THE PRESIDENT: That is what I thought. Now, one other
-question I wanted to ask you. Are these pacts or agreements, which
-you say existed between the Soviet Republics and Germany—are
-they published in print? Have all the documents which you wish
-to use been typewritten or mimeographed and circulated to the
-Tribunal?</p>
-
-<p class='pindent'>DR. SEIDL: Mr. President, on 13 November of last year, I gave
-six copies of those five documents to the Secretary General, and I
-also gave a corresponding number of documents to the Prosecution.
-All these documents are typewritten, or, rather, they are mimeographed.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>DR. SEIDL: Perhaps I might add one point. On an earlier occasion
-the Tribunal admitted as evidence an affidavit made by Ambassador
-Gaus. This first affidavit is a statement of the contents of these
-secret agreements. It is my opinion...</p>
-
-<p class='pindent'>THE PRESIDENT: I know that, yes.</p>
-
-<p class='pindent'>DR. SEIDL: ...that if we have the agreements, we should refer
-to the agreements themselves and not merely to a summary. If
-the Tribunal so desires, and considers it necessary, then I should be
-prepared, now or at some later date, to discuss the relevancy of
-these agreements.</p>
-
-<p class='pindent'>I have noted down eight points from which only these agreements
-appear relevant as evidence, and perhaps I may point out
-that these additional agreements...</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal has already ordered that these
-documents should be submitted, and they will then consider them
-and that is what they propose to do; so it is not necessary to go into
-them in detail. We will consider the matter.
-<span class='pageno' title='434' id='Page_434'></span></p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, during the examination of Defendant
-Funk, a film was shown here on the screen and an affidavit by
-a witness—Puhl—was read—Emil Puhl, the Vice President of the
-Reichsbank. At that time, following an application of mine, the
-Tribunal decided that this witness, Emil Puhl, should be called here
-for examination. Now I should like to ask you to amend your
-decision in one respect. I think it would be useful to show to the
-witness Puhl the film which you saw on this screen a few days ago,
-so that he may state whether in fact the steel vaults of the Reichsbank
-looked as they were shown in this film.</p>
-
-<p class='pindent'>I should like to ask, therefore, Mr. President, that you order this
-short film which we were shown twice recently to be shown also
-to the witness Puhl before his examination. It is, of course, not
-necessary that this should be done during a session of the Tribunal;
-it can be done in the presence of the prosecutor and myself, outside
-this courtroom. I have various questions to put to the witness Puhl,
-and for that it is necessary that he should first see this film. I
-wanted to make this application today so that there may be no
-delay when the witness Puhl is examined.</p>
-
-<p class='pindent'>THE PRESIDENT: Does the witness Puhl know the vaults in
-Frankfurt which were photographed?</p>
-
-<p class='pindent'>DR. SAUTER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: He was a director in Berlin, was he not?</p>
-
-<p class='pindent'>DR. SAUTER: Yes; but I assume, Mr. President, that the witness
-Puhl, who was the managing Vice President, would also know the
-steel vaults in Frankfurt. Apart from that, I believe that these
-vaults in the various branches of the Reichsbank were all built on
-the same pattern, and were also treated in the same way in practice.
-He will be able, also, to state whether the method of safekeeping
-shown in the film was the type actually used by the Reichsbank in
-looking after deposits.</p>
-
-<p class='pindent'>THE PRESIDENT: Has the Prosecution anything to say about this?</p>
-
-<p class='pindent'>MR. RALPH G. ALBRECHT (Associate Trial Counsel for the
-United States): If Your Honor please, I think, as it is a document
-belonging to the case, we would be very glad to show them to the
-witness before he is cross-examined by Dr. Sauter.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes. And perhaps the most convenient way
-would be, as Dr. Sauter suggests, that he should be shown the film
-in some room in this court; not actually in this room, but in another
-room.</p>
-
-<p class='pindent'>MR. ALBRECHT: Yes; we can do so in the presence of the
-Prosecution.</p>
-
-<p class='pindent'>THE PRESIDENT: Then you can arrange that between yourself
-and Dr. Sauter?
-<span class='pageno' title='435' id='Page_435'></span></p>
-
-<p class='pindent'>MR. ALBRECHT: Very well, Sir.</p>
-
-<p class='pindent'>DR. SAUTER: Thank you very much indeed.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, has any time been arranged for
-the calling of Puhl?</p>
-
-<p class='pindent'>DR. SAUTER: No; nothing has been arranged yet. As far as I
-have heard, the witness is already here. I do not know when he
-is to be heard. I shall leave that entirely to the Prosecution.</p>
-
-<p class='pindent'>THE PRESIDENT: What would be the most convenient time?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, Mr. Dalton suggests to
-me, at the close of the case of the Defendant Dönitz.</p>
-
-<p class='pindent'>THE PRESIDENT: Would that be convenient? Would it not be
-better to put it after the Defendant Raeder—I do not know, they
-are rather connected cases?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If the Tribunal would prefer
-that, we could make it after Raeder.</p>
-
-<p class='pindent'>THE PRESIDENT: I do not know whether Dr. Kranzbühler and
-Dr. Siemers would prefer that.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: Perhaps you could arrange that with them.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Certainly, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: That is to say, we would take Puhl’s evidence
-as soon as convenient, either after the evidence on behalf of the
-Defendant Dönitz or after the evidence on behalf of the Defendant
-Raeder, whichever you prefer.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If Your Lordship prefers, we
-will do that.</p>
-
-<p class='pindent'>DR. LATERNSER: Mr. President, I should like to inform the
-Tribunal that my colleague Dr. Stahmer’s applications for the Defendant
-Göring, which were made with a view to clarifying the
-Katyn case, are also of interest to me with reference to my clients.
-I gathered from the application made by the Russian prosecutor
-that this complex, too, was submitted to implicate the General Staff
-and the OKW, although no evidence has been submitted to suggest
-that these events took place either by order or with the approval
-of the General Staff and the OKW.</p>
-
-<p class='pindent'>THE PRESIDENT: Does this not, perhaps, interest all the defendants?</p>
-
-<p class='pindent'>DR. LATERNSER: Yes. But I only wish to inform the Tribunal
-that I am interested in my colleague Dr. Stahmer’s applications, and
-that I also request you to allow them. We have agreed to share the
-task, and that is my colleague Dr. Stahmer’s reason for making the
-<span class='pageno' title='436' id='Page_436'></span>
-application. I wanted first to inform the Tribunal of that arrangement.</p>
-
-<p class='pindent'>I should also like to remind the Tribunal that some time ago,
-when my colleague Dr. Nelte, acting on behalf of the Defendant
-Keitel, forfeited the examination of the witness Halder, I pointed
-out to the Tribunal that this action encroached upon my privileges,
-and that the witness Halder must be allowed for cross-examination
-by the Russian Prosecution. At that time, I was told that the witness
-Halder would probably appear for examination, and I have checked
-it in the record. When I referred to the point during that session,
-the Tribunal said that it would announce its decision in a few days.
-Although some considerable time has elapsed since then, no announcement
-has been made. I merely draw the attention of the
-Tribunal to this point.</p>
-
-<p class='pindent'>THE PRESIDENT: Your witnesses have not been dealt with yet,
-have they? You have not applied for your witnesses yet? They
-have not been proffered? The matter has not been dealt with?</p>
-
-<p class='pindent'>DR. LATERNSER: Mr. President; this is a repetition of the misunderstanding
-which arose when I pointed out to you at that time
-that the forfeiture of the witness Halder constituted an infringement
-of my rights. The situation at the time was that the Russian
-Prosecution submitted an affidavit made by General Halder, and
-when the Defense objected, which at that time was done in my name
-too, the Tribunal decided that the witness Halder would have to
-appear for examination here. I have the right to cross-examine him,
-and therefore this is the proper time to call that to the attention
-of the Tribunal.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, but the convenient time is the question.
-You will have the opportunity to cross-examine him. But the question
-is when. You want to cross-examine him yourself on behalf of
-the High Command?</p>
-
-<p class='pindent'>DR. LATERNSER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: We will consider that, Dr. Laternser.</p>
-
-<p class='pindent'>The Tribunal will now adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 13 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='437' id='Page_437'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-EIGHTH DAY</span><br/> Monday, 13 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: With the permission of
-the Tribunal I would like to submit my remaining documents, and
-then call Admiral Wagner as my first witness.</p>
-
-<p class='pindent'>The next document I come to is Dönitz-37. It is an extract from
-<span class='it'>Dokumente der Deutschen Politik</span> on the <span class='it'>Altmark</span> case. I do not
-propose to read it. It concerns a report of the captain of the <span class='it'>Altmark</span>,
-which shows how the sailors of the <span class='it'>Altmark</span> were shot at
-while trying to escape by water and across the ice. There were
-seven dead. It can be found, Mr. President, on Page 78 of Volume II;
-from Page 79 it can be seen that this action on the whole found
-full recognition in spite of the casualties which, no doubt were
-regretted by the Admiralty too.</p>
-
-<p class='pindent'>The next document, Dönitz-39, has partly been read by Sir
-David Maxwell-Fyfe during cross-examination. It can be found
-on Page 81 and the following pages. It deals with the question
-of reprisals following a report received regarding the shooting of
-survivors of the German mine-layer <span class='it'>Ulm</span>.</p>
-
-<p class='pindent'>On Page 83 there is a summary regarding the incidents which
-had been reported to the Naval Operations Staff at that time and
-which contained examples dealing with cases where survivors were
-shot at by Allied naval forces. I am not so much interested in
-these 12 actual examples as in the attitude adopted by the Naval
-Operations Staff in transmitting these examples to the OKW. It
-is so important that I would like to read the three sentences. They
-are on Page 83, at the top.</p>
-
-<div class='blockquote'>
-
-<p>“The following accounts deal with incidents which have
-already been reported, and in making use of them it must
-also be considered that:</p>
-
-<p>“a) some of these incidents occurred while fighting was still
-going on;</p>
-
-<p>“b) shipwrecked persons swimming about in the water easily
-think that shots which missed their real target are directed
-against them;
-<span class='pageno' title='438' id='Page_438'></span></p>
-
-<p>“c) so far no evidence whatsoever has been found that a
-written or oral order for the shooting of shipwrecked persons
-has been issued.”</p>
-
-</div>
-
-<p class='pindent'>The idea of reprisals did not only occur to the Command, but
-it also occurred to the personnel serving on the ships at the front.</p>
-
-<p class='pindent'>Now, we come to Document Dönitz-41, which is on Page 87 and
-deals with a conversation between Admiral Dönitz and a commander.
-The conversation took place in June 1943, and it is dealt
-with in an affidavit made by Korvettenkapitän Witt. Following
-descriptions of attacks made by British fliers on shipwrecked
-German submarine crews, the opinion was expressed by the crews
-that in reprisal the survivors of enemy ships should also be shot at.</p>
-
-<p class='pindent'>The affidavit also says in the third paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“The Admiral sharply declined the idea of attacking an
-enemy rendered defenseless in combat; it was incompatible
-with our way of waging war.”</p>
-
-</div>
-
-<p class='pindent'>In connection with the Prosecution’s Exhibit GB-205 I shall
-submit a document of my own which deals with the question of
-terroristic actions. It is an extract from Exhibit GB-194 of the
-Prosecution, and it can be found on Page 91. It deals with the
-question of whether the crews of scuttled German ships should
-be rescued or not. The French press tends to say they should
-not, in view of the pressing need of the Allies for freight space.
-The same entry contains a report according to which British
-warships also had special instructions to prevent further scuttling
-of German ships.</p>
-
-<p class='pindent'>I now shall try to prove that the principle according to which
-no commander undertakes rescue actions if he thereby endangers
-a valuable ship is justified. For that purpose I refer to Document
-Dönitz-90, which is in the Volume IV of the document book,
-Page 258. It is an affidavit of Vice Admiral Rogge, retired. He
-reports that in November 1941 his auxiliary cruiser was sunk
-from a great distance by a British cruiser and that the survivors
-had taken to the boats. They were towed away by a German submarine
-to a German supply ship and this supply ship too, a few
-days later, was sunk from a great distance by a British cruiser.
-Once again the survivors took to the boats and to floats. The
-affidavit closes with the words:</p>
-
-<div class='blockquote'>
-
-<p>“At both sinkings no attempt was made, presumably due
-to danger involved for the British cruiser, to save even
-individual crew members.”</p>
-
-</div>
-
-<p class='pindent'>The principle that a valuable ship must not risk rescue actions
-to save even members of its own crew is expressed with classical
-clarity and severity in the British Admiralty Orders which I have
-<span class='pageno' title='439' id='Page_439'></span>
-already submitted as Dönitz-67. The extract is printed on Page 96.
-There it says:</p>
-
-<div class='blockquote'>
-
-<p>“Aid to ships attacked by submarines: No British ocean-going
-merchant ship should aid a ship attacked by U-boats. Small
-coastal ships, fishing steamers, and other small ships with
-little draught should give all possible aid.”</p>
-
-</div>
-
-<p class='pindent'>The next document I submit is Dönitz-44, which is on Page 97.
-It is a questionnaire for Vice Admiral Kreisch who, according
-to a decision by the Tribunal, was interrogated in a British camp
-for prisoners of war. From January 1942 to January 1944 he was
-the officer in charge of submarines in Italy, which means that he
-was responsible for submarine warfare in the Mediterranean.
-According to his statements he knows of no order or suggestions
-regarding the killing of survivors. He advised his commanders
-that rescue measures must not endanger the task and safety of
-their own ships.</p>
-
-<p class='pindent'>In connection with the question whether Admiral Dönitz was a
-member of the Reich Government I should like to ask the Tribunal
-to take judicial notice of the German Armed Forces Law of 1935
-which can be found on Page 105 of Volume II of my document books.
-Paragraph 3 will show that there was only one Minister for the
-German Armed Forces and that was the Reich Minister of War.
-On the following page in Paragraph 37 it is shown that this one
-Minister was assigned the right to issue legislative orders.</p>
-
-<p class='pindent'>On Page 107 I again have the decree which has been submitted
-to the Tribunal as Document 1915-PS, in which, dated 4 February,
-the post of the Reich Minister of War is abolished and the tasks
-of his Ministry are transferred to the Chief of the OKW. No new
-Ministry for the Army or the Navy is established.</p>
-
-<p class='pindent'>The Prosecution has described Admiral Dönitz as a fanatical
-follower of the Nazi Party. The first document to prove this statement
-is dated 17 December 1943; it is Exhibit GB-185. Considering
-the time factor, I shall refrain from reading a few sentences from
-it to show that anything that Admiral Dönitz may have said
-about political questions was said from the point of view of the
-unity and strength of his sailors. May I ask the Tribunal to take
-judicial notice of this document, which again appears on Pages
-103 and 104 of Volume II.</p>
-
-<p class='pindent'>I only want to draw your attention to the last paragraph on
-Page 104. It deals with the handing over of Navy shipyards to
-the Ministry of Armament in the autumn of 1943. It is an important
-question, important for the responsibility regarding the
-use of labor in the shipyards, and has been touched upon repeatedly
-in this Court. This sole tendency toward unity becomes clear from
-yet another document of the Prosecution from which I propose to
-<span class='pageno' title='440' id='Page_440'></span>
-read one sentence. It is Exhibit GB-186. In the British trial brief
-it is on Page 7. I shall only read the second and third sentences:
-“As officers we have the duty to be guardians of this unity of our
-people. Any disunity would also affect our troops.” The following
-sentence deals with the same thought at greater length.</p>
-
-<p class='pindent'>THE PRESIDENT: British trial brief, Page 7? Mine has only
-five pages. You mean the document book?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It is the British document
-book; not the trial brief, but the document book, second and
-third sentences on Page 7, which I have read, Mr. President.</p>
-
-<p class='pindent'>The fact that Admiral Dönitz was not a fanatical follower of the
-Party but on the contrary fought against a political influence exercised
-upon the Armed Forces by the Party is shown in my following
-document, Dönitz-91. It is on Page 260 of Document Book 4. It is
-an affidavit from the chief of the legal department in the High Command
-of the Navy, Dr. Joachim Rudolphi. The Soviet Prosecution
-has already used this document during its cross-examination. I
-should like to give a brief summary of the contents:</p>
-
-<p class='pindent'>In the summer of 1943 Reichsleiter Bormann made an attempt
-through the Reich Minister of Justice to deprive the Armed Forces
-courts of their jurisdiction in so-called political cases. They were to
-be transferred to the Peoples’ Court and other courts. The attempt,
-however, failed. It failed due to a report which Admiral Dönitz
-made verbally to the Führer on this subject and during which he
-violently opposed the intentions of the Party. After the assassination
-attempt on 20 July, Bormann renewed his attempt. Again Admiral
-Dönitz raised objections, but this time without success. A decree
-was issued on 20 September 1944 which deprived the Armed Forces
-courts of their jurisdiction regarding so-called political perpetrations.
-This decree, which was signed by Adolf Hitler, was not carried out
-in the Navy by explicit order of the Commander-in-Chief of the
-Navy.</p>
-
-<p class='pindent'>I shall read the last paragraph but one of the affidavit, which
-says:</p>
-
-<div class='blockquote'>
-
-<p>“This attitude of the Commander-in-Chief of the Navy made
-it possible for the Navy, as the only branch of the Armed
-Forces until the end of the war, not to have to transfer to the
-Peoples’ Court or to a special court any criminal procedures
-of political coloring.”</p>
-
-</div>
-
-<p class='pindent'>On page 113 in Volume II of my document book I have included
-a lengthy extract from Exhibit GB-211, a document of the Prosecution;
-and this is an application by the Commander-in-Chief of
-the Navy addressed to the Führer and asking for supplies for the
-construction and repair of naval and merchant ships. During the
-<span class='pageno' title='441' id='Page_441'></span>
-interrogation and cross-examination of Admiral Dönitz this document
-has already been referred to. I should merely like to point out
-that this is a memorandum containing more than 20 pages; the
-Prosecution took up two points contained therein.</p>
-
-<p class='pindent'>The origin of the document is dealt with in Document Dönitz-46,
-Page 117 and the following pages. This is an affidavit from the
-officer who had drafted this memorandum. I can summarize the
-contents. The memorandum is concerned with measures which did
-not actually come within the sphere of the Commander-in-Chief of
-the Navy. It arose on the basis of a discussion which took place
-between all departments taking part in the construction and repair
-of war and merchant vessels. All these measures are summarized
-in this memorandum. The point objected to in particular by the
-Prosecution as amounting to a suggestion in favor of punitive
-measures against sabotage in shipyards is dealt with in detail on
-Page 119. I should like to point out particularly that at that time
-seven out of eight ships under construction were destroyed by
-sabotage.</p>
-
-<p class='pindent'>It was not a question of terror measures but of punitive measures
-entailing the forfeiting of certain advantages and, if necessary, the
-concentration of workers in camps adjoining the shipyards, so as to
-cut them off from any sabotage agents.</p>
-
-<p class='pindent'>Following Exhibit GB-209 of the Prosecution, which deals with
-the alleged renunciation of the Geneva Convention, I submit
-Dönitz-48, which is on Page 122 and the following pages. It will
-show the model treatment afforded Allied prisoners of war in the
-only prisoner-of-war camp which was under the jurisdiction of
-Admiral Dönitz as the Commander-in-Chief of the Navy.</p>
-
-<p class='pindent'>To begin with, the document contains an affidavit from two
-officers who dealt with prisoner-of-war affairs in the High Command
-of the Navy. This statement is to the effect that all the suggestions
-of the International Red Cross regarding these camps were
-followed.</p>
-
-<p class='pindent'>The next extract is a report by the last commandant of that
-camp, Korvettenkapitän Rogge, and I should like to read the second
-paragraph from that report:</p>
-
-<div class='blockquote'>
-
-<p>“In the camp Westertimke there were housed at my time
-about 5,500 to 7,000, at the end 8,000, prisoners of war and
-internees of different nations, mainly members of the British
-Navy. The camp had a good reputation, as was generally
-known. It was the best in Germany. This was expressly
-stated at a congress of British and other prisoner-of-war
-physicians of all German camps, which took place in
-Schwanenwerder near Berlin at the villa of Goebbels about
-December 1944. This statement was confirmed by the British
-<span class='pageno' title='442' id='Page_442'></span>
-chief camp physician in Westertimke, Major Dr. Harvey,
-British Royal Army, whom I am naming as a witness.”</p>
-
-</div>
-
-<p class='noindent'>I shall also read the last paragraph on Page 126:</p>
-
-<div class='blockquote'>
-
-<p>“As I was deputy commandant I stayed at the camp up to
-the capitulation and gave up the camp in the regular way to
-British troops who were quite satisfied with the transfer.
-Squadron Leader A. J. Evans gave me a letter confirming this.
-I enclose a photostat of this letter.”</p>
-
-</div>
-
-<p class='noindent'>This photostat copy appears on the following page, and it says:</p>
-
-<div class='blockquote'>
-
-<p>“Korvettenkapitän W. Rogge was for 10 months chief camp
-officer at the Marlag Camp at Westertimke. Without exception
-all the prisoners of war in that camp have reported that he
-treated them with fairness and consideration.”</p>
-
-</div>
-
-<p class='pindent'>Then follows another affidavit from the intelligence officer in
-that camp. I should like to point out that this officer was born in
-February 1865 and that his age alone would, I think, exclude the use
-of any terror measures. I shall read from Page 129, the third from
-the last paragraph:</p>
-
-<p class='pindent'>“No means of pressure were employed at Dulag Nord. If a
-man told falsehoods he was sent back to his room and was not
-interrogated for 2 or 3 days. I believe I can say that no blow
-was ever struck at Dulag Nord.”</p>
-
-<p class='pindent'>I should now like to refer briefly to the accusation raised against
-the defendant according to which he as “a fanatical Nazi” prolonged
-a hopeless war. I submit Dönitz-50, which contains statements made
-by Admiral Darlan, Mr. Chamberlain, and Mr. Churchill in 1940.
-They will be found on Pages 132 and 133 of the document book and
-they will show that the afore-mentioned persons also considered it
-expedient in a critical situation to call upon the nation—partly with
-success and partly without—to render the utmost resistance.</p>
-
-<p class='pindent'>During his examination Admiral Dönitz gave as the reason for
-his views that he wanted to save German nationals in the East. As
-evidence for this I draw your attention to Exhibit GB-212, which
-can be found on Page 73 of the British document book. It is a decree
-of 11 April 1945, and I shall read two sentences under heading 1:</p>
-
-<div class='blockquote'>
-
-<p>“Capitulation means for certain the occupation of the whole
-of Germany by the Allies along the lines of partition discussed
-by them at Yalta. It also means, therefore, the ceding to
-Russia of further considerable parts of Germany west of the
-river Oder. Or does anyone think that at that stage the Anglo-Saxons
-will not keep to their agreements and will oppose a
-further advance of the Russian hordes into Germany with
-armed forces, and will begin a war with Russia for our sake?
-<span class='pageno' title='443' id='Page_443'></span>
-The reasoning, ‘Let the Anglo-Saxons into the country; then
-at least the Russians will not come,’ is faulty, too.”</p>
-
-</div>
-
-<p class='pindent'>I shall also quote from Exhibit GB-188, which is on Page 10 of
-the document book of the Prosecution—I beg your pardon, Page 11.
-It is an order to the German Armed Forces dated 1 May 1945. I
-shall quote the second paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“The Führer has designated me to be his successor as head of
-State and as Supreme Commander of the Armed Forces. I
-am taking over the Supreme Command of all branches of the
-German Armed Forces with the will to carry on the struggle
-against the Bolsheviks until the fighting forces and hundreds
-of thousands of families of the German eastern areas have
-been saved from slavery and destruction.”</p>
-
-</div>
-
-<p class='pindent'>This, Mr. President, is the end of my documentary evidence.</p>
-
-<p class='pindent'>Two interrogatories are still outstanding. One is that of Kapitän
-zur See Rösing and the other of Fregattenkapitän Suhren. Furthermore—and
-this is something I particularly regret—the interrogatory
-from the Commander-in-Chief of the American Navy, Admiral
-Nimitz, has still not been received. I will submit these documents
-as soon as I have received them.</p>
-
-<p class='pindent'>And now, with permission of the Tribunal, I should like to call
-my witness, Admiral Wagner.</p>
-
-<p class='pindent'>MR. DODD: Mr. President, while the witness is being called in,
-I would like to raise one matter with the Tribunal. On Saturday I
-understand that the question of when the witness Puhl would be
-called was raised before the Tribunal. And as I understand it from
-the record, it was left for counsel to settle the matter as to whether
-he should be called before the Raeder case comes on or after the
-Raeder case.</p>
-
-<p class='pindent'>I should like to say that we have some reasons for asking that
-he be called before the Raeder case, and there are two: First of all,
-he is here in the prison under a kind of confinement different from
-that under which he has been held by the French in the French
-territory; and secondly, the officer, Lieutenant Meltzer, who has
-been assisting in the Funk case, is very anxious—for compelling
-personal reasons—to return to the United States, and of course he
-will not be able to do so until we have concluded the Funk case.
-And, Mr. President, it will not take very long in my judgment to
-hear this witness. He is only here for cross-examination on his
-affidavit and we would appreciate it if he could come on at the
-conclusion of the Dönitz case.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well, Mr. Dodd, he can be brought for
-cross-examination after the Dönitz case.</p>
-
-<p class='pindent'>[<span class='it'>The witness Wagner took the stand.</span>]</p>
-
-<p class='pindent'><span class='pageno' title='444' id='Page_444'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name, please?</p>
-
-<p class='pindent'>GERHARD WAGNER (Witness): Gerhard Wagner.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you sit down.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral, when did you
-join the Navy?</p>
-
-<p class='pindent'>WAGNER: On 4 June 1916.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Which positions did you
-hold in the High Command of the Navy, and at what time?</p>
-
-<p class='pindent'>WAGNER: From summer 1933 until the summer of 1935 I was
-adviser in the operational department of the High Command. I was
-Kapitänleutnant and then Korvettenkapitän. In 1937, from January
-until September, I had the same position. From April 1939 until
-June 1941 I was the head of the operational group, known as “IA,”
-in the operations section of the Naval Operations Staff. From June
-1941 until June 1944 I was the chief of the operations section of the
-Naval Operations Staff. From June 1944 until May 1945, I was
-admiral for special tasks attached to the Commander-in-Chief of
-the Navy.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: So that during the entire
-war you were a member of the Naval Operations Staff?</p>
-
-<p class='pindent'>WAGNER: Yes, that is so.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What were the general
-tasks of the Naval Operations Staff?</p>
-
-<p class='pindent'>WAGNER: The tasks of the Naval Operations Staff included all
-those involved in naval warfare, both at sea and in the defense of
-the coasts, and also in the protection of our own merchant shipping.
-As far as territorial tasks were concerned, the Naval Operations
-Staff did not have any, neither at home nor in the occupied territories.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was the Naval Operations
-Staff part of the High Command of the Navy, the OKM?</p>
-
-<p class='pindent'>WAGNER: The Naval Operations Staff was part of the High
-Command of the Navy.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What was the relationship
-between the Naval Operations Staff and the Supreme Command
-of the Armed Forces, the OKW?
-<span class='pageno' title='445' id='Page_445'></span></p>
-
-<p class='pindent'>WAGNER: The OKW passed on the instructions and orders of
-Hitler, who was the Supreme Commander of the Armed Forces,
-regarding the conduct of the war; usually, as far as naval warfare
-particularly was concerned, after examination and review by the
-Naval Operations Staff. General questions of the conduct of the war
-were decided without previous consultations with members of the
-Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In which manner were
-the preparations of the High Command of the Navy for a possible
-war carried out?</p>
-
-<p class='pindent'>WAGNER: Generally speaking, they consisted of mobilization
-preparations, tactical training, and strategic considerations for the
-event of a possible conflict.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations
-Staff during your time receive an order to prepare for a
-definite possibility of war?</p>
-
-<p class='pindent'>WAGNER: The first instance was the order for “Case White,”
-the war against Poland. Before that, only tasks regarding security
-measures were given us.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were plans elaborated
-for the naval war against England?</p>
-
-<p class='pindent'>WAGNER: A plan for the war against England did not exist at
-all before the beginning of the war. Such a war seemed to us
-outside the realm of possibility. Considering the overwhelming
-superiority of the British fleet, which can hardly be expressed in
-proportionate figures, and considering England’s strategical domination
-of the seas such a war appeared to us to be absolutely hopeless.
-The only means by which Britain could have been damaged effectively
-was by submarine warfare; but even the submarine weapon
-was by no means being given preferential treatment nor was its
-production accelerated. It was merely given its corresponding place
-in the creation of a well-balanced homogeneous fleet.</p>
-
-<p class='pindent'>At the beginning of the war all we had were 40 submarines ready
-for action, of which, as far as I can remember, barely half could
-have been used in the Atlantic. That, in comparison with the earth-girdling
-naval means at the disposal of the first-ranking world
-power England, is as good as nothing. As a comparison, I should
-like to cite the fact that both the British and the French Navy at
-the same time had more than 100 submarines each.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the then Captain
-Dönitz, as chief of the submarines, have anything to do with the
-planning of the war?
-<span class='pageno' title='446' id='Page_446'></span></p>
-
-<p class='pindent'>WAGNER: Captain Dönitz at that time was a subordinate front-line
-commander, under the command of the chief of the fleet and
-he, because of his warfare experience, had the task of training and
-tactically guiding the inexperienced submarine personnel.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did he in turn make any
-suggestions or instigate any plans for the war?</p>
-
-<p class='pindent'>WAGNER: No, these preparations and this war planning, in
-particular for the “Case White,” were exclusively the task of the
-Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Dönitz at any previous
-time hear about the military intentions of the Naval Operations
-Staff?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Admiral Dönitz hear
-of the military intentions of the Naval Operations Staff at a time
-earlier than necessary for the carrying out of the orders given him?</p>
-
-<p class='pindent'>WAGNER: No, he heard of it by means of the orders reaching
-him from the Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral Wagner, you
-know of the London Agreement of 1936 regarding submarine warfare.
-Did the Naval Operations Staff draw any conclusions from
-that agreement for their preparation for a war, in particular, for
-carrying on a possible economic war?</p>
-
-<p class='pindent'>WAGNER: The Prize Regulations still existing from the last war
-were revised and made to conform with the London Agreement.
-For that purpose a committee was formed which included representatives
-from the High Command of the Navy, the Foreign Office, the
-Reich Ministry of Justice, and scientific experts.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were these new Prize
-Regulations made known to the commandants some time before the
-war or were they communicated to them just when they were published
-shortly before the outbreak of the war?</p>
-
-<p class='pindent'>WAGNER: These new Prize Regulations were published in 1938
-as an internal ordinance of the Navy, which was available for the
-purpose of training officers. During the autumn maneuvers of the
-Fleet in 1938 a number of exercises were arranged for the purpose
-of acquainting the officer corps with these new regulations. I,
-myself, at that time...</p>
-
-<p class='pindent'>THE PRESIDENT: Where are the new Prize Regulations you are
-referring to?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am talking about the
-regulations published on 26 August 1939, which are contained in my
-<span class='pageno' title='447' id='Page_447'></span>
-document book. They are on Page 137, in Volume III of my document
-book.</p>
-
-<p class='pindent'>THE PRESIDENT: Thank you.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I beg your pardon,
-Mr. President; the date is not 26, but 28 August.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness was saying that exercises were
-carried out?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, in the year 1938.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: [<span class='it'>Turning to the witness.</span>]
-Which conceptions did the Naval Operations Staff have after the
-beginning of the war regarding the development of the naval war
-against Britain?</p>
-
-<p class='pindent'>WAGNER: The Naval Operations Staff thought that Great Britain
-would probably start in where she had stopped at the end of the
-first World War. That meant that there would be a hunger blockade
-against Germany, a control of the merchandise of neutral countries,
-introduction of a system of control, the arming of merchant ships,
-and the delimitation of operational waters.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am now going to have
-the battle order of 3 September 1939 shown to you. It is Document
-Dönitz-55. It can be found on Page 139, in Volume III of the document
-book. You will see from this that submarines, like all naval
-forces, had orders to adhere to this Prize Ordinance in the economic
-warfare.</p>
-
-<p class='pindent'>Then, at the end, you will find an order which I propose to read
-to you. This is on Page 140:</p>
-
-<div class='blockquote'>
-
-<p>“Order prepared for intensifying the economic war because
-of the arming of enemy merchant ships.</p>
-
-<p>“1) Arming of, and therefore resistance from, the majority
-of English and French merchant ships is to be expected.</p>
-
-<p>“2) Submarines will stop merchant ships only if own vessel
-is not endangered. Attack without warning by submarines is
-allowed against plainly recognized enemy merchant ships.</p>
-
-<p>“3) Battleships and auxiliary cruisers will watch for possibility
-of use of arms by merchant ships when stopped.”</p>
-
-</div>
-
-<p class='pindent'>I should like to ask you whether this order was prepared long
-ago or whether it was improvised at the last moment?</p>
-
-<p class='pindent'>WAGNER: At the beginning of the war we were forced to
-improvise a great many orders we were issuing, because they were
-not prepared thoroughly.
-<span class='pageno' title='448' id='Page_448'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did this order become
-operative at all?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Why not?</p>
-
-<p class='pindent'>WAGNER: After consultation with the Foreign Office, we had
-decided that we would strictly adhere to the London Agreement
-until we had clear-cut evidence of the British merchant navy being
-used for military purposes. We remembered from the last war the
-power which the enemy propaganda had, and we did not under any
-circumstances want to give anyone cause once more to decry us as
-pirates.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When, at what stage, did
-the military use of enemy merchant ships become clear to the Naval
-Operations Staff?</p>
-
-<p class='pindent'>WAGNER: The fact that enemy merchant vessels were armed
-became clear after a few weeks of the war. We had a large number
-of reports about artillery fights which had occurred between U-boats
-and armed enemy merchant ships. Certainly one, and probably
-several boats were lost by us. One British steamer, I think it was
-called <span class='it'>Stonepool</span>, was praised publicly by the British Admiralty for
-its success in combating submarines.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Tribunal already
-has knowledge of the order of 4 October allowing attacks against all
-armed merchant ships of the enemy and also of the order of 17 October
-allowing attacks on all enemy merchant ships with certain
-exceptions.</p>
-
-<p class='pindent'>Were these orders the result of experiences which the Naval
-Operations Staff had regarding the military use of enemy merchant
-ships?</p>
-
-<p class='pindent'>WAGNER: Yes, exclusively.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Both orders contain exceptions
-favoring passenger ships. They were not to be attacked even
-when they were members of an enemy convoy. To what were these
-exceptions due?</p>
-
-<p class='pindent'>WAGNER: They were due to an order from the Führer. At the
-beginning of the war he had stated that Germany did not have any
-intention of waging war against women and children. He wished,
-for that reason, that also in naval war any incidents in which
-women and children might lose their lives should be avoided. Consequently,
-even the stopping of passenger ships was prohibited. The
-military necessities of naval warfare made it very difficult to adhere
-to this order, particularly where passenger ships were traveling in
-enemy convoys. Later on, step by step, this order was altered as it
-<span class='pageno' title='449' id='Page_449'></span>
-became evident that there was no longer any peaceful passenger
-traffic at all and that enemy passenger ships were particularly
-heavily armed and used more and more as auxiliary cruisers and
-troop transport ships.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were the orders of the
-German Naval Operations Staff regarding the combating of armed
-enemy ships and later enemy ships as a whole made known to the
-British Admiralty?</p>
-
-<p class='pindent'>WAGNER: Neither side made its war measures known during
-the war, and that held true in this case also. But in October the
-German press left no doubt whatsoever that every armed enemy
-merchant ship would be sunk by us without warning, and later on it
-was equally well known that we were forced to consider the entire
-enemy merchant marine as being under military direction and in
-military use.</p>
-
-<p class='pindent'>These statements by our press must no doubt have been known
-to the British Admiralty and the neutral governments. Apart from
-that, and I think this was in October, Grossadmiral Raeder gave an
-interview to the press on the same theme.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: A memorandum of the
-Naval Operations Staff was issued in the middle of October: “On the
-Possibilities of Intensifying the War against Merchant Shipping”;
-I am going to have this memorandum shown to you. Its number is
-GB-224. After looking at this memorandum please tell me what its
-purpose was and what the memorandum contains.</p>
-
-<p class='pindent'>Mr. President, some extracts can be found on Page 199, in
-Volume IV of the document book.</p>
-
-<p class='pindent'>WAGNER: This memorandum was issued due to the situation
-that existed since the beginning of the war. On 3 September 1939
-Britain had begun a total hunger blockade against Germany.
-Naturally that was not directed only against the fighting men, but
-against all nonfighting members, including women, children, the
-aged, and the sick. It meant that Britain would declare all food
-rations, all luxury goods, all clothing, as well as all raw materials
-necessary for these items, as contraband and would also exercise a
-strict control of neutral shipping of which Germany would be
-deprived insofar as it would have to go through waters controlled by
-Great Britain. Apart from that, England exercised a growing political
-and economic pressure upon the European neighbors of
-Germany to cease all commerce with Germany.</p>
-
-<p class='pindent'>That intention of the total hunger blockade was emphatically
-confirmed by the Head of the British Government, Prime Minister
-Chamberlain, during a speech before the House of Commons at the
-end of September. He described Germany as a beleaguered fort;
-<span class='pageno' title='450' id='Page_450'></span>
-and he added that it was not customary for beleaguered forts to be
-accorded free rations. That expression of the beleaguered fort was
-also taken up by the French press.</p>
-
-<p class='pindent'>Furthermore, Prime Minister Chamberlain stated around the
-beginning of October—according to this memorandum it was on
-12 October—that in this war Britain would utilize her entire strength
-for the destruction of Germany. From this we drew the conclusion,
-aided by the experiences of the last World War, that England would
-soon hit German exports under some pretext or other.</p>
-
-<p class='pindent'>With the shadow of the total hunger blockade, which no doubt
-had been thoroughly prepared during long years of peace, creeping
-in upon us we now had a great deal to do to catch up, since we had
-not prepared for war against Great Britain. We examined, both
-from the legal and military point of view, the possibilities at our
-disposal by which we in turn might cut off Britain’s supplies. That
-was the aim and purpose of that memorandum.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You are saying, therefore,
-that this memorandum contains considerations regarding means
-for countering the British measures with correspondingly effective
-German measures?</p>
-
-<p class='pindent'>WAGNER: Yes, that was definitely the purpose of that memorandum.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Studying that memorandum
-you will find a sentence—C. 1. is the paragraph—according
-to which the Naval Operations Staff must remain basically within
-the limits of international law, but that decisive war measures would
-have to be carried out even if the existing international law could
-not be applied to them.</p>
-
-<p class='pindent'>Did this mean that international law was to be generally
-disregarded by the Naval Operations Staff, or what is the meaning
-of this sentence?</p>
-
-<p class='pindent'>WAGNER: That question was duly studied by the Naval
-Operations Staff and discussed at great length. I should like to point
-out that on Page 2 of the memorandum, in the first paragraph, it
-states that obedience to the laws of chivalry comes before all else in
-naval warfare. That, from the outset, would prevent a barbarous
-waging of war at sea. We did think, however, that the modern
-technical developments would create conditions for naval warfare
-which would certainly justify and necessitate further development
-of the laws of naval warfare.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Which technical developments
-do you mean?</p>
-
-<p class='pindent'>WAGNER: I am thinking mainly of two points: First, the large-scale
-use of the airplane in naval warfare. As a result of the speed
-<span class='pageno' title='451' id='Page_451'></span>
-and wide range of the airplane, militarily guarded zones could be
-created before the coasts of all warfaring nations, and in respect to
-these zones one could no longer speak of freedom of the seas.
-Secondly, the introduction of electrical orientation equipment which
-made it possible, even at the beginning of the war, to spot an unseen
-opponent and to send fighting forces against him.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It says in this memorandum
-that decisive war measures are to be taken even though
-they create new laws at sea. Did occasion arise for such measures?</p>
-
-<p class='pindent'>WAGNER: No; at any rate, not at once. In the meantime, I think
-on 4 November, the United States of America declared the so-called
-American combat zone, and the specific reason given for it was that
-in that zone actual belligerent actions rendered the sea dangerous for
-American shipping. By this announcement some of the points of
-that memorandum were in immediate need of being revised. As a
-rule we remained within the limits of the measures as they had
-been employed by both parties during the first World War.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: By these measures do
-you mean the warning against navigating in certain zones?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: According to some of the
-exhibits used by the Prosecution, Numbers GB-194 and 226, submarines
-were permitted to attack all ships without warning in
-certain areas, beginning with January 1940. The attacks were to
-be carried out, if possible, unseen, while maintaining the fiction that
-the ships struck mines.</p>
-
-<p class='pindent'>Will you please tell the Tribunal which sea lanes or areas were
-concerned in this? I shall have a sea-chart handed to you for that
-purpose. I am submitting it to the Tribunal as Exhibit Dönitz-93.</p>
-
-<p class='pindent'>Will you please explain what can be seen on that map.</p>
-
-<p class='pindent'>WAGNER: In the middle of the map you will find the British
-Isles. The large part of the ocean which is shaded on the edge shows
-the afore-mentioned American combat zone. The shaded parts of
-the sea near the British coast are those parts which were ordered to
-be German submarine operational zones. They were given letters
-from A to F in accordance with the time when they were set up.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you tell us up to
-which depth these German operational zones went?</p>
-
-<p class='pindent'>WAGNER: I think perhaps as far as the 200 meter line.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Does this depth guarantee
-favorable use of mines?</p>
-
-<p class='pindent'>WAGNER: Yes, down to 200 meters the use of anchored mines is
-possible without any difficulty.
-<span class='pageno' title='452' id='Page_452'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In these operational
-zones certain dates have been entered. Will you please explain how
-it happened that on those particular dates, and in that sequence,
-these territories were made operational zones?</p>
-
-<p class='pindent'>WAGNER: All those areas were declared to be operational zones
-where our fighting forces came into contact with enemy traffic and
-a concentration of the enemy defense, resulting in main combat
-areas.</p>
-
-<p class='pindent'>To begin with, they were the zones at the northern and southern
-end of the German-mined zones which had been declared along the
-British East Coast and in the Bristol Channel. You can see, therefore,
-that Zone A lies to the east of Scotland and is dated 6 January.
-The Bristol Channel Zone is dated 12 January, and finally at the
-southern end of this danger zone, that is, to the east of London, there
-is the date of 24 January.</p>
-
-<p class='pindent'>Later on, according to the fluctuations of the actual fighting,
-further areas around the British Isles and then off the French Coast
-were designated.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Up to what date did this
-development continue?</p>
-
-<p class='pindent'>WAGNER: The last zone was declared on 28 May 1940.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Had neutrals been warned
-against navigating in these zones?</p>
-
-<p class='pindent'>WAGNER: Yes, an official note had informed neutral countries
-that the entire U.S.A. fighting zone had to be considered as being
-dangerous, and that they should negotiate the North Sea to the east
-and to the south of the German mine area which was north of
-Holland.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What difference is there
-between the situation as shown by this map, and the German
-declaration of a blockade of 17 August 1940?</p>
-
-<p class='pindent'>That is, Mr. President, the declaration I have submitted as
-Dönitz-104, which can be found on Page 214 in Volume IV of the
-document book.</p>
-
-<p class='pindent'>WAGNER: As far as the limits of the danger zone are concerned,
-there was really no difference. This fact was also stated by Prime
-Minister Churchill in the House of Commons at the time. However,
-the difference which did exist was that up to that time we confined
-ourselves to the area I have just described, near the British Coast,
-whereas now we considered the entire U.S.A. combat zone as an
-operational zone.</p>
-
-<p class='pindent'>The declaration regarding a blockade was based on the fact that
-in the meantime France had been eliminated from the war, and that
-Britain now was the focal point of all belligerent action.
-<span class='pageno' title='453' id='Page_453'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the German blockade
-zone in its entirety correspond exactly or more or less with the
-U.S.A. combat zone?</p>
-
-<p class='pindent'>WAGNER: It was nearly exactly the same as the U.S.A. combat
-zone. There were merely a few insignificant corrections.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I am submitting
-another sea-chart as Dönitz-92, in which...</p>
-
-<p class='pindent'>THE PRESIDENT: I think perhaps that would be a good time to
-break off then.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now, Mr. President, as
-Dönitz-94, I submit a chart of the German blockade zone dated
-17 August.</p>
-
-<p class='pindent'>Admiral Wagner, just for the sake of repeating, what were the
-limits of the German blockade region in relation to the U.S. fighting
-zone?</p>
-
-<p class='pindent'>THE PRESIDENT: I thought you had already told us that. You
-told us that the blockade zone was the same as the American zone,
-didn’t you?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President, I
-thought that we had not been understood quite correctly before the
-recess.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] What was the naval practice of the
-enemy as far as this operational zone was concerned? Was there any
-practice that they followed?</p>
-
-<p class='pindent'>WAGNER: Yes, the practice on the part of the enemy was
-identical with ours. In the areas controlled by us in the Baltic, in
-the eastern part of the North Sea, around Skagerrak and later on in
-the Norwegian and French waters, the enemy used every suitable
-weapon without giving previous warning, without notifying us in
-advance by which means of combat other ships were to be sunk—submarines,
-mines, aircraft, or surface vessels. In these regions the
-same thing applied to neutrals, and especially to Sweden.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now, I would like to confront
-you with a statement by the First Lord of the British Admiralty.
-You will find this on Page 208 of the document book,
-Volume IV. This statement is dated 8 May 1940, and I have ascertained,
-Mr. President, that unfortunately it is wrongly reproduced in
-the British document book; so I shall quote from the original.</p>
-
-<div class='blockquote'>
-
-<p>“Therefore we limited our operations in the Skagerrak to the
-submarines. In order to make this work as effective as possible,
-<span class='pageno' title='454' id='Page_454'></span>
-the usual restrictions which we have imposed on the actions
-of our submarines were relaxed. As I told the House, all German
-ships by day and all ships by night were to be sunk as
-opportunity served.”</p>
-
-</div>
-
-<p class='pindent'>I should like to submit this as Exhibit Dönitz-102.</p>
-
-<p class='pindent'>THE PRESIDENT: What is the difference that you were making
-in the copy we have before us—“...all ships were to be sunk by
-day and German ships by night...” Is that it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President. It
-should be corrected to read, “all German ships by day and all ships
-by night were to be sunk.”</p>
-
-<p class='pindent'>THE PRESIDENT: I see; I said it wrong—“and all ships by
-night.” Yes, very well.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral Wagner, what
-was the significance of this statement and this practice so far as the
-German ships were concerned?</p>
-
-<p class='pindent'>WAGNER: It means that all German ships by day and by night
-in this area were to be sunk without warning.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what does it mean
-for the neutral ships?</p>
-
-<p class='pindent'>WAGNER: It means that without warning all neutral ships in this
-area by night...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, surely the document speaks
-for itself. We don’t need to have it interpreted by a witness who
-isn’t a lawyer.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Very well.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Then, tell me, please, from what period
-of time onward, according to German experiences, did this practice
-exist in the Skagerrak?</p>
-
-<p class='pindent'>WAGNER: With certainty from 8 April 1940, but I believe I
-recall that even on 7 April this practice was already in existence.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Had this area at this
-period of time, that is, the 7th or 8th of April, already been declared
-a danger zone?</p>
-
-<p class='pindent'>WAGNER: No, the first declaration of danger zone for this area
-took place on 12 April 1940.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now I shall have a sea-chart
-handed to you dealing with the British danger zones, and this
-shall be Dönitz-92. Please explain the significance of this chart
-briefly to the Tribunal.
-<span class='pageno' title='455' id='Page_455'></span></p>
-
-<p class='pindent'>WAGNER: This chart shows the danger zones in European
-waters as declared by England on the basis of German data. The
-following areas are of special significance:</p>
-
-<p class='pindent'>First of all, the area in the Bay of Helgoland which on 4 September
-1939, that is, on the second day of the war, was declared
-dangerous. Then the afore-mentioned danger zone, Skagerrak and
-the area south of Norway, which was declared on 12 April 1940.
-Then the danger zone in the Baltic, on 14 April 1940; and following
-upon that, the other danger zones as declared in the course of the
-year 1940.</p>
-
-<p class='pindent'>I should like to remark also that, according to my recollection,
-these danger zones were all declared mine danger zones, with the
-exception of the Channel zone and of the Bay of Biscay, on
-17 August 1940. These were generally dangerous zones.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were these areas actually
-dominated by the British sea and air forces, or did German traffic
-still continue?</p>
-
-<p class='pindent'>WAGNER: In these areas there was even very lively German
-traffic. Thus the Baltic Sea, which in its entire expanse from East
-to West, about 400 nautical miles in length, had been declared a
-danger zone, was in reality controlled by us during the entire war.
-In this area there was an extensive freight traffic, the entire ore
-traffic from Sweden and the corresponding exports to Sweden.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was there only traffic of
-German ships or also of neutral ships?</p>
-
-<p class='pindent'>WAGNER: This traffic was in German and Swedish ships, but
-other neutrals also participated in this traffic, for instance, Finland.
-A similar situation applied in the Skagerrak where, besides the
-German supply traffic, a large part of the foodstuffs for the Norwegian
-population was transported. Of course, during this time
-both German and neutral ships were lost.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I assume, therefore, that
-both German and neutral seamen lost their lives. Is that correct?</p>
-
-<p class='pindent'>WAGNER: Of course, personnel losses took place as well.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were the German merchantmen,
-at the time when these operational zones were declared,
-armed—that is, at the end of 1939 or the beginning of 1940?</p>
-
-<p class='pindent'>WAGNER: Until the middle of 1940 German merchantmen were
-not at all armed. From then on they were comparatively slightly
-armed, especially with antiaircraft weapons.</p>
-
-<p class='pindent'>Transport ships of the Navy had always been armed, that is,
-government ships, which supplied German cruisers and auxiliary
-cruisers in the Atlantic.
-<span class='pageno' title='456' id='Page_456'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now I shall submit to
-you a document of the Prosecution, Exhibit GB-193, which is found
-in the Prosecution’s document book on Page 29. This document deals
-with a proposal by the Commander of the U-boats that “...in the
-Channel, ships with blacked-out lights may be sunk without
-warning.” Can you tell me just whose ideas we are dealing with in
-the statements set forth in this document?</p>
-
-<p class='pindent'>WAGNER: From the signature found in this document it appears
-that we are concerned with a document by a U-boat expert in the
-Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Who was that?</p>
-
-<p class='pindent'>WAGNER: Lieutenant Fresdorf, who was my subordinate.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Are these statements in
-accord with the actual circumstances and were they approved by the
-Naval Operations Staff, or just what was the situation?</p>
-
-<p class='pindent'>WAGNER: Here we are concerned with the rather romantic ideas
-of a young expert, ideas which were in no way commensurate with
-the situation. The situation was rather as follows: At this time, that
-is, in September 1939, the second wave of the British Expeditionary
-Corps left England for France. The transports ran mostly during the
-night and were blacked out. At this same time an order existed
-according to which French ships were neither to be stopped nor
-attacked; this was still in force for political reasons.</p>
-
-<p class='pindent'>It is quite obvious that at night a blacked-out French ship cannot
-be told from a blacked-out English ship, just as at night a merchant
-ship cannot, or only with difficulty, be told from a warship.</p>
-
-<p class='pindent'>These orders, therefore, meant that at night, in order to avoid
-a mistake, practically no shooting could be done, and therefore the
-English troop transport was entirely unhampered. This brought
-about really grotesque situations. It was ascertained that a German
-U-boat in a favorable position of attack let a fully-loaded English
-troop transport ship of 20,000 tons pass by, since there was the
-possibility of making a mistake. The Naval Operations Staff agreed
-completely with the commanders of the U-boats that no naval war
-could be carried on in this manner. If a blacked-out ship sails in a
-belligerent area, better still, in an area where there is a large supply
-and troop transport traffic, it is liable to suspicion and cannot expect
-the war to be halted at night for its sake.</p>
-
-<p class='pindent'>Therefore it was not a question of our explaining or excusing
-ourselves for sinking a ship without warning because we had
-mistaken it, but the obvious fact at hand was that the blacked-out
-ship alone was to blame if it was not properly recognized and was
-sunk without warning.
-<span class='pageno' title='457' id='Page_457'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In these notes we find
-that the commanders of U-boats, when sinking a merchant ship without
-warning, were required to make the notation in their log that
-they had taken it for a warship and that an order, a verbal order,
-to this effect was to be given to the commanders of the U-boats. Is
-that correct, and was it done in actual practice?</p>
-
-<p class='pindent'>WAGNER: No, we never did anything like that.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was the Flag Officer of
-the U-boats given strict and clear orders that blacked-out ships at
-night in the Channel might be attacked without warning?</p>
-
-<p class='pindent'>WAGNER: Yes. This clear order was issued, but nothing more.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: If the statements of this
-young officer are not correct, and if no orders were issued accordingly,
-how is it that these things can be found in the War Diary of
-the Naval Operations Staff?</p>
-
-<p class='pindent'>WAGNER: This paper is not a direct part of the War Diary of
-the Naval Operations Staff. The War Diary itself, in which the daily
-happenings were recorded, was signed by me, by the Chief of Staff
-of the Naval Operations Staff, and by the Commander-in-Chief of
-the Navy. Here we are concerned with the entry of an expert which
-was destined for a file collection and motivated by the War Diary.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That means, then, that
-the considerations and opinions of experts were collected and filed
-no matter whether they were approved of or put into actual practice?</p>
-
-<p class='pindent'>WAGNER: Yes. All of these files were collected for later
-purposes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations
-Staff receive news of the incidents which happened after the
-sinking of the <span class='it'>Laconia</span>, and did it approve of the measures taken
-by the Commander of the U-boats?</p>
-
-<p class='pindent'>WAGNER: The Naval Operations Staff, then as always, listened
-in on all the wireless messages of the Commander-in-Chief in the
-<span class='it'>Laconia</span> case. It approved of the measures taken by him, but it would
-not have been at all surprised if the Commander of the U-boats
-had stopped the entire rescue work at the very first air attack upon
-the U-boats.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations
-Staff know of the order of the Commander of the U-boats,
-dated 17 September, in which rescue work by U-boats was expressly
-prohibited?</p>
-
-<p class='pindent'>WAGNER: This order given by the Commander of the U-boats
-was also heard by wireless.
-<span class='pageno' title='458' id='Page_458'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was this order interpreted
-by the Naval Operations Staff to the effect that it was to be
-an order for the shooting of shipwrecked people?</p>
-
-<p class='pindent'>WAGNER: No; no one ever had this idea.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, at this
-point I should like to put several questions to the witness which
-have a bearing on the credibility of the statements made by the
-witness Heisig. But I should like to ask in advance whether there
-are any objections to my putting these questions, since my documents
-referring to the witness Heisig were not ruled admissible.</p>
-
-<p class='pindent'>THE PRESIDENT: Was the object of the questions which you
-were offering to put to this witness to show that the witness Heisig
-was not a witness who could be believed upon his oath? Was that
-your object?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The general object is to
-show how the testimony of this witness originated; that is, the
-testimony which was submitted to the Court.</p>
-
-<p class='pindent'>THE PRESIDENT: What do you mean by “originated”?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is to say, what influence
-on the witness Heisig forms the basis of this testimony.</p>
-
-<p class='pindent'>THE PRESIDENT: What is the exact question you wanted to
-ask? You may state it, and we will let the witness wait until we
-have seen what the question is.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should like to ask the
-witness, “Did the witness Heisig report to you about the manner in
-which his affidavit, which was submitted to the High Tribunal as
-evidence by the Prosecution, originated?”</p>
-
-<p class='pindent'>THE PRESIDENT: The question that you put, as I took it down,
-was: What did the witness Heisig report to you about the way his
-affidavit came about? Is that the question?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Your Honor.</p>
-
-<p class='pindent'>THE PRESIDENT: What are you purporting to prove by getting
-the reports that Heisig may have made to this witness?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should like to prove
-therewith, Mr. President, that Heisig was under a certain influence,
-that is, that he wrongly assumed that he could help a comrade
-through his testimony.</p>
-
-<p class='pindent'>THE PRESIDENT: Who applied for Heisig’s affidavit?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I did not understand,
-Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: Heisig has given an affidavit, has he not?
-<span class='pageno' title='459' id='Page_459'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: That was for the Prosecution, was it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is right.</p>
-
-<p class='pindent'>THE PRESIDENT: And have you asked to cross-examine him?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I interrogated him about
-this affidavit, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: You did?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, I did question him;
-and I called his attention to the contradictions between his affidavit
-and his testimony here in Court.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, I have not read the
-transcript on this point for about 10 days. But I did read it then,
-and my recollection is that it was never suggested to the witness
-Heisig that he gave his affidavit under pressure, which I gather is
-the suggestion now. Your Lordship will remember that although
-we had the affidavit, we called the witness Heisig. He said that
-what was in his affidavit was true; and then he gave his evidence,
-giving a detailed account of all the relevant matters. So we made
-it perfectly possible for Dr. Kranzbühler to cross-examine him at
-the time and to show any differences, as Dr. Kranzbühler just said
-he purported to do, between the affidavit and his oral evidence.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler has just said, I think, that
-he did actually cross-examine him.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: He did cross-examine him on
-that point—on any differences that appeared between his affidavit
-and his oral testimony. But he was here to be cross-examined, and
-if it is going to be suggested that the affidavit was obtained by
-improper means, that suggestion ought to have been made at the
-time, and then it could have been dealt with.</p>
-
-<p class='pindent'>My Lord, I object to its coming in at this stage, after the witness
-Heisig has been away, and therefore no opportunity has been given
-to us either to investigate the matter or to have the evidence there,
-which could have been done when Heisig gave his evidence; and we
-could have been prepared for any contradictory evidence now.</p>
-
-<p class='pindent'>My Lord, as a matter of strictness, surely, if I may put it that
-way, there are two distinct lines. If it was a question of whether
-Heisig’s evidence was admissible or whether it had been obtained
-under pressure, then it would be quite possible to have this trial
-within a trial as to whether it was admissible or not. But if this
-evidence is, broadly, merely directed to the credibility of Heisig’s
-evidence, then I respectfully submit it falls within the same objections
-I made on Saturday to general evidence directed against the
-credibility of a witness.
-<span class='pageno' title='460' id='Page_460'></span></p>
-
-<p class='pindent'>THE PRESIDENT: I do not think it is suggested that there was
-any pressure put by the Prosecution upon Heisig. I do not understand
-that that is what you are suggesting, Dr. Kranzbühler, is it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No, no pressure; but the
-picture as drawn was not true.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I understood Dr. Kranzbühler—if
-I misunderstood him, so much the easier—I understood him to
-say that he wanted to give this evidence as to certain influence. I
-thought that was the word used.</p>
-
-<p class='pindent'>THE PRESIDENT: I think he meant, not influence exerted by
-the Prosecution, but exerted by a mistaken notion in the witness’
-own mind that he was helping a friend.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I see. My Lord, then that
-merely goes to credibility and it does then fall within my general
-objection; that is, if we are going to have evidence as directed on
-credibility, we go on <span class='it'>ad infinitum</span>.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the Tribunal will allow this
-question to be put in this particular instance, but they make no
-general rule as to the admissibility of such questions.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Thank you very much,
-Mr. President.</p>
-
-<p class='pindent'>Admiral Wagner, in December you were in the prison here
-together with the witness Heisig. Is that correct?</p>
-
-<p class='pindent'>WAGNER: Yes, from the first until the fifth of December.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what did Heisig
-tell you about the underlying considerations of his affidavit?</p>
-
-<p class='pindent'>WAGNER: He told me the following personally: At the interrogation
-he had been told that Lieutenant Hoffmann, officer of the
-watch of Kapitänleutnant Eck, had testified that at that time he had
-listened to the speech by Admiral Dönitz at Gotenhafen in the
-autumn of 1942, and that he had considered this as a demand for the
-killing of survivors of shipwrecks. Heisig had been told:</p>
-
-<div class='blockquote'>
-
-<p>“If you confirm this testimony of Hoffmann, then you will
-save not only Eck and Hoffmann, but also two others who
-would have been sentenced to death. You will prevent any
-kind of judicial proceeding against Captain Möhle from being
-instituted. Of course, you will thus incriminate Grossadmiral
-Dönitz but the material against Admiral Dönitz is of such
-tremendous weight that his life has been forfeited anyway.”</p>
-
-</div>
-
-<p class='pindent'>Further he told me, and without prompting, that at that time,
-on the occasion of the speech by the Admiral Dönitz, he had been
-deeply distressed. He had just returned from Lübeck, where he had
-<span class='pageno' title='461' id='Page_461'></span>
-experienced and seen the frightful consequences of an air attack;
-that is he had perhaps not experienced it, but at least he had seen
-the consequences. His mind was set on revenge for these brutal
-measures, and he considered it possible that this emotional state
-might have influenced his interpretation of Grossadmiral Dönitz’
-speech.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now we shall turn to a
-different point.</p>
-
-<p class='pindent'>THE PRESIDENT: Sir David.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: If the Prosecution desire to do so, they can,
-of course, recall Heisig for the purpose of investigating this further.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: If Your Lordship pleases, Heisig
-is no longer here; that is the difficulty when this is done in this
-order. However, we can consider the matter, My Lord, and we are
-grateful to the Tribunal for the permission.</p>
-
-<p class='pindent'>THE PRESIDENT: Is Heisig not in custody? Is that what you
-mean?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Yes, My Lord, he is no longer
-in custody.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: He is studying medicine
-at Munich; he can be very easily reached.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: Thank you.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: From when on were you
-admiral for special tasks attached to the Commander-in-Chief of
-the Navy and what were your tasks in that capacity?</p>
-
-<p class='pindent'>WAGNER: From the end of June 1944 onward, and the purpose
-of my assignment was the following: After the success of the Anglo-Saxon
-invasion in northern France, Admiral Dönitz counted on an
-increased tension in the military situation. He believed that one
-day he might be forced to leave the Naval Operations Staff, either
-to remain permanently at the Führer’s headquarters, or at least for
-a longer period of time, in order to keep up with the development
-of the entire war situation, or because a transfer of the Naval
-Operations Staff might be necessary because of the increasingly
-heavy air attacks on Berlin. For this purpose the Grossadmiral
-wanted an older and experienced naval officer in his immediate
-vicinity, an officer who was well-versed in the problems of sea
-warfare and who was acquainted with the duties and tasks of the
-Naval Operations Staff.</p>
-
-<p class='pindent'>My mission was, therefore, a sort of liaison between the Commander-in-Chief
-of the Navy, the Naval Operations Staff and the
-<span class='pageno' title='462' id='Page_462'></span>
-other offices of the High Command for the duration of the Grossadmiral’s
-absence from the High Command.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you accompany the
-Grossadmiral regularly on his visits to the Führer’s headquarters?</p>
-
-<p class='pindent'>WAGNER: Yes; from the period mentioned I was present regularly.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now I hand you a list of
-these visits which has been submitted by the Prosecution as GB-207.
-This may be found in the document book of the Prosecution on
-Page 56. Please look at this list and tell me whether the dates
-recorded there are essentially correct.</p>
-
-<p class='pindent'>WAGNER: The dates are essentially correct. At the end the list
-is not complete, for the period from 3—no; from 10 April until
-21 April 1945 is missing. On that day the Grossadmiral participated
-for the last time at the conferences in the Führer’s headquarters.
-Beyond that, it seems to me that the list of the people present is
-incomplete. I also do not know according to what point of view or
-with what idea in mind this was compiled.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: If you carefully examine
-this list of people, can you tell me whether Admiral Dönitz was
-always with these people on the dates mentioned, or does this mean
-only that these persons were at the Führer’s headquarters at the
-same time he was? Can you still recall these points?</p>
-
-<p class='pindent'>WAGNER: Yes. If these people participated in the military conferences,
-then Admiral Dönitz at least saw them. Of course, people
-in high positions were frequently at the Führer’s headquarters who
-did not participate in the military conferences and whom the Grossadmiral
-did not see unless he had special conversations with them.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: For what reason did
-Admiral Dönitz...</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, upon this point, if
-the witness is saying that any one of these minutes is incomplete, I
-should be very grateful if he would specify it, because we can get
-the original German minutes here and confirm the affidavit.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I believe the witness said
-only that additional people participated in these discussions and
-that, at the end, some of the conferences are lacking. However, I do
-not know just what details I should question him about. Perhaps
-the Prosecution will deal with that matter later in cross-examination?</p>
-
-<p class='pindent'>THE PRESIDENT: But Sir David wants him to specify which
-are the ones, if he can.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Very well.
-<span class='pageno' title='463' id='Page_463'></span></p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Can you tell me more specifically as
-to any one of these dates, whether those present are correctly named
-or whether there were other people present, or whether Grossadmiral
-Dönitz was not present?</p>
-
-<p class='pindent'>WAGNER: I can tell you exactly that this list is incorrect because
-it never occurred that neither Field Marshal Keitel nor
-Generaloberst Jodl was present at the headquarters. For example,
-on 4 March 1945 neither one of these men is mentioned, nor on
-6 March or 8 March. Therefore I conclude that this list cannot be
-complete. In other places, however, the name of Jodl appears; for
-example, on 18 March 1945.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The decisive point seems
-to be whether Admiral Dönitz was present in the Führer’s headquarters
-on all of these days. Can you confirm that point?</p>
-
-<p class='pindent'>WAGNER: Of course, from memory I cannot confirm that with
-reference to every single day. However, I am under the impression
-that the list is correct in that connection, for the frequency of the
-visits of the Grossadmiral corresponds with the notes in this list,
-and spot checks show me that the dates are correct.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Why did Grossadmiral
-Dönitz come to the Führer’s headquarters? What were the reasons?</p>
-
-<p class='pindent'>WAGNER: The chief reason for the frequent visits, which became
-even more frequent toward the end of the war, was the desire to
-keep up with the development of the general war situation so that
-he, Dönitz, could lead the Navy and carry on the naval war accordingly.
-Beyond that, questions usually came up which the Admiral
-could not decide for himself out of his own authority and which,
-because of their importance, he wanted to bring up personally or to
-discuss with the representatives of the OKW and of the General
-Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In each of these cases
-was there a personal report of the Grossadmiral to the Führer?</p>
-
-<p class='pindent'>WAGNER: This is what happened: Most of the problems and
-reports for the Führer were taken care of during the conference in
-connection with the Admiral’s report on the naval warfare situation.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: One moment. Was the
-Admiral always present at the military conferences when he was at
-the headquarters?</p>
-
-<p class='pindent'>WAGNER: The Admiral took part at least in the discussion of
-the main session every day.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what is the main
-session?
-<span class='pageno' title='464' id='Page_464'></span></p>
-
-<p class='pindent'>WAGNER: At noon every day there was a military conference
-which lasted several hours. This was the main conference. In addition,
-for months, sessions, including special sessions, were held in
-the evening or at night, at which the Admiral participated only
-when very important matters were to be discussed—matters of
-special importance for the conduct of the war. Then, as I said, he
-participated.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now you say that most
-of the questions which the Grossadmiral had to put to the Führer
-were taken care of at the military conference. Were there any personal
-reports besides this?</p>
-
-<p class='pindent'>WAGNER: Personal reports on the part of the Grossadmiral to
-Hitler took place very seldom; on the other hand, personal discussions
-with the OKW and the other military offices at the headquarters
-took place daily.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Now, I would like to
-know something more in detail about this so-called “Lagebesprechung,”
-the conferences.</p>
-
-<p class='pindent'>The Prosecution seem to consider this as a sort of War Cabinet
-at which, for instance, Ribbentrop would report about foreign
-policies, Speer about questions of production, Himmler about security
-questions. Is this a correct picture? Who took part in these
-sessions, what people participated regularly and who attended only
-once in a while?</p>
-
-<p class='pindent'>WAGNER: The participants at the conferences were generally
-the following:</p>
-
-<p class='pindent'>Regular participants: from the OKW, Field Marshal Keitel, General
-Jodl, General Buhle, Post Captain Assmann, Major Büchs, and
-a few more Chiefs of Staff. Then the Chief of the General Staff of
-the Army with one or two aides, and as a rule also the Chief of the
-General Staff of the Air Force with one aide. Further regular participants
-were: the Chief of the Army Personnel Office, who was
-Chief Adjutant to the Führer; General Bodenschatz, until 20 July
-1944; Vice Admiral Voss who was the permanent deputy of the
-Grossadmiral; Gruppenführer Fegelein, as Himmler’s permanent
-deputy; Ambassador Hewel; Minister Sonnleitner, permanent deputy
-of the Foreign Minister; Reich Press Chief Dr. Dietrich. Frequently
-the following participated: the Commander-in-Chief of the Luftwaffe;
-less frequently, Himmler. In addition to these there was a
-varying participation on the part of special officers, mainly from
-the General Staff of the Army, and on the part of higher front
-commanders of the Army and of the Air Force who happened to be
-in headquarters. Beyond that, toward the end of the war Reich
-Minister Speer in his capacity as Armament Minister also participated
-<span class='pageno' title='465' id='Page_465'></span>
-in an increasing measure, and in rare cases the Reich Foreign
-Minister Von Ribbentrop, both as listeners at the conferences. I
-believe that is the complete list.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Who reported at these
-conferences and what was reported on?</p>
-
-<p class='pindent'>WAGNER: These sessions were for the sole purpose of informing
-Hitler about the war situation—about the Eastern situation through
-the General Staff of the Army, and through the OKW about the
-situation in all other theaters of war and concerning all three
-branches of the Wehrmacht. The report took place as follows:</p>
-
-<p class='pindent'>First of all, the Chief of General Staff of the Army reported
-about the Eastern situation; then Generaloberst Jodl reported on
-the situation in all other theaters of war on land. Next, Post Captain
-Assmann of the OKW reported on the naval situation. In between,
-frequent, often hour-long, conversations took place which dealt with
-special military problems, panzer problems, aerial problems and
-such. And after the aerial problems were dealt with the discussion
-was at an end, and we left the room. I frequently saw that Ambassador
-Hewel went in to Hitler with a batch of reports, apparently
-from the Foreign Office, and reported on them without the rest of
-us knowing what they contained.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In these conferences was
-there voting or was there consultation, or who gave the orders?</p>
-
-<p class='pindent'>WAGNER: In these conferences all military questions were discussed
-and frequently decisions were reached by the Führer, that
-is, if no further preparations were necessary for a decision.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What for example did
-the Foreign Minister Von Ribbentrop do there when he was present?</p>
-
-<p class='pindent'>WAGNER: I only saw Foreign Minister Von Ribbentrop perhaps
-five or six times at these conferences, and I cannot remember that
-he ever said anything during the entire session. He was only present
-at the conference for his own information.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How about Minister
-Speer, what did he do?</p>
-
-<p class='pindent'>WAGNER: Minister Speer also very seldom brought in armament
-problems during the discussion. I know that questions of
-armament were always discussed between Hitler and Speer in
-special discussions. However, some exceptions may have occurred.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What was Himmler doing
-there, or his permanent deputy Fegelein? Did they discuss questions
-of security, or what was their mission?
-<span class='pageno' title='466' id='Page_466'></span></p>
-
-<p class='pindent'>WAGNER: No. During the military conference security problems
-were never discussed. Himmler and his deputy appeared very frequently
-in connection with the Waffen-SS, and Fegelein had always
-to give reports about the setup, organization, arming, transportation
-and engagement of the SS divisions. At this time the SS divisions,
-according to my impression, still played a very important part, for
-ostensibly they represented a strategic reserve and were much discussed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have a record of the
-meeting which was written by you. It has the Number GB-209. It
-is not found in the document book. It says in the third paragraph—and
-I am just reading one sentence:</p>
-
-<div class='blockquote'>
-
-<p>“The Deputy of the Reichsführer-SS at the Führer’s headquarters,
-SS Gruppenführer Fegelein, transmits the request
-of the Reichsführer as to when he can count on the arrival
-of the ‘Panther’ ”—those are tanks—“coming from Libau.”</p>
-
-</div>
-
-<p class='pindent'>Is this typical of SS Gruppenführer Fegelein’s work?</p>
-
-<p class='pindent'>WAGNER: Yes. That was the kind of questions which were
-dealt with at every one of these sessions.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: At the end of the war
-Kaltenbrunner appeared several times also. Did he speak or report?</p>
-
-<p class='pindent'>WAGNER: I cannot remember one single utterance on Kaltenbrunner’s
-part during one of these military conferences.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What role did Admiral
-Dönitz play at the session discussions?</p>
-
-<p class='pindent'>WAGNER: Even when Grossadmiral Dönitz was present the
-naval situation was reported by the deputy from the OKW, Commodore
-Assmann. However, the Admiral used this occasion to
-present, in connection with the individual theaters of war, or in
-summary at the end, those questions which he had in mind. The
-Admiral was neither asked nor did he give any opinion on questions
-dealing with air or land warfare which had no connection with the
-conduct of the naval war. In his statements he strictly confined
-himself to the sphere of the Navy, and very energetically objected
-if someone else during the session tried to interfere in questions of
-naval warfare.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have
-come to a break. If the Tribunal agrees to declare a recess...</p>
-
-<p class='pindent'>THE PRESIDENT: Very well. We will adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='467' id='Page_467'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal will adjourn this afternoon at
-4:30 in order to sit in closed session.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral Wagner, as time
-went on a close relationship developed between Admiral Dönitz
-and Adolf Hitler. Was this due to the fact that the Admiral was
-particularly ready to comply with the Führer’s wishes?</p>
-
-<p class='pindent'>WAGNER: No, not at all. Admiral Dönitz’ activity as Commander-in-Chief
-of the Navy began with a very strong opposition
-to Hitler. It was Hitler’s intention to scrap the large ships of the
-Navy, that is to say, the remaining battleships and cruisers.
-Admiral Raeder had already rejected that plan.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That story is already
-known, Admiral. You need not go into it in detail.</p>
-
-<p class='pindent'>WAGNER: Very well. Apart from that, Hitler’s respect for
-Dönitz was due to the fact that every statement which the Admiral
-made was absolutely reliable and absolutely honest. The Admiral
-attached particular importance to the fact that particularly unfavorable
-developments, failures, and mistakes were to be reported
-at headquarters without digression, objectively, and simply. As an
-example, I should like to mention that the Admiral had given me
-the order...</p>
-
-<p class='pindent'>THE PRESIDENT: I do not think we need examples of that sort
-of thing. Surely the general statement is quite sufficient.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the Admiral in any
-way show himself particularly willing to comply with the Führer’s
-political wishes or those of the Party?</p>
-
-<p class='pindent'>WAGNER: No. Such wishes of the Party were, in my opinion,
-only put to the Navy in three cases. One was the question of the
-churches, which for the most part came up during the time of
-Admiral Raeder. I think it is generally known that the Navy
-retained its original religious organization and, in fact, extended it
-as the Navy grew.</p>
-
-<p class='pindent'>The second request made by the Party was that, modeled on the
-Russian example, political commissars should be set up within the
-Armed Forces. On that occasion Admiral Dönitz went to see Hitler
-and prevented the carrying out of that plan. When after 20 July
-1944 Bormann nevertheless succeeded in getting the so-called
-“NSFO”—the National Socialist Leadership Officers—introduced
-into the Armed Forces, it did not happen in the way the Party
-wished, by appointing political commissars. It was merely done by
-using officers who were under the jurisdiction of the commander
-<span class='pageno' title='468' id='Page_468'></span>
-and who could not in any way interfere with the leadership of the
-troops. The third case was the intention on the part of the Party
-to take away from, the Armed Forces the political penal cases.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: This case is also already
-known, Admiral. You kept the records of the visits at the Führer’s
-headquarters, is that correct?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: A number of these
-records have been introduced as evidence in this Court. Will you
-please explain to the Tribunal what was the purpose of keeping
-these records of visits of commanders-in-chief to the Führer’s headquarters?</p>
-
-<p class='pindent'>WAGNER: The Chief of the Naval Operations Staff, the Chief
-of the Naval Armaments, and the Chief of the General Navy
-Department—that is to say, the three leading men in the High
-Command of the Navy—were to be informed by means of these
-records of all happenings which took place in the presence of the
-Admiral, as far as they were of any interest to the Navy. That was
-one of my tasks.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You have just said “informed
-about happenings which took place in the presence of the
-Admiral.” Does that mean that he himself must have heard everything
-that has been put down in these records?</p>
-
-<p class='pindent'>WAGNER: Not necessarily. It happened quite frequently that
-during situation reports, when they took place in a large room
-and when subjects were discussed which did not interest him
-so much, the Admiral would retire to another part of the room
-and deal with some business of his own or discuss Navy questions
-with other participants in the meeting. It was possible that on
-such occasions I heard things and put them down in the record
-which the Admiral himself did not hear. But, of course, he would
-know about them later when he saw my record.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am going to have
-shown to you one of your own records of discussions on 20 February
-1945. It is Exhibit Number GB-209, and it is on Page 68
-of the document book of the Prosecution. This deals with considerations
-regarding the renouncing of the Geneva Convention.
-Will you please describe exactly what happened as you remember it?</p>
-
-<p class='pindent'>WAGNER: Approximately two or three days before the date
-in this record—in other words, on or about 17 or 18 February
-1945—Admiral Voss telephoned me from headquarters, which at
-that time was situated in Berlin, and informed me that in connection
-with Anglo-Saxon propaganda to induce our troops to
-<span class='pageno' title='469' id='Page_469'></span>
-desert in the West, Hitler had stated his intention to leave the
-Geneva Convention.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What did he hope to
-achieve?</p>
-
-<p class='pindent'>WAGNER: According to my first impression at the time, the
-intention was evidently to express to the troops and the German
-people that captivity would no longer bring any advantage. Thereupon,
-I immediately telephoned to the Naval Operations Staff,
-since I considered the intention to be completely wrong, and I
-asked them for a military opinion and an opinion from the point
-of view of international law.</p>
-
-<p class='pindent'>On the 19th, when taking part in the situation discussion, Hitler
-once more referred to this question, but this time not in connection
-with happenings on the western front; but in connection with the
-air attacks by the western enemies on open German towns—attacks
-had just been made on Dresden and Weimar.</p>
-
-<p class='pindent'>He ordered the Admiral to examine the effects of leaving the
-Geneva Convention from the point of view of naval warfare. An
-immediate answer was not expected and it was not given. Generaloberst
-Jodl was also quite strongly opposed to these intentions
-and he sought the Admiral’s support. Thereupon it was agreed
-to have a conference and that is the conference which is mentioned
-in the record under Figure 2.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That is the conference of
-20 February, Admiral?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Who participated in that
-conference?</p>
-
-<p class='pindent'>WAGNER: Admiral Dönitz, Generaloberst Jodl, Ambassador
-Hewel, and myself.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What was the subject?</p>
-
-<p class='pindent'>WAGNER: The subject was the Führer’s intention of renouncing
-the Geneva Convention. The result was the unanimous opinion
-that such a step would be a mistake. Apart from military consideration
-we especially held the conviction that by renouncing
-the Geneva Convention both the Armed Forces and the German
-people would lose confidence in the leadership, since the Geneva
-Convention was generally considered to be the conception of international
-law.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In your notes there is
-a sentence, “One would have to carry out the measures considered
-necessary without warning and at all costs ‘to save face’ with the
-outer world.” What is the significance of that sentence?
-<span class='pageno' title='470' id='Page_470'></span></p>
-
-<p class='pindent'>WAGNER: That sentence means that on no account should there
-be any irresponsible actions. If the leaders considered it necessary
-to introduce countermeasures against air attacks on open
-German towns, or against the propaganda for desertion in the West,
-then one should confine oneself to such countermeasures which
-appear necessary and justifiable. One should not put oneself in
-the wrong before the world and one’s own people by totally repudiating
-all the Geneva Conventions and announce measures which
-went far beyond what appeared to be necessary and justifiable.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were any concrete measures
-discussed in this connection or were any such measures even
-thought of?</p>
-
-<p class='pindent'>WAGNER: No. I can remember very well that no specific measures
-were discussed at all during the various conferences. We
-were mainly concerned with the total question of whether to
-repudiate the Geneva Convention or not.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you ever learn anything
-about a so-called intention on Adolf Hitler’s part to shoot
-10,000 prisoners of war as a reprisal for the air attack on Dresden?</p>
-
-<p class='pindent'>WAGNER: No, I have never heard anything about that.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The expression “to save
-face”—doesn’t that mean secrecy, hiding the true facts?</p>
-
-<p class='pindent'>WAGNER: In my opinion it was certain that there was no
-question of secrecy, for neither the countermeasures against air
-attacks nor the measures of intimidation against desertion could
-be effective if they were concealed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How long did this whole
-conversation which you recorded last?</p>
-
-<p class='pindent'>WAGNER: Will you please tell me which conversation you
-mean?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The discussion of 20 February
-which contains the sentences which I have just read to you.</p>
-
-<p class='pindent'>WAGNER: It took perhaps ten minutes or a quarter of an hour.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: So that your record is
-a very brief condensed summary of the conversation?</p>
-
-<p class='pindent'>WAGNER: Yes, it only contains the important points.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Admiral Dönitz also
-submit his objections to the Führer?</p>
-
-<p class='pindent'>WAGNER: As far as I recollect, it never reached that point.
-One became convinced that Hitler, as soon as he put his questions
-to the Admiral, could gather from the Admiral’s expression and
-the attitude of the others that they rejected his plans. We passed
-<span class='pageno' title='471' id='Page_471'></span>
-our views on to the High Command of the Armed Forces in writing
-and heard no more about the whole matter.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am now going to show
-you another record which is submitted under GB-210. It is on the
-next page of the document book of the Prosecution and it refers
-to conferences at the Führer’s headquarters from 29 June to
-1 July 1944.</p>
-
-<p class='pindent'>You will find an entry under the date of 1 July which reads,
-“In connection with the general strike in Copenhagen, the Führer
-says that terror can be subdued only with terror.” Was this statement
-made during a conversation between Hitler and Admiral
-Dönitz or in which connection?</p>
-
-<p class='pindent'>WAGNER: This is a statement made by Hitler during a situation
-discussion and addressed neither to Admiral Dönitz nor to
-the Navy.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Well, if it was not addressed
-to the Navy, then why did you include it in your record?</p>
-
-<p class='pindent'>WAGNER: I included in my record all statements which could
-be of any interest to the Navy. The High Command of the Navy
-was, of course, interested in the general strike in Copenhagen
-because our ships were repaired in Copenhagen; and apart from
-that Copenhagen was a naval base.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And to whom did you
-pass this record? Who received it?</p>
-
-<p class='pindent'>WAGNER: According to the distribution list on Page 4, the
-paper went only to the Commander-in-Chief and department 1 of
-the Naval Operations Staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the Naval Operations
-Staff have anything to do with the treatment of shipyard workers
-in Denmark?</p>
-
-<p class='pindent'>WAGNER: No, nothing at all. From 1943 on the shipyards were
-entirely under the Ministry of Armaments.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution sees in
-this statement and its transmission to a department of the OKW
-an invitation to deal ruthlessly with the inhabitants. Does that in
-any way tally with the meaning of this record?</p>
-
-<p class='pindent'>WAGNER: There can be no question of that. The only purpose
-of this record was to inform the Departments of the High Command.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am now going to have
-another document shown to you. It is Exhibit Number USA-544.
-It is in the document book of the Prosecution on Pages 64 and 65.
-It is a note by the international law expert in the Naval Operations
-Staff regarding the treatment of saboteurs. Do you know this note?
-<span class='pageno' title='472' id='Page_472'></span></p>
-
-<p class='pindent'>WAGNER: Yes. I have initialed it on the first page.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: At the end of that note
-you will find the sentence:</p>
-
-<div class='blockquote'>
-
-<p>“As far as the Navy is concerned, it should be investigated
-whether the occurrence cannot be used, after reporting to the
-Commander-in-Chief of the Navy, to make sure that the treatment
-of members of Commando troops is absolutely clear to
-all the departments concerned.”</p>
-
-</div>
-
-<p class='pindent'>Was this report made to Admiral Dönitz who at that time had
-been Commander-in-Chief of the Navy for ten days?</p>
-
-<p class='pindent'>WAGNER: No, that report was not made, as the various remarks
-at the head of it will show.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you explain that,
-please?</p>
-
-<p class='pindent'>WAGNER: The international law expert in the Naval Operations
-Staff IA made this suggestion through the Operations Office IA
-to me as Chief of the Operational Department. The chief of the
-IA Section in a handwritten notice beside his initials, wrote, “The
-subordinate commanders have been informed.” That means that
-he had objected to the proposal of the international law expert
-and considered that an explanation of the orders within the Navy
-was superfluous. I investigated these matters and I decided that
-the operations officer was right. I sent for the international law
-expert, Dr. Eckardt, informed him orally of my decision, and
-returned this document to him. Thus the suggestion to report to
-the Commander-in-Chief of the Navy made in connection with
-the explanation of this order was not actually carried out.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you remember
-whether Admiral Dönitz on some later occasion received reports
-on this Commando order?</p>
-
-<p class='pindent'>WAGNER: No, I have no recollection of that.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have submitted to you
-GB-208, which is a record regarding the case of a motor torpedo
-boat at Bergen. It is the case which is contained in the British
-document book on Pages 66 and 67. Have you ever heard about
-this incident before this Trial?</p>
-
-<p class='pindent'>WAGNER: No. I heard about it for the first time on the occasion
-of interrogations in connection with these proceedings.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I gather from the files
-of the British court-martial proceedings, which have been submitted
-by the Prosecution during cross-examination, that before the shooting
-of the crew of that motor torpedo boat there had been two
-telephone conversations, between the Chief of the Security Service
-in Bergen and the SD at Oslo, and between the SD at Oslo and
-<span class='pageno' title='473' id='Page_473'></span>
-Berlin. Can you recollect whether such a conversation took place
-between the SD at Oslo and yourself or one of the representatives
-in the High Command?</p>
-
-<p class='pindent'>WAGNER: I certainly had no such conversation, and as far as
-I know neither did any other officer in my department or in the
-High Command.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you consider it at
-all possible that the SD at Oslo might get in touch with the High
-Command of the Navy?</p>
-
-<p class='pindent'>WAGNER: No, I consider that quite out of the question. If the
-SD in Oslo wanted to get in touch with a central department in
-Berlin then they could only do so through their own superior
-authority, and that is the RSHA.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I now put to you
-another document; it is Exhibit GB-212 which appears on Page 75
-of the document book of the Prosecution. It mentions an example
-of a commandant of a German prisoner-of-war camp and it says
-he had communists who had attracted attention among the inmates
-suddenly and quietly removed by the guards. Do you know of
-this incident?</p>
-
-<p class='pindent'>WAGNER: Yes, such an episode is known to me. I think we
-received the report from a prisoner-of-war—a man who had been
-severely injured and who had been exchanged—that the German
-commandant of a prisoner-of-war camp in Australia, in which the
-crew of the auxiliary cruiser <span class='it'>Cormoran</span> were detained, had secretly
-had a man of his crew killed because he had been active as a spy
-and traitor.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: But this order does not
-mention the word “spy.” It says “communist.” What is the explanation?</p>
-
-<p class='pindent'>THE PRESIDENT: It does not say “communist.” It says “communists”
-in the plural.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: “Communists,” plural.</p>
-
-<p class='pindent'>WAGNER: In my opinion the only explanation is that the true
-state of affairs was to be concealed so as to prevent the enemy
-intelligence from tracing the incident and making difficulties for
-the senior sergeant in question. Thus, a different version was
-chosen.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It was the opinion of
-the Soviet Prosecution that this showed there was a plan for the
-silent removal of communists. Can you tell us anything about
-the origin of this order, whether such a plan existed and whether
-it had ever come under discussion?
-<span class='pageno' title='474' id='Page_474'></span></p>
-
-<p class='pindent'>WAGNER: First of all the order was addressed to those personnel
-offices which were responsible for choosing young potential
-officers and noncommissioned officers in the Navy. There were
-about six or seven personnel offices. Beyond that I can only say
-that of course...</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Just a moment, Admiral,
-please.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, is it necessary to go into
-all this detail? The question is, was there an order with reference
-to making away with the people of this sort or was there not—not
-all the details about how the order came to be made.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In that case I shall put
-the question this way: Was there any order or any desire in the
-Navy to kill communists inconspicuously and systematically?</p>
-
-<p class='pindent'>WAGNER: No, such an order or such a plan did not exist. Of
-course, there were a considerable number of communists in the
-Navy. That was known to every superior officer. The overwhelming
-majority of those communists did their duty as Germans just
-as any other German in the war.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral Dönitz has been
-accused by the Prosecution because as late as the spring of 1945
-he urged his people to hold out obstinately to the end. The Prosecution
-considers that evidence of the fact that he was a fanatical
-Nazi. Did you and the majority of the Navy consider this to be so?</p>
-
-<p class='pindent'>WAGNER: No, the Admiral’s attitude was not considered to be
-political fanaticism. To them it meant that he was carrying out
-his ordinary duty as a soldier to the last. I am convinced that this
-was the view of the great majority of the entire Navy, the men
-and the noncommissioned officers as well as the officers.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have
-no further questions to put to this witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Does any other defendant’s counsel want to
-ask any questions?</p>
-
-<p class='pindent'>DR. SIEMERS: Admiral Wagner, you have already briefly
-sketched the positions you have held. In supplementing I should
-like to make quite sure who held a leading position in the Naval
-Operations Staff under Grossadmiral Raeder in the decisive years
-before and after the outbreak of the war. Who was the Chief of
-Staff during the two years before the war, and at the beginning
-of the war?</p>
-
-<p class='pindent'>WAGNER: The Chief of Staff of the Naval Operations Staff
-from 1938 until 1941 was Admiral Schniewind. From 1941 until
-after Raeder’s retirement it was Admiral Fricke.
-<span class='pageno' title='475' id='Page_475'></span></p>
-
-<p class='pindent'>DR. SIEMERS: Those, therefore, were the two officers who
-worked in the highest posts under Admiral Raeder in the Naval
-Operations Staff?</p>
-
-<p class='pindent'>WAGNER: They were the immediate advisers of the Admiral.</p>
-
-<p class='pindent'>DR. SIEMERS: And the Naval Operations Staff had several
-departments?</p>
-
-<p class='pindent'>WAGNER: Yes, it consisted of several departments, which were
-given consecutive numbers.</p>
-
-<p class='pindent'>DR. SIEMERS: And which was the most important department?</p>
-
-<p class='pindent'>WAGNER: The most important department of the Naval Operations
-Staff was the Operations Department, which was known as
-Number 1.</p>
-
-<p class='pindent'>DR. SIEMERS: And the other departments, 2, 3—what did
-they do?</p>
-
-<p class='pindent'>WAGNER: They were the Signals and Communications Department
-and the Information Department.</p>
-
-<p class='pindent'>DR. SIEMERS: Who was the chief of the Operations Department?</p>
-
-<p class='pindent'>WAGNER: From 1937 until 1941 it was Admiral Fricke. From
-1941 until after Raeder’s retirement I was the chief of that department.</p>
-
-<p class='pindent'>DR. SIEMERS: In other words, for many years you worked
-under Admiral Raeder. First of all I should like to ask you to
-speak briefly about Raeder’s basic attitude during the time you
-were working in the Naval Operations Staff.</p>
-
-<p class='pindent'>WAGNER: Under Admiral Raeder the Navy was working for
-a peaceful development in agreement with Britain. The foremost
-questions were those regarding the type of ships, training, and
-tactical schooling. Admiral Raeder never referred to aggressive
-wars during any conference which I attended. Nor did he at any
-time ask us to make any preparations in that direction.</p>
-
-<p class='pindent'>DR. SIEMERS: Do you remember that in 1940 and in 1941
-Raeder declared himself emphatically against a war with Russia?</p>
-
-<p class='pindent'>WAGNER: Yes, he was very strongly opposed to a war with
-Russia, and that for two reasons; first, he considered that to break
-the treaty of friendship with Russia was wrong and inadmissible,
-and secondly, for strategic reasons he was convinced that
-our entire strength should be concentrated against Britain. When
-in the autumn of 1940 it appeared that the invasion of Britain
-could not be carried out, the Admiral worked for a strategy in
-the Mediterranean to keep open an outlet against Britain’s policy
-of encirclement.
-<span class='pageno' title='476' id='Page_476'></span></p>
-
-<p class='pindent'>DR. SIEMERS: The Navy had rather a lot to do with Russia
-during the friendship period between Russia and Germany in the
-way of deliveries. As far as you know did everything in that
-respect run smoothly?</p>
-
-<p class='pindent'>WAGNER: Yes, I know that a large number of deliveries from
-the Navy stocks went to Russia; for instance, uncompleted ships,
-heavy guns, and other war material.</p>
-
-<p class='pindent'>DR. SIEMERS: And the Navy, of course, always made efforts
-to maintain the friendly relations laid down in the Pact?</p>
-
-<p class='pindent'>WAGNER: Yes, that was the Admiral’s opinion.</p>
-
-<p class='pindent'>DR. SIEMERS: Admiral Wagner, Admiral Raeder has been
-accused by the Prosecution that he had never bothered about
-international law and that he broke international law conventions
-as a matter of principle if it suited him. Can you express a
-general opinion about Raeder’s attitude in that respect?</p>
-
-<p class='pindent'>WAGNER: Yes; that is completely wrong. Admiral Raeder
-considered it most important that every measure for naval warfare
-should be examined from the point of view of international law.
-For that purpose we had a special expert on international law in
-the Naval Operations Staff with whom we in the Operations Department
-had almost daily contact.</p>
-
-<p class='pindent'>DR. SIEMERS: Furthermore, Raeder has been accused by the
-Prosecution of advising a war against the United States and trying
-to get Japan to go to war with the United States. May I ask for
-your opinion on that?</p>
-
-<p class='pindent'>WAGNER: I consider this charge completely unjustified. I know
-that Admiral Raeder attached particular importance to the fact that
-all naval war measures—especially in the critical year of 1941—were
-to be examined very closely as to the effects they might
-have on the United States of America. In fact he refrained from
-taking quite a number of militarily perfectly justified measures in
-order to prevent incidents with the U.S.A. For instance, in the
-summer of 1941 he withdrew the submarines from a large area
-off the coast of the U.S.A. although that area could certainly be
-regarded as the open sea. He forbade mine-laying action which
-had already begun against the British port of Halifax, Canada,
-to prevent, at all costs, the possibility of a United States ship
-striking a mine. And finally, he also forbade attacks on British
-destroyers in the North Atlantic because the fifty destroyers which
-had been turned over to England by the United States created
-the dangerous possibility of confusing the British and American
-destroyers. All this was done at a time when the United States,
-while still at peace, occupied Iceland, when British warships were
-being repaired in American shipyards, when American naval forces
-<span class='pageno' title='477' id='Page_477'></span>
-had orders that all German units should be reported to the British
-fleet, and when finally President Roosevelt in July 1941 gave his
-forces the order to attack any German submarines they sighted.</p>
-
-<p class='pindent'>DR. SIEMERS: Did Admiral Raeder ever make a statement in
-the Naval Operations Staff that there was no risk in a war against
-America and that the fleet or the American submarines were not
-much good?</p>
-
-<p class='pindent'>WAGNER: No, Admiral Raeder as an expert would never have
-made such a statement.</p>
-
-<p class='pindent'>DR. SIEMERS: On the contrary, did not Raeder expressly speak
-of the strength of the American fleet and that one could not fight
-simultaneously two such great sea-powers as America and Great
-Britain?</p>
-
-<p class='pindent'>WAGNER: Yes, it was perfectly clear to him and to us that
-America’s entry into the war would mean a very substantial
-strengthening of the enemy forces.</p>
-
-<p class='pindent'>DR. SIEMERS: Now on one occasion Admiral Raeder suggested
-in his war diary that Japan should attack Singapore. Was there
-any discussion about Pearl Harbor in connection with that in the
-Naval Operations Staff?</p>
-
-<p class='pindent'>WAGNER: No, not at all. The attack by the Japanese on Pearl
-Harbor was a complete surprise, both to the Admiral and to the
-Naval Operations Staff and, in my opinion, to every other German
-department.</p>
-
-<p class='pindent'>DR. SIEMERS: Were there no continuous naval-military discussions
-and conferences between Japan and Germany?</p>
-
-<p class='pindent'>WAGNER: No, before Japan’s entry into the war there were
-no military discussions according to my conviction.</p>
-
-<p class='pindent'>DR. SIEMERS: I should now like to show you Document C-41,
-Mr. President, this is Exhibit GB-69. Later on, the British Delegation
-will submit it in Document Book 10a for Raeder. I do not
-know whether the Tribunal already has it. It is as yet not contained
-in the trial brief against Raeder. In the newly compiled:
-Document Book 10a, it is on Page 18.</p>
-
-<p class='pindent'>THE PRESIDENT: You can offer it in evidence now, if you
-want to, so you can put it to the witness.</p>
-
-<p class='pindent'>DR. SIEMERS: The Prosecution has submitted it; yes.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>DR. SIEMERS: This concerns a document signed by Admiral
-Fricke, and it is dated 3 June 1940. It is headed “Questions of
-Expansion of Areas and Bases.” That document contains detailed
-statements on future plans.
-<span class='pageno' title='478' id='Page_478'></span></p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] I should like to ask you if Raeder
-gave the order to prepare this memorandum or how did this
-memorandum come to be written?</p>
-
-<p class='pindent'>WAGNER: Admiral Raeder did not give the order to draft
-this memorandum. This constitutes the personal, theoretical ideas
-of Admiral Fricke regarding the possible developments in the
-future. They are quite fantastic, and they had no practical significance.</p>
-
-<p class='pindent'>DR. SIEMERS: Was this study or this note talked about or discussed
-in any large group in the Naval Operations Staff?</p>
-
-<p class='pindent'>WAGNER: No, in my opinion only the Operations officers had
-knowledge of this document, which by its very form shows that
-it is not a well-thought-out study made by order of Grossadmiral
-Raeder but an <span class='it'>ad hoc</span> jotting-down of thoughts which occurred
-to Admiral Fricke at the moment.</p>
-
-<p class='pindent'>DR. SIEMERS: Was this study or this document passed on to
-any outsiders at all?</p>
-
-<p class='pindent'>WAGNER: I think I can remember that this document was not
-sent to any outside office but remained in the Operations Department.
-The Grossadmiral, too, in my opinion did not have knowledge
-of it, particularly since this document shows that he did
-not initial it.</p>
-
-<p class='pindent'>DR. SIEMERS: You have a photostat copy of that document?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Are there any other initials on it which might
-show that it was put before Admiral Raeder? How was this sort
-of thing generally handled in the Naval Operations Staff?</p>
-
-<p class='pindent'>WAGNER: Every document that was to be put before the
-Admiral had on its first page in the left margin a note: “v.A.v.,”
-which means “to be submitted before dispatch,” or “n.E.v.,” “to be
-submitted after receipt,” or else “to be reported during situation
-reports.” And then at that place the Admiral would initial it with
-a green pencil, or the officers of his personal staff would make a
-note indicating that it had been submitted to him.</p>
-
-<p class='pindent'>DR. SIEMERS: And there are no such marks on this document?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>DR. SIEMERS: I should like to show you Document C-38, which
-is a document of the Prosecution bearing the number Exhibit
-GB-223. It is contained in the Prosecution’s document book on
-Raeder, Page 11.</p>
-
-<p class='pindent'>The war between Germany and Russia began on 22 June 1941.
-According to the last page but one of the document which you have
-<span class='pageno' title='479' id='Page_479'></span>
-before you, the OKW as early as 15 June—a week before the outbreak
-of the war—ordered the use of arms against enemy submarines
-south of the Memel line, the southern tip of Oeland, at the
-request of the Naval Operations Staff.</p>
-
-<p class='pindent'>The Prosecution is basing the accusation on this document and
-once more referring to an aggressive war. Unfortunately, the Prosecution
-has only submitted the last page of this document. It did
-not produce the first and second page of the document. If it had
-done so, then this accusation would probably have been dropped.
-May I read to you, Witness, what is contained there; and I quote:</p>
-
-<div class='blockquote'>
-
-<p>“On 12 June at 2000 hours one of the submarines placed as
-outposts on both sides of Bornholm, as precautionary measure,
-reported at 2000 hours an unknown submarine in the
-vicinity of Adlergrund (20 miles southwest of Bornholm)
-which had surfaced and was proceeding on a westerly course
-and which answered a recognition signal call with a letter
-signal which had no particular significance.”</p>
-
-</div>
-
-<p class='pindent'>That ends the quotation.</p>
-
-<p class='pindent'>May I ask you to explain what it means that this submarine
-did not reply to the recognition signal call?</p>
-
-<p class='pindent'>WAGNER: In time of war the warships of one’s own fleet have
-an arrangement of recognition signals; that is to say, the recognition
-signal has a call and a reply which immediately identifies the ship
-as belonging to one’s own fleet. If a recognition signal is wrongly
-answered, it proves that it is a foreign vessel.</p>
-
-<p class='pindent'>DR. SIEMERS: As far as you can remember, were there any
-other clues showing that ships appeared in the Baltic sea which
-were recognized as enemy ships?</p>
-
-<p class='pindent'>WAGNER: Yes. I remember that there were individual cases
-where unknown submarines were observed off the German Baltic
-ports. Subsequently it was found, by comparing the stations of our
-own submarines, that these were indeed enemy vessels.</p>
-
-<p class='pindent'>DR. SIEMERS: Were these facts the reason which caused the
-Naval Operations Staff to ask for the use of weapons?</p>
-
-<p class='pindent'>WAGNER: Yes, these very facts.</p>
-
-<p class='pindent'>DR. SIEMERS: A similar case has been made the subject of an
-accusation in connection with Greece. It has been ascertained here
-in Court from the War Diary that on 30 December 1939 the Naval
-Operations Staff asked that Greek ships in the American blockade
-zone around Great Britain should be treated as hostile. Since Greece
-was neutral at the time, there has been an accusation against Raeder
-of a breach of neutrality.
-<span class='pageno' title='480' id='Page_480'></span></p>
-
-<p class='pindent'>May I ask you to tell us the reasons which caused the Naval
-Operations Staff and the Chief, Raeder, to make such a request to
-the OKW?</p>
-
-<p class='pindent'>WAGNER: We had had news that Greece had placed the bulk
-of its merchant fleet at the disposal of England and that these Greek
-vessels were sailing under British command.</p>
-
-<p class='pindent'>DR. SIEMERS: And it is correct that Greek vessels in general
-were not treated as hostile, but only vessels in the American
-blockade zone around England?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: The next case, which is somewhat similar, is that
-which occurred in June 1942, when the Naval Operations Staff made
-an application to the OKW to be allowed to attack Brazilian ships,
-although Brazil at that time was still a neutral. The war with
-Brazil started some two months later on 22 August. What reasons
-were there for such a step?</p>
-
-<p class='pindent'>WAGNER: We were receiving reports from submarines from
-the waters around South America, according to which they were
-being attacked by ships which could only have started from Brazilian
-bases. The first thing we did was to refer back and get these
-questions clarified and confirmed. Moreover, I think I can remember
-personally that at that time it was already generally known
-that Brazil was giving the use of sea and air bases to the United
-States with whom we were at war.</p>
-
-<p class='pindent'>DR. SIEMERS: So that this was due to a breach of neutrality on
-the part of Brazil?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: I should like to submit to you Documents C-176
-and D-658. Document C-176 has the number Exhibit GB-228. These
-two documents are based on the Commando Order, that is, the order
-to destroy sabotage troops. The Prosecution has charged Raeder
-with an incident which occurred in December 1942 in the Gironde
-estuary at Bordeaux. In Document C-176, on the last page, you will
-find something which I would like to quote.</p>
-
-<div class='blockquote'>
-
-<p>“Shooting of the two captured Englishmen took place by a
-firing-squad, numbering one officer and 16 men, detailed by
-the port commander at Bordeaux, in the presence of an
-officer of the SD and by order of the Führer.”</p>
-
-</div>
-
-<p class='pindent'>Previous entries, which I do not want to quote separately and
-which portray the same things, show that the SD had intervened
-directly and had got into direct touch with the Führer’s headquarters.
-<span class='pageno' title='481' id='Page_481'></span></p>
-
-<p class='pindent'>I now ask you whether the Naval Operations Staff had heard
-anything at all about this matter before these two prisoners were
-shot, or whether they knew anything about this direct order from
-Hitler which is mentioned in this connection?</p>
-
-<p class='pindent'>WAGNER: The Naval Operations Staff had nothing to do with
-a direct order for the shooting of people in Bordeaux. The Naval
-Operations Staff knew the tactical course of events of this sabotage
-undertaking in Bordeaux and nothing at the time beyond that.</p>
-
-<p class='pindent'>DR. SIEMERS: Therefore, this case was not put to the Naval
-Operations Staff or to Admiral Raeder, and it was not discussed
-by them?</p>
-
-<p class='pindent'>WAGNER: Yes. I am certain that that was not the case.</p>
-
-<p class='pindent'>DR. SIEMERS: Mr. President, may I ask the Tribunal to take
-notice of the fact that this war diary is by no means the war diary
-which has been frequently mentioned, the War Diary of the Naval
-Operations Staff, but the war diary of the Naval Commander
-west, and was therefore unknown to the Naval Operations Staff.
-That is why the Naval Operations Staff did not know of this case.</p>
-
-<p class='pindent'>THE PRESIDENT: You are referring now to Document C-176?</p>
-
-<p class='pindent'>DR. SIEMERS: Yes, and also to D-658, which is the War Diary
-of the Naval Operations Staff.</p>
-
-<p class='pindent'>THE PRESIDENT: What was the reference to it?</p>
-
-<p class='pindent'>DR. SIEMERS: This is D-658, which shows the following: According
-to the OKW communiqué, these two soldiers had in the meantime
-been shot. The measure would be in keeping with the special
-order by the Führer. That has been submitted by the Prosecution,
-and it shows—and I shall refer to this later—that the Naval Operations
-Staff knew nothing about the entire episode because this shows
-an entry dated 9 December, whereas the whole affair happened on
-the 11th.</p>
-
-<p class='pindent'>THE PRESIDENT: Perhaps this would be a good time to
-break off.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>DR. SIEMERS: Admiral, I am now submitting to you Document
-UK C-124.</p>
-
-<p class='pindent'>Mr. President, C-124 corresponds to USSR-130. This document
-deals with a communication from the Naval Operations Staff, dated
-29 September 1941, addressed to Group North, and it deals with the
-future of the city of Petersburg. This report to Group North says
-that the Führer had decided to wipe the city of Petersburg from
-<span class='pageno' title='482' id='Page_482'></span>
-the face of the earth. The Navy itself had nothing to do with that
-report. Despite that, this report was sent to Group North.</p>
-
-<p class='pindent'>Witness, I will return to this point, but I, would like to ask you
-first—you have a photostatic copy of the original—to tell me whether
-Raeder could have seen this document before it was dispatched?</p>
-
-<p class='pindent'>WAGNER: According to my previous statements Admiral Raeder
-did not see this document since there are no marks or initials to
-that effect.</p>
-
-<p class='pindent'>DR. SIEMERS: And now the more important question on this
-point. In view of the terrible communication which is mentioned
-by Hitler in Point 2, why did the Naval Operations Staff transmit
-it even though the Navy itself had nothing to do with it?</p>
-
-<p class='pindent'>WAGNER: The Naval Operations Staff had asked that in bombarding,
-occupying or attacking Leningrad the dockyards, wharf
-installations, and all other special naval installations be spared so
-that they might be used as bases later on. That request was turned
-down by Hitler’s statement as contained in this document, as can
-be seen from Point 3.</p>
-
-<p class='pindent'>We had to communicate this fact to Admiral Carls so that he
-could act accordingly and because in the case of a later occupation
-of Leningrad he could not count on this port as a base.</p>
-
-<p class='pindent'>DR. SIEMERS: Because of the significance of this testimony, I
-would like to quote to the Tribunal the decisive point to which the
-witness just referred, and that is III of USSR-130. I quote:</p>
-
-<div class='blockquote'>
-
-<p>“The original requests of the Navy to spare the dock, harbor,
-and other installations important from the Navy viewpoint
-are known to the High Command of the Wehrmacht. Compliance
-with these requests is not possible, because of the fundamental
-aim of the action against Petersburg.”</p>
-
-</div>
-
-<p class='pindent'>That was the decisive point which the SKL told Admiral Carls
-as commander of Group North.</p>
-
-<p class='pindent'>WAGNER: That was the sole reason for this communication.</p>
-
-<p class='pindent'>DR. SIEMERS: Do you know whether Admiral Carls did anything
-with this document? Did he transmit it to any one, or do you
-not know anything about that?</p>
-
-<p class='pindent'>WAGNER: As far as I am informed, this communication was not
-passed on; and it was not the intention that it should be passed on
-for it was meant solely for Group North. On the strength of
-this document, Admiral Carls stopped the preparations which had
-already been made for using the Leningrad naval installations later
-on and made the personnel available for other purposes. That is
-the only measure which the Navy took on the basis of this communication
-and the only measure which could have been taken.
-<span class='pageno' title='483' id='Page_483'></span></p>
-
-<p class='pindent'>DR. SIEMERS: I should tell the Tribunal that accordingly I will
-submit, under Number 111 in my Document Book Raeder, an affidavit
-which contains this fact, which the witness also points out,
-that nothing was passed on by Group North so that the commanding
-naval officers never learned of this document.</p>
-
-<p class='pindent'>This concerns an affidavit by Admiral Bütow who at that time
-was Commander-in-Chief in Finland, and I shall come back to this
-point when I present the case on behalf of Admiral Raeder.</p>
-
-<p class='pindent'>I have no more questions to put to the witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Does any other member of defendants’ counsel
-wish to ask any questions?</p>
-
-<p class='pindent'>[<span class='it'>There was no response.</span>]</p>
-
-<p class='pindent'>The Prosecution may cross-examine.</p>
-
-<p class='pindent'>COLONEL H. J. PHILLIMORE (Junior Counsel for the United
-Kingdom): May it please the Tribunal, with regard to the questions
-asked by Dr. Siemers, I was going to leave the cross-examination
-on those points to the cross-examination of the Defendant Raeder
-so as to avoid any duplication.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] As I understand the evidence which
-the Defendant Dönitz has given and your evidence, you are telling
-the Tribunal that with respect to the treatment of neutral merchant
-ships, the German Navy has nothing to reproach itself with. Is
-that right?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And the Defendant has said that the German
-Navy was scrupulous in adhering to orders about the attitude
-towards neutral shipping, and the neutrals were fully warned of
-what they should and should not do. Is that right?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Admiral Dönitz has also said that there was
-no question of deceiving neutral governments; they were given fair
-warning of what their ships should not do. Do you agree?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, I want just to remind you of what
-steps were taken as regards neutrals, as they appear from the
-defense documents.</p>
-
-<p class='pindent'>First of all, on 3 September orders were issued that strict respect
-for all rules of neutrality and compliance with all agreements of
-international law which were generally recognized were to be
-observed.</p>
-
-<p class='pindent'>My Lord, that is D-55, Page 139.</p>
-
-<p class='pindent'>THE PRESIDENT: In the British document book?
-<span class='pageno' title='484' id='Page_484'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: In the Defense document book—Dönitz-55.</p>
-
-<p class='pindent'>And then, on 28 September, a warning was sent to neutrals to
-avoid suspicious conduct, changing course, zig-zagging, and so on.
-That is Dönitz-61, at Page 150. On 19 October that warning was
-repeated and neutrals were advised to refuse convoy escort. That
-is Dönitz-62, at Page 153. On 22 October there was a repetition of
-the warning, that is Dönitz-62, Page 162; and on 24 November the
-neutrals were told that the safety of their ships in waters around
-the British Isles and in the vicinity of the French coast could no
-longer be taken for granted. That is Dönitz-73, at Page 206; and
-then from 6 January onwards, certain zones were declared dangerous
-zones. That is right, is it not?</p>
-
-<p class='pindent'>WAGNER: No. On 24 November a general warning was issued
-that the entire United States fighting zone was to be considered
-dangerous. The specific zones which since January were used as
-operational zones were not made public, since they came within
-the scope of the first warning and served only for internal use
-within the Navy.</p>
-
-<p class='pindent'>COL. PHILLIMORE: That is the point I want to be clear about.
-The zones that you declared from 6 January onwards were not
-announced. Is that the point?</p>
-
-<p class='pindent'>WAGNER: Yes, the neutrals were warned on 24 November that
-all of those zones which had been specifically declared as operational
-zones since January would be dangerous for shipping.</p>
-
-<p class='pindent'>COL. PHILLIMORE: But when you fixed the specific zones from
-6 January onwards, no further specific warning was given. Is that
-the case?</p>
-
-<p class='pindent'>WAGNER: That is correct. After the general warning, we issued
-no further specific warnings about parts of this zone.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, you are not suggesting, are you, that
-by these warnings and by this declaration of an enormous danger
-zone, you were entitled to sink neutral shipping without warning?</p>
-
-<p class='pindent'>WAGNER: Yes. I am of the opinion that in this zone which we,
-as well as the United States of America before us, regarded as
-dangerous for shipping it was no longer necessary to show consideration
-to neutrals.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you mean to say that from 24 November
-onwards every neutral government was given fair warning that its
-ships would be sunk without warning if they were anywhere in
-that zone?</p>
-
-<p class='pindent'>WAGNER: What I want to say is that on 24 November all the
-neutral countries were notified officially that the entire United
-States of America zone was to be considered as dangerous and that
-<span class='pageno' title='485' id='Page_485'></span>
-the German Reich could assume no responsibility for losses in
-combat in this zone.</p>
-
-<p class='pindent'>COL. PHILLIMORE: That is quite a different case. Do not let
-us have any mistake about this. Are you saying that by that warning
-you were entitled to sink neutral ships anywhere in that zone
-without warning, sink on sight?</p>
-
-<p class='pindent'>WAGNER: I did not quite catch the last few words.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Are you suggesting that you were entitled
-to sink at sight neutral shipping anywhere in that zone, as from
-24 November?</p>
-
-<p class='pindent'>WAGNER: I am of the opinion that we were justified from that
-period of time onwards in having no special consideration for neutral
-shipping. If we had made exceptions in our orders to our
-U-boats, it would have meant in every case that they could not have
-sunk enemy ships without warning.</p>
-
-<p class='pindent'>COL. PHILLIMORE: It is not a question of any special consideration.
-Do you say that you became entitled to sink at sight
-any neutral ship, or sink it deliberately, whether you recognized
-it as neutral or not?</p>
-
-<p class='pindent'>THE PRESIDENT: Surely you can answer that question “yes”
-or “no.”</p>
-
-<p class='pindent'>WAGNER: Yes, I am of that opinion.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Will you tell me how that squares with
-the submarine rules?</p>
-
-<p class='pindent'>WAGNER: I do not feel competent to give a legal explanation
-of these questions because that is a matter of international law.</p>
-
-<p class='pindent'>COL. PHILLIMORE: At any rate, that is what you proceeded to
-do, is it not? You proceeded to sink neutral ships at sight and without
-warning anywhere in that zone?</p>
-
-<p class='pindent'>WAGNER: Yes; not just anywhere in this zone, but in the
-operational zones stipulated by us neutral ships were...</p>
-
-<p class='pindent'>COL. PHILLIMORE: But wherever you could—wherever you
-could?</p>
-
-<p class='pindent'>WAGNER: In the operational zones stipulated by us we sank
-neutral ships without warning, for we were of the opinion that in
-this case we were concerned with secured zones near the enemy
-coast which could no longer be considered the open sea.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And that is what you desired to do at the
-very start of the war, was it not? That is what you decided to do?</p>
-
-<p class='pindent'>WAGNER: From the beginning of the war we decided to adhere
-strictly to the London Agreement.
-<span class='pageno' title='486' id='Page_486'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: Would you look at the document which was
-put in yesterday? My Lord, it is D-851. It is put in as GB-451. It
-is a memorandum of 3 September.</p>
-
-<p class='pindent'>THE PRESIDENT: Where is it?</p>
-
-<p class='pindent'>COL. PHILLIMORE: My Lord, it was the only new document
-that Sir David Maxwell-Fyfe put in in cross-examination.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Would you look at the third paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“The Navy has arrived at the conclusion that the maximum
-damage to England can be achieved with the forces available
-only if the U-boats are permitted an unrestricted use of arms
-without warning against enemy and neutral shipping in the
-prohibited area indicated on the enclosed map.”</p>
-
-</div>
-
-<p class='pindent'>Do you still say that you did not intend from the start of the
-war to sink neutral shipping without warning as soon as you could
-get Hitler to agree to let you do so? Do you still say that?</p>
-
-<p class='pindent'>WAGNER: Yes, absolutely. In this document, in the first paragraph,
-it says:</p>
-
-<div class='blockquote'>
-
-<p>“In the attached documents sent to the Navy by the OKW the
-question of unrestricted U-boat warfare against England is
-discussed.”</p>
-
-</div>
-
-<p class='pindent'>I cannot judge these documents if they are not submitted to me.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You were in the general staff at that time.
-You were in charge of the Department IA. This point of view must
-have been put forward by your department?</p>
-
-<p class='pindent'>WAGNER: Yes. I have said already that we had decided, after
-consulting with the Foreign Office, to adhere strictly to the London
-Agreement until we had proof that English merchant shipping was
-navigated militarily and was being used for military purposes.
-Here we are apparently concerned solely with information, with
-an exchange of opinions with the Foreign Office...</p>
-
-<p class='pindent'>COL. PHILLIMORE: I did not ask for your general view on the
-document. We can read that for ourselves. Your object was to terrorize
-the small neutrals and frighten them from sailing on their
-ordinary lawful occasions. Is that not right?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And is that not why in the orders you
-issued in January of 1940 you excepted the larger countries from
-this “sink at sight” risk? Would you look at Document C-21. That
-is GB-194, at Page 30 of the Prosecution document book in English;
-Pages 59 and 60 in the German. Now, just look at the second entry
-on Page 5, 2 January 1940: “Report by IA.” That is you, is it not?
-That was you, was it not?
-<span class='pageno' title='487' id='Page_487'></span></p>
-
-<p class='pindent'>WAGNER: Yes, but I cannot find the point which you are
-quoting.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Page 5 of the original, under the date of
-2 January 1940. Report by IA on directive of Armed Forces High
-Command, dated 30 December, referring to intensified measures in
-naval and air warfare in connection with Case Yellow:</p>
-
-<div class='blockquote'>
-
-<p>“Through this directive the Navy will authorize, simultaneously
-with the beginning of the general intensification of the
-war, the sinking by U-boats without any warning of all ships
-in those waters near the enemy coasts in which mines can be
-employed. In this case, for external consumption, the use of
-mines should be simulated. The behavior of, and use of
-weapons by, U-boats should be adapted to this purpose.”</p>
-
-</div>
-
-<p class='pindent'>That has nothing to do with the arming of British merchant
-ships. That is not the reason that is given, is it? The reason is
-because it fitted in with your operations for Case Yellow.</p>
-
-<p class='pindent'>WAGNER: I did not understand the last sentence.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You do not give as your reason that the
-British were arming their merchant ships. The reason you give is
-that it was necessary in connection with intensified measures for
-Case Yellow. Why is that?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The German translation
-is so inadequate that it is almost impossible to understand the
-question.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I will put the question to you again. The
-excuse for this directive is to be the intensification of measures in
-connection with Case Yellow. You notice, do you not, that nothing
-is said about the arming of British merchant ships as justifying this
-step? That is correct, is it not?</p>
-
-<p class='pindent'>WAGNER: May I have time, please, to peruse these papers first?</p>
-
-<p class='pindent'>COL. PHILLIMORE: Certainly. This was written by yourself,
-you know.</p>
-
-<p class='pindent'>WAGNER: No, that was not written by me. This measure really
-came within the warning which was given to the neutrals on
-24 November 1939.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Nothing is said about the warning of
-24 November. If you were entitled, as you have told us, under
-that to sink neutral ships, there would not be any need for this
-special directive, would there?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>COL. PHILLIMORE: No. Now, let us just...
-<span class='pageno' title='488' id='Page_488'></span></p>
-
-<p class='pindent'>WAGNER: For military and political reasons we ordered that
-a hit by a mine was to be simulated, and that is a special point
-of this order.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And just before we leave that document,
-have a look at the entry on 18 January, will you? Have you got
-it? 18 January.</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: That is the actual order for sinking without
-warning. You notice the last sentence: “Ships of the United
-States, Italy, Japan, and Russia are exempted from these attacks.”</p>
-
-<p class='pindent'>And then Spain is added in pencil. Is it not right that you were
-out to terrorize the small neutrals and to bully them, but you were
-not running any risks with the big ones?</p>
-
-<p class='pindent'>WAGNER: No, that is not correct. The explanation is, of course,
-that one must take military disadvantages into the bargain if one
-can obtain political advantages for them.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Oh, yes, it was just entirely a question of
-how it paid you politically. That is all it was, was it not?</p>
-
-<p class='pindent'>WAGNER: Of course, all military actions were strongly influenced
-by the political interests of one’s own country.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And because the Danes and the Swedes
-were not in any position to make any serious protest, it did not
-matter sinking their ships at sight. That is right, is it not?</p>
-
-<p class='pindent'>WAGNER: The motivation you give to this conduct is entirely
-incorrect.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Well, but what is the difference?</p>
-
-<p class='pindent'>WAGNER: We sank the ships of all neutrals in these areas with
-the exception of those countries where we had a special political
-interest.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes, you had no special political interest at
-this time for Norway and Sweden and Denmark, so you sank their
-ships at sight. That is right, is it not?</p>
-
-<p class='pindent'>WAGNER: We sank them because they entered this area despite
-warning.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes, but if a Russian ship or a Japanese
-ship did that, you would not sink it.</p>
-
-<p class='pindent'>WAGNER: No, not at that period of time.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I just want to show you what you actually
-did. Would you look at Documents D-846 and 847?
-<span class='pageno' title='489' id='Page_489'></span></p>
-
-<p class='pindent'>My Lord, they are two new documents. They will be GB-452
-and 453.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Will you look at the first of these, that
-is D-846? That is a telegram from your Minister at Copenhagen,
-dated 26 September 1939. That is before your first warning and
-before any of these zones had been declared. The second sentence:</p>
-
-<div class='blockquote'>
-
-<p>“Sinking of Swedish and Finnish ships by our submarines has
-caused great anxiety here about Danish food transports to
-England.”</p>
-
-</div>
-
-<p class='pindent'>You see, you had started sinking ships of the small neutrals
-right away in the first three weeks of the war, had you not?</p>
-
-<p class='pindent'>WAGNER: In single cases, yes; but there was always a very
-special reason in those cases. I know that several incidents occurred
-with Danish and Swedish ships in which ships had turned against
-the U-boat and the U-boat in turn because of this resistance was
-forced to attack the ship.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You do not think it was because the blame
-could be put upon mines?</p>
-
-<p class='pindent'>WAGNER: At this period not at all.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Look at the second telegram, if you would;
-26 March 1940, again from the German Minister at Copenhagen.
-It is the first paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“The King of Denmark today summoned me to his presence
-in order to tell me what a deep impression the sinking of six
-Danish ships last week, apparently without warning, had
-made on him and on the whole country.”</p>
-
-</div>
-
-<p class='pindent'>And then, passing on two sentences:</p>
-
-<div class='blockquote'>
-
-<p>“I replied that the reason why the ships sank had not yet been
-clarified. In any case, our naval units always kept strictly to
-the Prize Regulations; but vessels sailing in enemy convoy or
-in the vicinity of the convoy took upon themselves all the
-risks of war. If there were any cases of sinking without
-warning, it seemed that they could be traced back to the German
-notifications made to date.</p>
-
-<p>“At the same time I stressed the danger of the waters around
-the British coast, where neutral shipping would inevitably be
-involved in compromising situations on account of measures
-taken by the British. The King assured me emphatically that
-none of the Danish ships had sailed in convoy, but it would
-probably never be possible subsequently to clear up without
-possibility of doubt the incidents which had led to the
-sinking.”</p>
-
-</div>
-
-<p class='pindent'>Have you any doubt that those six ships were sunk deliberately
-under your sink-at-sight policy?
-<span class='pageno' title='490' id='Page_490'></span></p>
-
-<p class='pindent'>WAGNER: Without checking the individual cases, I cannot
-answer this question; but I am of the opinion that possibly these
-ships were sunk in that area off the English coast where, because
-of heavy military defenses, there would no longer be any question
-of open sea.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Very well. We will come to an incident
-where I think I can supply you with the details. Would you look
-at Document D-807?</p>
-
-<p class='pindent'>My Lord, that is a new document, it becomes GB-454.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] You see, this document is dated 31 January
-1940; and it refers to the sinking of three neutral ships, the
-<span class='it'>Deptford</span>, the <span class='it'>Thomas Walton</span>, and the <span class='it'>Garoufalia</span>. The document
-is in three parts. It first sets out the facts as they were known to
-you. The second part is a note to the Foreign Office, and the third
-is a draft reply for your Foreign Office to send to the neutral
-governments; and if you look at the end of the document you will
-see “IA”; it emanates from your department.</p>
-
-<div class='blockquote'>
-
-<p>“It is proposed in replying to Norwegian notes to admit only
-the sinking by a German U-boat of the steamship <span class='it'>Deptford</span>,
-but to deny the sinking of the two other steamers.”</p>
-
-</div>
-
-<p class='pindent'>Would you follow it.</p>
-
-<div class='blockquote'>
-
-<p>“According to the data attached to the notes presented by the
-Norwegian Government, the grounds for suspecting a torpedo
-to have been the cause of the sinkings do in fact appear to
-be equally strong in all these cases. According to the Norwegian
-Foreign Minister’s speech of 19 January, the suspicion
-in Norway of torpedoing by a German U-boat appears, however,
-to be strongest in the case of the steamship <span class='it'>Deptford</span>,
-whereas in the other two cases it is at least assumed that the
-possibility of striking mines can be taken into account; this
-is considered improbable in the case of the steamship <span class='it'>Deptford</span>,
-because other vessels had passed the same spot.</p>
-
-<p>“The possibility that the steamship <span class='it'>Thomas Walton</span> struck a
-mine can be supported, since the torpedoing occurred towards
-evening and nothing was observed, and also because several
-explosions took place in the same area owing to misses by
-torpedoes.</p>
-
-<p>“In the case of the steamship <span class='it'>Garoufalia</span>, a denial appears
-expedient, if only because a neutral steamer is concerned,
-which was attacked without warning. Since it was attacked
-by means of an electric torpedo, no torpedo wake could be
-observed.”</p>
-
-</div>
-
-<p class='pindent'>Do you say in the face of that that you did not deceive the neutrals?
-That is the advice you were giving to the Defendant Raeder
-as his staff officer, is it not?
-<span class='pageno' title='491' id='Page_491'></span></p>
-
-<p class='pindent'>WAGNER: This memorandum did not emanate from me; it emanated
-from “Iia.”</p>
-
-<p class='pindent'>COL. PHILLIMORE: Where does it originate?</p>
-
-<p class='pindent'>WAGNER: That is the assistant of the expert on international
-law.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You would not have seen it?</p>
-
-<p class='pindent'>WAGNER: I do not recall this document.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Why do you say it emanated from “Iia?”
-It has “Ia” at the end of it.</p>
-
-<p class='pindent'>WAGNER: If this memorandum was dispatched then I also
-saw it...</p>
-
-<p class='pindent'>COL. PHILLIMORE: I will just read the next part of the note
-to remind you.</p>
-
-<div class='blockquote'>
-
-<p>“The following facts have thus been ascertained:”—this is
-what you are writing to the Foreign Office—</p>
-
-<p>“The steamer <span class='it'>Deptford</span> was sunk by a German U-boat on
-13 December...”</p>
-
-</div>
-
-<p class='noindent'>I am sorry. I should have started earlier.</p>
-
-<div class='blockquote'>
-
-<p>“It is suggested that Norwegian notes regarding the sinking
-of the steamships <span class='it'>Deptford</span>, <span class='it'>Thomas Walton</span>, and <span class='it'>Garoufalia</span>
-be answered somewhat in the following manner:</p>
-
-<p>“As a result of the communication from the Norwegian
-Government, the matter of the sinking of the steamships
-<span class='it'>Deptford</span>, <span class='it'>Thomas Walton</span>, and <span class='it'>Garoufalia</span> has been thoroughly
-investigated. The following facts have thus been
-ascertained:</p>
-
-<p>“The steamer <span class='it'>Deptford</span> was sunk by a German U-boat on
-13 December, as it was recognized as an armed enemy ship.
-According to the report of the U-boat commander, the sinking
-did not take place within territorial waters but immediately
-outside. The German Naval Forces have strict instructions
-not to undertake any war operations within neutral territorial
-waters. Should the U-boat commander have miscalculated
-his position, as appears to be borne out by the findings
-of the Norwegian authorities, and should Norwegian territorial
-waters have been violated in consequence, the German
-Government regrets this most sincerely. As a result of this
-incident, the German Naval Forces have once again been
-instructed unconditionally to respect neutral territorial waters.
-If a violation of Norwegian territorial waters has indeed
-occurred, there will be no repetition of it.</p>
-
-<p>“As far as the sinking of the steamships <span class='it'>Thomas Walton</span> and
-<span class='it'>Garoufalia</span> is concerned, this cannot be traced to operations
-<span class='pageno' title='492' id='Page_492'></span>
-by German U-boats, as at the time of the sinking none of
-them were in the naval area indicated.”</p>
-
-</div>
-
-<p class='pindent'>And then there is a draft reply put forward which is on very
-much the same lines.</p>
-
-<p class='pindent'>And you say in the face of that document that the German Navy
-never misled the neutrals?</p>
-
-<p class='pindent'>WAGNER: The neutrals had been advised that in these areas
-dangers of war might be encountered. We were of the opinion that
-we were not obliged to tell them through which war measures these
-areas were dangerous, or through which war measures their ships
-were lost.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Is that really your answer to this document?
-This is a complete lie, is it not? You admit the one sinking
-that you cannot get away from. And you deny the others. You
-deny that there was a German U-boat anywhere near, and you are
-telling this Tribunal that you were justified in order to conceal the
-weapons you were using. Is that the best answer you can give?</p>
-
-<p class='pindent'>WAGNER: Yes, certainly. We had no interest at all in letting
-the enemy know what methods we were using in this area.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You are admitting that one of them was
-sunk by a U-boat. Why not admit the other two as well? Why not
-say it was the same U-boat?</p>
-
-<p class='pindent'>WAGNER: I assume that we were concerned with another area
-in which the situation was different.</p>
-
-<p class='pindent'>COL. PHILLIMORE: What was the difference? Why did you not
-say, “One of our U-boats has made a mistake or disobeyed orders,
-and is responsible for all these three sinkings?” Or, alternatively,
-why did you not say, “We have given you fair warning, we are
-going to sink at sight anyone in this area. And what is your complaint?”</p>
-
-<p class='pindent'>WAGNER: Obviously I did not consider it expedient.</p>
-
-<p class='pindent'>COL. PHILLIMORE: It was considered expedient to deceive the
-neutrals. And you, an Admiral in the German Navy, told me you
-did not do that ten minutes ago. As a matter of fact, these three
-boats were all sunk by the same U-boat, were they not?</p>
-
-<p class='pindent'>WAGNER: I cannot tell you that at the moment.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I say they were all sunk by <span class='it'>U-38</span>, and the
-dates of sinking were: the <span class='it'>Deptford</span>, on 13 December, the <span class='it'>Garoufalia</span>
-on the 11th, and the <span class='it'>Thomas Walton</span> on the 7th. Do you dispute
-that?</p>
-
-<p class='pindent'>WAGNER: I did not understand the last sentence.
-<span class='pageno' title='493' id='Page_493'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you dispute those details, or do you not
-remember?</p>
-
-<p class='pindent'>WAGNER: I cannot recall; but I actually believe it is impossible.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I will show you another instance of deceiving
-the neutrals, and this time it was your friends, the Spanish.
-Would you look at C-105?</p>
-
-<p class='pindent'>My Lord, that is a new document; it becomes GB-455. It is an
-extract from the SKL War Diary for 19 December 1940.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] You kept the SKL War Diary yourself
-at that time, did you not?</p>
-
-<p class='pindent'>WAGNER: No, I did not keep it, but I signed it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You signed it. Did you read it before you
-signed it?</p>
-
-<p class='pindent'>WAGNER: The essential parts, yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You see, it reads: “News from the Neutrals,”
-and it is headed “Spain”:</p>
-
-<div class='blockquote'>
-
-<p>“According to a report from the naval attaché, Spanish fishing
-vessel was sunk by a submarine of unknown nationality
-between Las Palmas and Cape Juby. In the rescue boats
-the crew was subjected to machine gun fire. Three men badly
-wounded. Landed at Las Palmas on 18 December. Italians
-suspected. (Possibility it might have been <span class='it'>U-37</span>).”</p>
-
-</div>
-
-<p class='pindent'>Then on 20 December, the next day:</p>
-
-<div class='blockquote'>
-
-<p>“Commander, Submarine Fleet, will be informed of Spanish
-report regarding sinking of Spanish fishing vessel by submarine
-of unknown nationality on 16 December between Las
-Palmas and Cape Juby, and requested to conduct an investigation.
-On the responsibility of the Naval Operations Staff
-it is confirmed to our naval attaché in Madrid that, regarding
-the sinking, there is no question of a German submarine.”</p>
-
-</div>
-
-<p class='pindent'>When you reported that, you thought it possible, did you not,
-that it might have been <span class='it'>U-37</span>; is that not so?</p>
-
-<p class='pindent'>WAGNER: It seems to me that in the meantime it became known
-that it was not <span class='it'>U-37</span>.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I will read on. This is under date of 21 December:</p>
-
-<div class='blockquote'>
-
-<p>“<span class='it'>U-37</span> reports: a torpedo fired at a tanker of the <span class='it'>Kopbard</span>
-type (7329) ran off in a circle and probably hit an Amphitrite
-submarine in the tanker’s convoy. Tanker burned out.
-<span class='pageno' title='494' id='Page_494'></span>
-Spanish steamer <span class='it'>St. Carlos</span> (300) without distinguishing marks,
-through concentrated gunfire. Nine torpedoes left.</p>
-
-<p>“Then <span class='it'>U-37</span> torpedoed French tanker <span class='it'>Rhone</span> and the submarine
-<span class='it'>Sfax</span> and sank the Spanish fishing vessel.”</p>
-
-</div>
-
-<p class='pindent'>And then, if you will read the next entry.</p>
-
-<div class='blockquote'>
-
-<p>“We shall continue to maintain to the outside world that there
-is no question of a German or Italian submarine in the sea
-area in question being responsible for the sinkings.”</p>
-
-</div>
-
-<p class='pindent'>Do you still say that you did not deceive the neutrals?</p>
-
-<p class='pindent'>WAGNER: This case is doubtless a deception, but I do not
-remember for what particular reason this deception was carried
-through.</p>
-
-<p class='pindent'>COL. PHILLIMORE: But it is pretty discreditable, is it not? Do
-you regard that as creditable to the German Navy, that conduct?</p>
-
-<p class='pindent'>WAGNER: No, this...</p>
-
-<p class='pindent'>COL. PHILLIMORE: Did the Defendant Raeder sign the War
-Diary?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Did you tell the Defendant Dönitz what
-answer you were giving to the Spaniards and the Norwegians?</p>
-
-<p class='pindent'>WAGNER: That I do not recall.</p>
-
-<p class='pindent'>COL. PHILLIMORE: He would get a copy, would he not?</p>
-
-<p class='pindent'>WAGNER: I did not understand you.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You would send him a copy, would you
-not, of your note to the Foreign Office?</p>
-
-<p class='pindent'>WAGNER: That is possible.</p>
-
-<p class='pindent'>THE PRESIDENT: Colonel Phillimore, does the signature of the
-Defendant Raeder appear at the end of this document, C-105?</p>
-
-<p class='pindent'>COL. PHILLIMORE: My Lord, I regret to say I have not checked
-that. But as the witness has said, the practice was that he was to
-sign the War Diary, and that the Commander-in-Chief was to sign
-it periodically.</p>
-
-<p class='pindent'>Is that right, Witness?</p>
-
-<p class='pindent'>WAGNER: Yes. On the next page, on 21 December my signature
-appears as well as those of Admiral Fricke, Admiral Schniewind,
-and Admiral Raeder.</p>
-
-<p class='pindent'>DR. SIEMERS: Mr. President, I would be very grateful to the
-Prosecution if the documents which concern the Defendant Raeder
-would also be given to me, for it is relatively difficult for me to
-<span class='pageno' title='495' id='Page_495'></span>
-follow the situation otherwise. I have received none of these documents.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I am extremely sorry, My Lord. That is
-my fault, and I will see that Dr. Siemers has the copies tonight.</p>
-
-<p class='pindent'>THE PRESIDENT: We will adjourn now at this point until
-tomorrow morning.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 14 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='496' id='Page_496'></span><h1><span style='font-size:larger'>ONE HUNDRED</span><br/> <span style='font-size:larger'>AND TWENTY-NINTH DAY</span><br/> Tuesday, 14 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The witness Wagner resumed the stand.</span>]</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you remember the sinking of the <span class='it'>Monte
-Corbea</span> in September 1942?</p>
-
-<p class='pindent'>WAGNER: I have some recollection of it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: That was the ship in respect to which the
-Defendant Dönitz sent a telegram to the U-boat commander, threatening
-him with court-martial on his return because he had sunk
-the ship after recognizing it as a neutral. Now, in 1942 the friendship
-of Spain was very important to Germany, was it not?</p>
-
-<p class='pindent'>WAGNER: I assume so.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You told us yesterday that Admiral Raeder
-was considering Mediterranean policy—recommending it. Now that
-was the reason, was it not, why the U-boat commander was threatened
-with court-martial, that it mattered in 1942 if you sank a
-Spanish ship?</p>
-
-<p class='pindent'>WAGNER: No, that was not the reason. The reason was that the
-commander of the U-boat in question had obviously not acted according
-to the directives of the Commander of U-boats.</p>
-
-<p class='pindent'>COL. PHILLIMORE: It did not matter in 1940 when you thought
-you were winning the war, but in September 1942 I suggest to you
-it became politically inexpedient to sink a Spanish ship; is that not
-right?</p>
-
-<p class='pindent'>WAGNER: You will have to ask the political departments of the
-German Reich about that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: If that is the answer, do you think it is unfair
-to describe your attitude to the sinking of neutral ships as
-cynical and opportunist?</p>
-
-<p class='pindent'>WAGNER: No, I reject that absolutely.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I want to ask you one or two questions
-about the witness Heisig. You spoke yesterday of a conversation in
-the jail here in the first week of December 1945.
-<span class='pageno' title='497' id='Page_497'></span></p>
-
-<p class='pindent'>WAGNER: In December 1945?</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes. You knew at the time you spoke to
-Heisig that he was going to be called as a witness, did you not?</p>
-
-<p class='pindent'>WAGNER: That could be assumed from his presence here at
-Nuremberg.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And you knew you were going to be called
-as a witness, did you not?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Are you telling the Tribunal that you did
-not tell the defense lawyers about this conversation until quite
-recently?</p>
-
-<p class='pindent'>WAGNER: I did not understand the sense of your question.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Are you telling the Tribunal that you did
-not report this conversation with Heisig to the defense lawyers until
-quite recently?</p>
-
-<p class='pindent'>WAGNER: I think it was in February or March when I told the
-Defense Counsel about this conversation.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now I just want to put the dates to you.
-The U-boat Commander Eck was sentenced to death on 20 October.
-Do you know that?</p>
-
-<p class='pindent'>WAGNER: I did not know the date.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Death sentence was passed by the Commission
-on 21 November and he was executed on 30 November. That
-is to say he was executed before you had this conversation. Did
-you know that?</p>
-
-<p class='pindent'>WAGNER: No. I just discovered that now.</p>
-
-<p class='pindent'>COL. PHILLIMORE: At any rate, the witness Heisig knew it
-before he gave his evidence, did he not?</p>
-
-<p class='pindent'>WAGNER: Obviously not. Otherwise, he would most likely have
-told me about it. Previously, he had for 10 days...</p>
-
-<p class='pindent'>COL. PHILLIMORE: Will you just listen to a question and
-answer from his cross-examination. It is Page 2676 of the transcript
-(Volume V, Page 227). This is a question by Dr. Kranzbühler:</p>
-
-<div class='blockquote'>
-
-<p>“In your hearing on 27 November were you not told that the
-death sentence against Eck and Hoffmann had already been
-set?”</p>
-
-<p>Answer: “I do not know whether it was on 27 November. I
-know only that here I was told of the fact that the death
-sentence had been carried out. The date I cannot remember.
-I was in several hearings.”</p>
-
-</div>
-
-<p class='pindent'>Now if that is right...
-<span class='pageno' title='498' id='Page_498'></span></p>
-
-<p class='pindent'>THE PRESIDENT: What date was that evidence given?</p>
-
-<p class='pindent'>COL. PHILLIMORE: That was given on 14 January, My Lord;
-Page 2676 of the transcript (Volume V, Page 227).</p>
-
-<p class='pindent'>WAGNER: I did not understand who gave this testimony.</p>
-
-<p class='pindent'>COL. PHILLIMORE: The witness Heisig, when he gave evidence
-here in Court. So that whether or not he was deceived, as you
-suggest, before he gave his affidavit, he at least knew the true facts
-before he gave evidence here to the Tribunal?</p>
-
-<p class='pindent'>WAGNER: Then he told an untruth to me.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, I want to ask you one question on
-the order of 17 September 1942. That is the order that you say you
-monitored in the naval war staff and saw nothing wrong with it.
-Did the Defendant Raeder see that order?</p>
-
-<p class='pindent'>WAGNER: That I cannot say with certainty.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You were Chief of Staff Operations at that
-time?</p>
-
-<p class='pindent'>WAGNER: Yes, but one cannot expect me to remember every
-incident in 6 years of war.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Oh, no, but this was an important order,
-was it not?</p>
-
-<p class='pindent'>WAGNER: Certainly, but there were many important orders in
-the course of 6 years.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Would you normally show an important
-operational order to the Commander-in-Chief?</p>
-
-<p class='pindent'>WAGNER: It was my task to submit all important matters to
-the Chief of Staff of the Naval Operations Staff, and he decided
-which matters were to be submitted to the Grossadmiral.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Are you saying that you would not have
-shown this to the Chief of Staff?</p>
-
-<p class='pindent'>WAGNER: No. I am sure he had knowledge of it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Have you any doubt that this order would
-have been shown to Admiral Raeder?</p>
-
-<p class='pindent'>WAGNER: That I cannot say; I do not recall whether he received
-it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now I want to ask one or two questions
-about your tasks as Admiral, Special Duties. You became Admiral,
-Special Duties, in June 1944, is that right?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And from then on you attended the important
-conferences with Admiral Dönitz and in his absence represented
-him, did you not?
-<span class='pageno' title='499' id='Page_499'></span></p>
-
-<p class='pindent'>WAGNER: I never participated in any discussions as his representative.
-Dönitz was represented by the Chief of the SKL.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now at that stage of the war all questions
-were important insofar as they affected military operations in one
-way or another, were they not?</p>
-
-<p class='pindent'>WAGNER: At every stage of the war all military questions are
-of importance.</p>
-
-<p class='pindent'>COL. PHILLIMORE: What I am putting to you is that at that
-stage of the war the importance of all questions chiefly depended on
-how they affected the military situation.</p>
-
-<p class='pindent'>WAGNER: Yes, that, I imagine, one has to admit.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And during that period Germany was virtually
-governed by the decisions taken at the Führer’s headquarters,
-was it not?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now I want you to look at a record of one
-of Admiral Dönitz’ visits—My Lord, this is D-863; it is a new document
-and becomes Exhibit GB-456.</p>
-
-<p class='pindent'>Now that is a record of a visit to the Führer’s headquarters on
-28 and 29 of August 1943. You were not there yourself, but your
-immediate superior Vice Admiral Meisel accompanied Admiral
-Dönitz, and the names of the Naval Delegation are set out at the
-top of the page: Admiral Dönitz, Vice Admiral Meisel, Kapitän zur
-See Rehm, <span class='it'>et cetera</span>. And your program as set out was: After your
-arrival, at 1130, conversation with Commander-in-Chief Navy, Commander-in-Chief
-Luftwaffe; 1300, situation conference with the
-Führer, closing with a further conversation between the Commander-in-Chief
-Navy and the Commander-in-Chief Luftwaffe; then at 1600
-the Commander-in-Chief Navy left. After that Admiral Meisel had
-a conversation with Ambassador Ritter of the Foreign Office. Then
-a conversation with General Jodl, an evening conference with the
-Führer, and then at midnight a conference with Reichsführer-SS
-Himmler. On the next day the usual conference with the Führer;
-then a conference with the Chief of the General Staff of the Air
-Force. And then he left.</p>
-
-<p class='pindent'>Now, is that a fair sample of what went on whenever Admiral
-Dönitz visited; that he had conversations, various conferences with
-other officials?</p>
-
-<p class='pindent'>WAGNER: That is a typical example of a visit of the Grossadmiral
-at the headquarters, insofar as he participated only in situation
-conferences with the Führer, and in addition he had military
-discussions with the Commander-in-Chief of the Air Force.
-<span class='pageno' title='500' id='Page_500'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: And that shows, does it not, the whole
-business of government being carried on at the Führer’s headquarters?</p>
-
-<p class='pindent'>WAGNER: No, not at all. I have already said the Grossadmiral
-only participated at the situation conference, that is, the military
-situation conference with the Führer and beyond that one or even
-two discussions with the Commander-in-Chief of the Air Force.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And with General Jodl or Field Marshal
-Keitel, somebody from the Foreign Office, and so on?</p>
-
-<p class='pindent'>WAGNER: Otherwise the Grossadmiral had no discussions of
-any sort, as can be seen from the document, for on 28 August at
-1600 hours he returned by air. The other discussions were discussions
-of the Chief of Staff of the SKL, the...</p>
-
-<p class='pindent'>COL. PHILLIMORE: But I was putting it to you that this was a
-typical visit. If Admiral Dönitz had not left, he would have had
-these other conversations and not Admiral Meisel, is that not right?</p>
-
-<p class='pindent'>WAGNER: No, not at all. The Chief of Staff of the SKL very
-rarely had the opportunity of coming to headquarters; and according
-to the record here, he obviously used his opportunity to contact a
-few of the leading...</p>
-
-<p class='pindent'>COL. PHILLIMORE: I do not want to waste time with it. I
-suggest to you that when Admiral Dönitz went there he normally
-saw many other ministers and conversed with them on any business
-affecting the Navy.</p>
-
-<p class='pindent'>WAGNER: Naturally, the Admiral discussed all questions affecting
-the Navy with those who were concerned with them.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, I want to ask you one or two questions
-on the minutes with regard to the Geneva Convention—that is
-C-158, GB-209, Page 69 of the English Prosecution’s document book,
-or Page 102 of the German. Will you look at Page 102.</p>
-
-<p class='pindent'>Now you, as you told us yesterday, initialed those minutes, did
-you not; and a copy was marked to you, is that not right?</p>
-
-<p class='pindent'>WAGNER: Yes, I signed these minutes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes; were they accurate?</p>
-
-<p class='pindent'>WAGNER: They contained salient points about the things which
-had happened at headquarters.</p>
-
-<p class='pindent'>COL. PHILLIMORE: They were an accurate record, were they?</p>
-
-<p class='pindent'>WAGNER: Undoubtedly I believed that things had taken place
-as they are recorded here.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, did you agree with Admiral Dönitz’
-advice that it would be better to carry out the measures considered
-<span class='pageno' title='501' id='Page_501'></span>
-necessary without warning and at all costs to save face with the
-outer world? Did you agree with that?</p>
-
-<p class='pindent'>WAGNER: I already explained yesterday, clearly and unequivocally,
-how I interpreted this sentence which was formulated by
-me; and I have nothing to add to that statement. In the sense which
-I stated yesterday, I agree completely.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And the step which Hitler wanted to take
-was to put prisoners of war in the bombed towns, was it not? Was
-that not the breach of the Convention that he wanted to make?</p>
-
-<p class='pindent'>WAGNER: No, it was the renunciation of all the Geneva agreements;
-not only the agreement about prisoners of war, but also the
-agreement on hospitals ships, the Red Cross agreement, and other
-agreements which had been made at Geneva.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Then what were the measures considered
-necessary which could be taken without warning? Just look at that
-sentence.</p>
-
-<p class='pindent'>WAGNER: I do not understand that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Look at the last sentence, “It would be
-better to carry out the measures considered necessary.” What were
-those measures?</p>
-
-<p class='pindent'>WAGNER: They were not discussed at all.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you see any difference between the
-advice which Admiral Dönitz was giving them and the advice which
-you described as the rather romantic ideas of a young expert on
-the document about sinking without warning at night? Let me put
-it to you; what the naval officer said on the Document C-191 was:
-“Sink without warning. Do not give written permission. Say it was
-a mistake for an armed merchant cruiser...”</p>
-
-<p class='pindent'>We have Admiral Dönitz saying, “Do not break the rules, tell no
-one about it and at all costs save face with the world.”</p>
-
-<p class='pindent'>Do you see any difference?</p>
-
-<p class='pindent'>WAGNER: I already testified yesterday that the difference is
-very great. Admiral Dönitz opposed the renunciation of the Geneva
-Convention and said that even if measures to intimidate deserters or
-countermeasures against bombing attacks on cities were to be taken,
-the Geneva Convention should not be renounced in any case.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, I want to put to you a few questions
-about prisoners of war. So far as naval prisoners of war were concerned,
-they remained in the custody of the Navy, did they not?</p>
-
-<p class='pindent'>WAGNER: I am not informed about the organization of prisoner-of-war
-camps. According to my recollection they were first put into
-a naval transit camp. Then they were sent to other camps; but I
-<span class='pageno' title='502' id='Page_502'></span>
-do not know whether these camps were under the jurisdiction of
-the Navy or the OKW.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Have you not seen the defense documents
-about the Camp Marlag telling us how well they were treated? Have
-you not seen them?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, naval prisoners, when they were
-captured by your forces, their capture was reported to the naval
-war staff, was it not?</p>
-
-<p class='pindent'>WAGNER: Such captures were, in general, reported as part of
-the situation reports.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, do you remember the Commando
-Order of 18 October 1942?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You actually signed the order passing that
-Führer Order on to commands, did you not?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: My Lord, the document is C-179, and that
-was put in as United States Exhibit 543 (USA-543). It is in that
-bundle that Sir David Maxwell-Fyfe handed to the Tribunal when
-cross-examining the defendant. I think it is either the last or very
-near to the last document in the bundle.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Did you approve of that order?</p>
-
-<p class='pindent'>WAGNER: I regretted that one had to resort to this order, but
-in the first paragraph the reasons for it are set forth so clearly that
-I had to recognize its justification.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You knew what handing over to the SD
-meant, did you not? You knew that meant shooting?</p>
-
-<p class='pindent'>WAGNER: No, that could have meant a lot of things.</p>
-
-<p class='pindent'>COL. PHILLIMORE: What did you think it meant?</p>
-
-<p class='pindent'>WAGNER: It could have meant that the people were interrogated
-for the counterintelligence; it could have meant that they were to
-be kept imprisoned under more severe conditions, and finally it
-could have meant that they might be shot.</p>
-
-<p class='pindent'>COL. PHILLIMORE: But you had no doubt that it meant that
-they might be shot, had you?</p>
-
-<p class='pindent'>WAGNER: The possibility that they might be shot undoubtedly
-existed.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes, and did that occur to you when you
-signed the order sending it on to commanders?
-<span class='pageno' title='503' id='Page_503'></span></p>
-
-<p class='pindent'>WAGNER: I would like to refer to Paragraph 1 of this order,
-where it...</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you mind answering the question? Did
-it occur to you that they might be shot when you signed the order
-sending it on to commanders?</p>
-
-<p class='pindent'>WAGNER: Yes, the possibility was clear to me.</p>
-
-<p class='pindent'>DR. SIEMERS: Mr. President, the witness was asked whether
-he approved of this order. I do not think that Colonel Phillimore
-can cut off the witness’ answer by saying that he may not refer
-to Paragraph 1 of the order. I believe that Paragraph 1 of the order
-is of decisive importance for this witness. Mr. President, the witness
-Admiral Wagner...</p>
-
-<p class='pindent'>THE PRESIDENT: You have an opportunity of re-examining
-the witness.</p>
-
-<p class='pindent'>DR. SIEMERS: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: Then why do you interrupt?</p>
-
-<p class='pindent'>DR. SIEMERS: Because Colonel Phillimore has interrupted the
-answer of the witness and I believe that even in cross-examination
-the answer of the witness must be at least heard.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, the Tribunal does not agree with you.</p>
-
-<p class='pindent'>COL. PHILLIMORE: My Lord, I understood him to have already
-made some point that the defendant made once? I only interrupted
-him when he sought to make it again.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] I put my question once again. When
-you signed the order sending this document on to lower commanders,
-did it occur to you then that these men would probably
-be shot?</p>
-
-<p class='pindent'>WAGNER: The possibility that these people who were turned
-over to the SD might be shot was clear to me.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Was it also...</p>
-
-<p class='pindent'>WAGNER: I have not finished yet. But only those people who
-had not been captured by the Wehrmacht were to be handed over
-to the SD.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Did it also occur to you that they would
-be shot without trial?</p>
-
-<p class='pindent'>WAGNER: Yes, that can be concluded from the order.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And what do you mean by saying that it
-only referred to those not captured by the Wehrmacht? Would you
-look at Paragraph 3.</p>
-
-<div class='blockquote'>
-
-<p>“From now on all enemies on so-called Commando missions
-in Europe or Africa, challenged by German troops, even if
-they are to all appearances soldiers in uniform or demolition
-<span class='pageno' title='504' id='Page_504'></span>
-troops, whether armed or unarmed, in battle or in flight, are
-to be slaughtered to the last man. It does not make any difference
-whether they landed from ships or airplanes for their
-actions of whether they were dropped by parachutes. Even if
-these individuals when found should apparently seem to give
-themselves up, no pardon is to be granted them on principle.
-In each individual case full information is to be sent to the
-OKW for publication in the OKW communiqué.”</p>
-
-</div>
-
-<p class='pindent'>Are you saying it did not refer to men captured by the military
-forces?</p>
-
-<p class='pindent'>WAGNER: Yes, I maintain that statement. There is nothing in
-the entire paragraph which says these men who were captured by
-the Wehrmacht were to be turned over to the SD. That was the
-question.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, read on in the last paragraph.</p>
-
-<div class='blockquote'>
-
-<p>“If individual members of such Commandos, such as agents,
-saboteurs, <span class='it'>et cetera</span>, fall into the hands of the military forces
-by some other means, for example through the Police in occupied
-territories, they are to be handed over immediately to
-the SD.”</p>
-
-</div>
-
-<p class='pindent'>WAGNER: Yes. It is expressly stated here that only those people
-are to be turned over to the SD who are not captured by the Wehrmacht
-but by the Police; in that case the Wehrmacht could not take
-them over.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Indeed it is not. That capture by the Police
-is given as one possible instance. But you know, you know in
-practice, do you not, that there were several instances where Commandos
-were captured by the Navy and handed over to the SD
-under this order? Do you not know that?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Well, let me just remind you. Would you
-look at Document 512-PS.</p>
-
-<p class='pindent'>That is also in that bundle, My Lord, as United States Exhibit
-546 (USA-546). It is the second document. According to the last
-sentence of the Führer Order of 18 October:</p>
-
-<div class='blockquote'>
-
-<p>“Individual saboteurs can be spared for the time being in order
-to keep them for interrogation. Importance of this measure
-was proven in the cases of Glomfjord, the two-man torpedo
-at Trondheim, and the glider plane at Stavanger, where
-interrogations resulted in valuable knowledge of enemy
-intentions.”</p>
-
-</div>
-
-<p class='noindent'>And then it goes on to another case, the case of
-the Geronde.</p>
-
-<p class='pindent'>Do you say that you do not remember the two-man torpedo
-attack on the <span class='it'>Tirpitz</span> in Trondheim Fjord?
-<span class='pageno' title='505' id='Page_505'></span></p>
-
-<p class='pindent'>WAGNER: No, no. I am not asserting that I do not remember it.
-I do remember it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes. Did you not see in the Wehrmacht
-communiqué after that attack what had happened to the man who
-was captured?</p>
-
-<p class='pindent'>WAGNER: I cannot recall it at the moment.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Let me just remind you. One man was
-captured, Robert Paul Evans, just as he was getting across the
-Swedish border, and he was—that attack took place in October 1942—he
-was executed in January 1943, on 19 January 1943.</p>
-
-<p class='pindent'>My Lord, the reference to that might be convenient; it is Document
-UK-57, which was put in as Exhibit GB-64.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>]</p>
-
-<p class='pindent'>Do you say that you do not remember seeing any report of his
-capture or of his shooting or of his interrogation?</p>
-
-<p class='pindent'>WAGNER: No, I believe I remember that, but this man...</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now what do you remember? Just tell us
-what you remember. Do you remember seeing his capture reported?</p>
-
-<p class='pindent'>WAGNER: I no longer know that. I remember there was a
-report that a considerable time after the attack on the <span class='it'>Tirpitz</span> a man
-was captured, but to my knowledge not by the Navy.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Would you look at the Document D-864,
-a sworn statement.</p>
-
-<p class='pindent'>My Lord, through some error I am afraid I have not got it here.
-May I just put the facts, and if necessary put in the document if I
-can produce it in time.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] I suggest to you that Robert Paul Evans,
-after his capture, was personally interrogated by the Commander-in-Chief,
-Navy, of the Norwegian North Coast. Do you say you
-know nothing of that?</p>
-
-<p class='pindent'>WAGNER: Yes, I maintain that I do not remember it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You see, this was the first two-man torpedo
-attack by the British Navy against the German naval forces, was
-it not? That is so, is it not?</p>
-
-<p class='pindent'>WAGNER: Yes, that is possible.</p>
-
-<p class='pindent'>COL. PHILLIMORE: No, but you must know that, do you not?
-You were Chief of Staff Operations at the time.</p>
-
-<p class='pindent'>WAGNER: I believe it was the first time.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you say that the results of that important
-interrogation were not reported to you in the naval
-war staff?
-<span class='pageno' title='506' id='Page_506'></span></p>
-
-<p class='pindent'>WAGNER: They were certainly reported, but nevertheless I
-cannot remember that the Commanding Admiral in Norway actually
-conducted this interrogation.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Did you see a report by that admiral?</p>
-
-<p class='pindent'>WAGNER: I do not know where it originated, but I am certain
-I saw a report of that kind.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Was it clear to you that that report was
-based on interrogation?</p>
-
-<p class='pindent'>WAGNER: Yes, I think so.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And you say you did not know that this
-man Evans, some two months after his capture, was taken out and
-shot under the Führer order?</p>
-
-<p class='pindent'>WAGNER: Yes, I maintain that I do not remember that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I will put you another instance. Do you
-remember the Bordeaux incident in December 1942?</p>
-
-<p class='pindent'>That is 526-PS, My Lord. That is also in the bundle. It was
-originally put in as United States Exhibit 502 (USA-502).</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] I am sorry; it is the Toftefjord incident
-I am putting to you, 526-PS. Do you remember this incident in
-Toftefjord in March 1943?</p>
-
-<p class='pindent'>WAGNER: I do remember that about this time an enemy cutter
-was seized in a Norwegian fjord.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes. And did you not see in the Wehrmacht
-communiqué “Führer Order executed”?</p>
-
-<p class='pindent'>WAGNER: If it said so in the Wehrmacht communiqué then I
-must have read it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Have you any doubt that you knew that
-the men captured in that attack were shot, and that you knew it at
-the time?</p>
-
-<p class='pindent'>WAGNER: Apparently he was shot while being captured.</p>
-
-<p class='pindent'>COL. PHILLIMORE: If you look at the document:</p>
-
-<div class='blockquote'>
-
-<p>“Enemy cutter engaged. Cutter blown up by the enemy. Crew,
-2 dead men, 10 prisoners.”</p>
-
-</div>
-
-<p class='pindent'>Then look down:</p>
-
-<div class='blockquote'>
-
-<p>“Führer Order executed by SD.”</p>
-
-</div>
-
-<p class='pindent'>That means those 10 men were shot, does it not?</p>
-
-<p class='pindent'>WAGNER: It must mean that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes. Now I just put to you the document
-that I referred to on the Trondheim episode, D-864. This is an
-<span class='pageno' title='507' id='Page_507'></span>
-affidavit by a man who was in charge of the SD at Bergen and later
-at Trondheim, and it is the second paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“I received the order by teletype letter or radiogram from the
-Commander of the Security Police and the SD, Oslo, to
-transfer Evans from Trondheim Missions Hotel to the BDS,
-Oslo.</p>
-
-<p>“I cannot say who signed the radiogram or the teletype letter
-from Oslo. I am not sure to whom I transmitted the order,
-but I think it was to Hauptsturmführer Hollack. I know that
-the Commanding Admiral of the Norwegian Northern Coast
-had interrogated Evans himself.”</p>
-
-</div>
-
-<p class='pindent'>And then he goes on to deal with Evans’ clothing.</p>
-
-<p class='pindent'>I put it to you once again: Do you say that you did not know
-from the Admiral, Northern Coast himself that he had interrogated
-this man?</p>
-
-<p class='pindent'>WAGNER: Yes, I am asserting that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Well, I will take you to one more incident
-which you knew about, as is shown by your own war diary. Would
-you look at the Document D-658.</p>
-
-<p class='pindent'>My Lord, this document was put in as GB-229.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Now, that is an extract from the SKL
-War Diary, is it not?</p>
-
-<p class='pindent'>WAGNER: Let me examine it first. I do not have the impression
-that...</p>
-
-<p class='pindent'>COL. PHILLIMORE: You said yesterday that it was from the
-war diary of the Naval Commander, West France, but I think that
-was a mistake, was it not?</p>
-
-<p class='pindent'>WAGNER: I did not make any statement yesterday on the origin
-of the war diary.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Just read the first sentence. I think it
-shows clearly it was the SKL War Diary.</p>
-
-<div class='blockquote'>
-
-<p>“9 December 1942. The Naval Commander, West France,
-reports”—and then it sets out the incident. And then, the
-third sentence:</p>
-
-<p>“The Naval Commander, West France, has ordered that both
-soldiers be shot immediately for attempted sabotage if their
-interrogation, which has been begun, confirms what has so far
-been discovered; their execution has, however, been postponed
-in order to obtain more information.</p>
-
-<p>“According to a Wehrmacht report”—I think that is a mistranslation;
-it should be “According to the Wehrmacht communiqué”—“both
-soldiers had meanwhile been shot. The
-<span class='pageno' title='508' id='Page_508'></span>
-measure would be in accordance with the Führer’s special
-order, but is nevertheless something new in international law,
-since the soldiers were in uniform.”</p>
-
-</div>
-
-<p class='pindent'>That is from the SKL War Diary, is it not?</p>
-
-<p class='pindent'>WAGNER: I do not think that this is the War Diary of the SKL;
-but rather it would seem to be the war diary of the Naval Group
-Command, West, or the Commanding Admiral in France.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Well, I will get the original here and clear
-the matter up later, but I suggest to you that this is the SKL War
-Diary, which at the time...</p>
-
-<p class='pindent'>WAGNER: I cannot recognize that assertion until it is proved
-by the original.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And I suggest to you that you, who were
-Chief of Staff Operations at the time, must have been fully aware
-of that incident. Do you deny that?</p>
-
-<p class='pindent'>WAGNER: I deny—I maintain that I do not remember that affair.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you say that a matter of that sort would
-not be reported to you?</p>
-
-<p class='pindent'>WAGNER: I have been told here that the order to shoot these
-people was obtained from headquarters directly by the SD.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, finally, I put to you the incident of
-the capture of the seven seamen, six of the Norwegian Navy and
-one of the Royal Navy, at Ulven near Bergen in July 1943. That is
-the document D-649 in the Prosecution document book, GB-208.</p>
-
-<p class='pindent'>Do you remember this incident? Do you remember the capture
-of these seven men by Admiral Von Schrader with his two task
-forces?</p>
-
-<p class='pindent'>WAGNER: I saw this paper while I was being interrogated, and
-that is why I remember it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: But do you remember the incident?</p>
-
-<p class='pindent'>WAGNER: No, not from my personal recollection.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You were still Chief of Staff Operations.</p>
-
-<p class='pindent'>THE PRESIDENT: Which page?</p>
-
-<p class='pindent'>COL. PHILLIMORE: My Lord, it is Page 67 of the English document
-book, Page 100 in the German.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Do you say that as Chief of Staff Operations
-you do not remember any of these incidents?</p>
-
-<p class='pindent'>WAGNER: Yes, I assert and maintain what I have already said
-about this.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Did not your operational—did your commanders
-not report when they captured an enemy Commando?
-<span class='pageno' title='509' id='Page_509'></span></p>
-
-<p class='pindent'>WAGNER: I must assume that those things were also reported
-in the situation reports.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Now, you are really suggesting that you
-have forgotten all about these incidents now?</p>
-
-<p class='pindent'>WAGNER: In all my testimony I have strictly adhered to what
-I personally remember.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you know what happened to these men?
-You know they were captured in uniform, do you not? There was a
-naval officer with gold braid around his arm. That is a badge you
-use in the German Navy, is it not?</p>
-
-<p class='pindent'>WAGNER: I have already said that I do not recall this affair.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Well, let me just tell you and remind you.
-After interrogation by naval officers and officers of the SD, both of
-whom recommended prisoner-of-war treatment, these men were
-handed over by the Navy to the SD for shooting. They were taken
-to a concentration camp, and at 4 o’clock in the morning they were
-led out one by one, blindfolded, fettered, not told they were going
-to be shot, and shot one by one on the rifle range. Do you know that?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Did you know that is what handing over
-to the SD meant?</p>
-
-<p class='pindent'>WAGNER: I have already said that handing over to the SD
-implied several possibilities.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you know that then their bodies were
-sunk in the fjord with charges attached, and destroyed, as it says in
-the document, “in the usual way”—Paragraph 10 of the affidavit—and
-their belongings in the concentration camp were burned?</p>
-
-<p class='pindent'>WAGNER: No, I do not know that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Very well. A further point: Do you remember
-that in March or April 1945, at the very end of the war, do
-you remember that this order, the Führer Order, was cancelled by
-Keitel?</p>
-
-<p class='pindent'>That is Paragraph 11 of the affidavit, My Lord.</p>
-
-<p class='pindent'>Do you remember that? Just read it.</p>
-
-<p class='pindent'>WAGNER: Yes, I have heard of that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes. You thought you were losing the war
-by then, and you had better cancel the Commando Order, is that
-not the fact?</p>
-
-<p class='pindent'>WAGNER: I do not know for what reasons the OKW rescinded
-orders.
-<span class='pageno' title='510' id='Page_510'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: Is not this right: You did not worry about
-this order in 1942 when you thought you were winning the war,
-but when you found you were losing it, you began to worry about
-international law. Is not that what happened?</p>
-
-<p class='pindent'>WAGNER: It is absolutely impossible for me to investigate
-orders. This paragraph of the Commando Order states clearly and
-distinctly that these Commandos had orders—that these Commandos
-were composed partly of criminal elements of the occupied territories—that
-they had orders to kill prisoners whom they found a
-burden, that other Commandos had orders to kill all captives; and
-that orders to this effect had fallen into our hands.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Did you ever make any inquiries to see
-whether that was true?</p>
-
-<p class='pindent'>WAGNER: It is absolutely impossible for me to investigate
-official information which I receive from my superiors.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You were Chief of Staff Operations; you
-received every report on the Commando raids, did you not?</p>
-
-<p class='pindent'>WAGNER: I gave detailed evidence in each individual case, but
-I cannot make a general statement.</p>
-
-<p class='pindent'>COL. PHILLIMORE: When you were Chief of Staff Operations,
-did you not receive a full report every time there was a British
-Commando raid?</p>
-
-<p class='pindent'>WAGNER: I have already said that I believe such incidents
-formed part of the situation reports to the SKL.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I suggest you can answer that question perfectly
-straight if you wanted to. Here you were, a Senior Staff
-Officer, Commando Raids. Are you saying you did not personally
-see and read a full report on every one?</p>
-
-<p class='pindent'>WAGNER: I am not asserting that. I have answered each individual
-question by stating exactly what I remember.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you say that taking these men out and
-shooting them without a trial, without telling them they were going
-to be shot, without seeing a priest, do you say that...</p>
-
-<p class='pindent'>WAGNER: With regard to the Navy...</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you say that was not murder?</p>
-
-<p class='pindent'>WAGNER: I do not wish to maintain that at all. I do maintain
-that I was presumably told about the cases in which men were shot
-by the Navy, and I am of the opinion that these people who were
-captured as saboteurs were not soldiers, but were criminals who, in
-accordance with their criminal...</p>
-
-<p class='pindent'>COL. PHILLIMORE: Let us get it perfectly clear. Are you
-saying that the action taken in shooting these Commandos on all
-<span class='pageno' title='511' id='Page_511'></span>
-these occasions—are you saying that was perfectly, proper and
-justified? I thought you agreed with me it was murder, just now.
-Which is it?</p>
-
-<p class='pindent'>WAGNER: I would like to answer that in each individual case.</p>
-
-<p class='pindent'>COL. PHILLIMORE: It is a very simple question to answer
-generally and it takes less time. Do you say that men captured in
-uniform should be taken out and shot without trial?</p>
-
-<p class='pindent'>WAGNER: I cannot consider men of whom I know that they
-have orders to commit crimes, as soldiers, within international law.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Are you saying that this action was perfectly
-proper—are you?</p>
-
-<p class='pindent'>WAGNER: Yes, entirely and perfectly.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Shoot helpless prisoners without trial, bully
-little neutrals who cannot complain? That is your policy, is it?</p>
-
-<p class='pindent'>WAGNER: Not at all.</p>
-
-<p class='pindent'>COL. PHILLIMORE: What crime did Robert Paul Evans commit,
-who attacked the <span class='it'>Tirpitz</span> in a two-man torpedo?</p>
-
-<p class='pindent'>WAGNER: I am convinced it was proved that he belonged to a
-sabotage unit, and that besides the purely naval character of the
-attack on the ship, there were other aspects which marked him as a
-saboteur.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And you said just now that you did not
-remember the incident?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Will you agree on this, will you agree with
-me, that if this shooting by the SD was murder, you and Admiral
-Dönitz and Admiral Raeder, who signed the orders under which
-this was done, are just as guilty as the men who shot them?</p>
-
-<p class='pindent'>WAGNER: The person who issued the order is responsible for it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And that person who passed it and approved
-it; is not that right?</p>
-
-<p class='pindent'>WAGNER: I assume full responsibility for the transmission of
-this order.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Your Lordship, I have no further questions.</p>
-
-<p class='pindent'>THE PRESIDENT: Colonel Phillimore, D-658 was an old exhibit,
-was it not?</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: Have you given new exhibit numbers to all
-the new documents?
-<span class='pageno' title='512' id='Page_512'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: I am very much obliged, Your Lordship. I
-did omit to give a new exhibit number to the affidavit by Flesch.</p>
-
-<p class='pindent'>THE PRESIDENT: D-864.</p>
-
-<p class='pindent'>COL. PHILLIMORE: D-864. My Lord, it should be GB-457. My
-Lord, I am very sorry. I was not advised, but I got it.</p>
-
-<p class='pindent'>THE PRESIDENT: And all the others you have given numbers to?</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well. Is there any other cross-examination?
-Then, does Dr. Kranzbühler wish to re-examine? Dr. Kranzbühler,
-I see it is nearly half-past eleven, so perhaps we had better
-adjourn for ten minutes.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>THE PRESIDENT: Before Dr. Kranzbühler goes on with his
-re-examination, I shall announce the Tribunal’s decisions with
-reference to the applications which were made recently in court.</p>
-
-<p class='pindent'>The first application on behalf of the Defendant Von Schirach
-was for a witness Hans Marsalek to be produced for cross-examination,
-and that application is granted.</p>
-
-<p class='pindent'>The second application was for interrogatories to a witness Kaufmann,
-and that is granted.</p>
-
-<p class='pindent'>The next matter was an application on behalf of the Defendant
-Hess for five documents; and as to that, the Tribunal orders that two
-of the documents applied for under Heads B and D in Dr. Seidl’s
-application have already been published in the <span class='it'>Reichsgesetzblatt</span>,
-and one of them is already in evidence, and they will, therefore, be
-admitted.</p>
-
-<p class='pindent'>The Tribunal considers that the documents applied for under
-Heads C and E of Dr. Seidl’s application are unsatisfactory and have
-no evidential value; and since it does not appear from Dr. Seidl’s
-application and the matters referred to therein that the alleged
-copies are copies of any original documents, the application is
-denied in respect thereof. But leave is granted to Dr. Seidl to file a
-further affidavit by Gaus covering his recollection of what was in
-the alleged agreements.</p>
-
-<p class='pindent'>The application on behalf of the Defendant Funk for an affidavit
-by a witness called Kallus is granted.</p>
-
-<p class='pindent'>The application on behalf of the Defendant Streicher is denied.
-The application on behalf of the Defendant Sauckel firstly for a
-witness named Biedermann is granted, and secondly for four documents;
-that application is also granted.
-<span class='pageno' title='513' id='Page_513'></span></p>
-
-<p class='pindent'>The application on behalf of the Defendant Seyss-Inquart for an
-interrogatory to Dr. Stuckart is granted.</p>
-
-<p class='pindent'>The application on behalf of the Defendant Frick is granted for
-an interrogatory to a witness, Dr. Konrad.</p>
-
-<p class='pindent'>The application on behalf of the Defendant Göring with reference
-to two witnesses is granted in the sense that the witnesses are to
-be alerted.</p>
-
-<p class='pindent'>The application on behalf of the Defendants Hess and Frank for
-official information from the ministry of war of the United States of
-America is denied.</p>
-
-<p class='pindent'>That is all.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I would like to put
-another question to you on the subject of the Commando Order.</p>
-
-<p class='pindent'>Did the Naval Operations Staff have any part in introducing this
-order?</p>
-
-<p class='pindent'>WAGNER: No, no part at all.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you, did the Naval
-Operations Staff have the possibility, either before or during the
-drafting of the order, of investigating the correctness of the particulars
-mentioned in Paragraph 1 of the order?</p>
-
-<p class='pindent'>WAGNER: No, such a possibility did not exist.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The treatment of a man
-who had attacked the <span class='it'>Tirpitz</span> with a two-man torpedo in October
-1942 has just been discussed here. Did you know that a year later,
-in the autumn of 1943, there was a renewed attack on the <span class='it'>Tirpitz</span>
-with two-man torpedoes, and that the British sailors who were
-captured at that time were treated in accordance with the Geneva
-Convention by the Navy, who had captured them?</p>
-
-<p class='pindent'>WAGNER: The second attack on the <span class='it'>Tirpitz</span> is known to me. I
-do not remember the treatment of the prisoners.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You mentioned that the
-Naval Operations Staff possibly received reports on the statements
-made by men of Commando units. From what aspect did those
-reports interest the Naval Operations Staff? Did operational
-questions interest you, or the personal fate of these people?</p>
-
-<p class='pindent'>WAGNER: Naturally we were interested in the tactical and
-operational problems so that we could gather experiences and draw
-our conclusions from them.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you actually remember
-seeing such a report?</p>
-
-<p class='pindent'>WAGNER: No.
-<span class='pageno' title='514' id='Page_514'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Just now a document was
-shown to you dealing with the treatment of a Commando unit captured
-in a Norwegian fjord. It is Number 526-PS. Do you still have
-that document?</p>
-
-<p class='pindent'>WAGNER: Possibly, some documents are still lying here.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you have a look at
-that document. I am having the document handed to you. In the
-third paragraph you will find a reference to the fact that this Commando
-unit was carrying 1,000 kilograms of explosives. Is that
-correct?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you understand my
-question?</p>
-
-<p class='pindent'>WAGNER: I answered “yes.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am sorry, I did not hear
-you.</p>
-
-<p class='pindent'>In the fifth paragraph you will find that the Commando unit had
-orders to carry out sabotage against strong points, battery positions,
-troop barracks, and bridges, and to organize a system for the purpose
-of further sabotage. Is that correct?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did these assignments
-have anything to do with the Navy?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you see any indication
-in the whole document which would suggest that the Navy
-had anything at all to do with the capture or the treatment of this
-Commando unit?</p>
-
-<p class='pindent'>WAGNER: No, the document does not contain an indication of
-that sort.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You were asked this
-morning about the case of the <span class='it'>Monte Corbea</span>. In connection with a
-court-martial ruling against the commander, the Commander-in-Chief
-of the Navy, Admiral Raeder, sent a wireless message at that
-time to all commanders. This radiogram is recorded in Document
-Dönitz-78 in the document book, Volume IV, Page 230. I shall read
-that wireless message to you:</p>
-
-<div class='blockquote'>
-
-<p>“The Commander-in-Chief of the Navy has personally and
-expressly renewed his instructions that all U-boat commanders
-must adhere strictly to the orders regarding the treatment
-of neutral ships. Any infringement of these orders has
-<span class='pageno' title='515' id='Page_515'></span>
-incalculable political consequences. This order is to be communicated
-to all commanders immediately.”</p>
-
-</div>
-
-<p class='pindent'>Do you see any suggestion here that the order is restricted to
-Spanish ships?</p>
-
-<p class='pindent'>WAGNER: No, there is no such suggestion in this order.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I submit to you a document
-which was used yesterday, D-807. It deals with notes to the
-Norwegian Government on the sinking of several steamers and
-contains the drafts of these notes of the High Command of the Navy.
-Does this document yield any indication at all that the notes were
-actually sent, or is it impossible to tell from the drafts that the
-notes themselves were ever dispatched?</p>
-
-<p class='pindent'>WAGNER: Since there are no initials or signatures on either of
-these letters; they may be drafts. At any rate, proof that they were
-actually sent is not apparent from this document.</p>
-
-<p class='pindent'>THE PRESIDENT: Did you give us the page number of it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It was submitted yesterday,
-Mr. President. It is not in any document book.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, I see.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I now read to you the
-first sentence from another document which was put to you yesterday.
-Its number is D-846 and it concerns a discussion with the
-German Minister to Denmark, Renthe-Fink, on 26 September 1939.
-I shall read the first sentence to you:</p>
-
-<div class='blockquote'>
-
-<p>“Sinking of Swedish and Finnish ships by our submarines
-have caused considerable concern here on account of the
-Danish food transports to Great Britain.”</p>
-
-</div>
-
-<p class='pindent'>Does this report give any indication that these sinkings took
-place without warning, or were these ships sunk because contraband
-was captured on them in the course of a legitimate search?</p>
-
-<p class='pindent'>WAGNER: The sentence which you have just read does not show
-how these ships were sunk. As far as I remember the document
-from yesterday, it does not contain any reference to the way in
-which these ships were sunk, so that it must be assumed as a matter
-of course that they were sunk in accordance with the Prize Ordinance.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You were asked yesterday
-whether you considered the German note to the neutral countries
-of 24 November 1939 a fair warning against entering certain
-waters and you answered the question in the affirmative. Is that
-right?</p>
-
-<p class='pindent'>WAGNER: Yes.
-<span class='pageno' title='516' id='Page_516'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And then you were asked
-whether we had deceived the neutrals, and you answered that
-question with “no.” Did this negative answer apply to the previous
-question on the warning against sailing in certain waters, or did it
-refer to all the political measures with regard to neutral states which
-the German Government took in order to conceal their own political
-intentions?</p>
-
-<p class='pindent'>WAGNER: The answer in that context referred to the previous
-questions which had been asked about warning the neutrals promptly
-of the measures which we adopted for the war at sea.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I want to make this point
-quite clear. Do you have any doubt whatever that the pretense of
-minefields in the operational zones around the British Coast served
-not only the purpose of deceiving the enemy defense, but also the
-political purpose of concealing from the neutrals the weapons which
-we employed in the war at sea?</p>
-
-<p class='pindent'>WAGNER: Yes, I expressly confirm this two-fold purpose.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The two-fold purpose of
-secrecy?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you have any doubt
-whatever that the German Government denied to neutral governments
-that certain ships were sunk by U-boats, although they had
-in fact been sunk by U-boats?</p>
-
-<p class='pindent'>WAGNER: Yes. Or rather, no. I have no doubt that the denials
-were formulated in that way, as a generally accepted political
-measure adopted wherever indicated.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yesterday you admitted
-the possibility that Admiral Dönitz, as Commander-in-Chief of
-U-boats, may have received knowledge from the Naval Operations
-Staff of the handling of political incidents caused by U-boats. Can
-you, after careful recollection, name a single instance when he did
-in fact receive from the SKL information on the political measures
-adopted?</p>
-
-<p class='pindent'>WAGNER: No, I do not remember such an instance.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have no further
-questions.</p>
-
-<p class='pindent'>DR. SIEMERS: Admiral, you have explained the basis of the
-Commando Order, as far as the Naval Operations Staff is concerned,
-by referring to Hitler’s definite assertions that he had in his
-possession enemy orders saying that prisoners were to be killed. In
-connection with this Commando Order Colonel Phillimore dealt
-<span class='pageno' title='517' id='Page_517'></span>
-with the case of the British sailor Evans in great detail. In my
-opinion that case has not so far been clarified. Colonel Phillimore
-spoke of the murder of a soldier. I think that in spite of the
-soundness of the documents the Prosecution is mistaken about the
-facts, also in a legal respect. Will you once more look at both documents,
-Document D-864...</p>
-
-<p class='pindent'>Mr. President, that is Exhibit GB-457, discussed by Colonel
-Phillimore this morning.</p>
-
-<p class='pindent'>This is an affidavit by Gerhard Flesch. The Prosecution quoted
-the sentence which states that the Commanding Admiral of the
-Northern Coast of Norway had interrogated Evans personally.
-Admiral Wagner, does that sentence show that Evans was a prisoner
-of the Navy?</p>
-
-<p class='pindent'>WAGNER: No.</p>
-
-<p class='pindent'>DR. SIEMERS: What was the situation according to the Flesch
-affidavit? Will you please clarify it?</p>
-
-<p class='pindent'>WAGNER: According to the second paragraph of that affidavit,
-Evans must have been in the hands of the SD.</p>
-
-<p class='pindent'>DR. SIEMERS: That is right.</p>
-
-<p class='pindent'>And, Mr. President, may I add that at the beginning of the
-affidavit Flesch states that he was the commander of the Security
-Police. The Security Police had captured Evans; he was therefore
-a prisoner of the SD.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Is it correct, therefore, that the British
-sailor Evans was available to the German admiral in Norway for
-the sole purpose of being interrogated?</p>
-
-<p class='pindent'>WAGNER: Undoubtedly.</p>
-
-<p class='pindent'>DR. SIEMERS: And the admiral was interested in interrogating
-him merely to obtain purely factual information on the attack on
-the <span class='it'>Tirpitz</span>. Is that correct?</p>
-
-<p class='pindent'>WAGNER: Quite correct.</p>
-
-<p class='pindent'>DR. SIEMERS: May I ask you to look at the next paragraph of
-the Affidavit D-864? There it mentions Evans’ clothes, and says:</p>
-
-<p class='pindent'>“It is not known to me that Evans wore a uniform. As far as
-I can remember, he was wearing blue overalls.”</p>
-
-<p class='pindent'>Does this mean that Evans was not recognizable as a soldier?</p>
-
-<p class='pindent'>WAGNER: No, probably not.</p>
-
-<p class='pindent'>DR. SIEMERS: Will you now pass on to the Document UK-57
-submitted by Colonel Phillimore?</p>
-
-<p class='pindent'>Mr. President, this is Exhibit GB-164 and should be in the original
-Document Book Keitel, but I think it was newly submitted today.
-<span class='pageno' title='518' id='Page_518'></span></p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] You have a photostat copy, have you
-not?</p>
-
-<p class='pindent'>WAGNER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Will you, please, turn to the fourth page. First,
-a question: Is it possible that this document was known to the Naval
-Operations Staff? Does the document indicate that it was sent to
-the Naval Operations Staff?</p>
-
-<p class='pindent'>WAGNER: These are informal conference notes of the OKW
-which were apparently not sent to the Naval Operations Staff.</p>
-
-<p class='pindent'>DR. SIEMERS: If I understand it correctly then, this is a document
-of the Intelligence Service of the OKW, is it not?</p>
-
-<p class='pindent'>WAGNER: Yes. That is correct.</p>
-
-<p class='pindent'>DR. SIEMERS: Under Figure 2 it says “attempted attack on the
-battleship <span class='it'>Tirpitz</span>.” The first part was read by Colonel Phillimore:</p>
-
-<div class='blockquote'>
-
-<p>“Three Englishmen and two Norwegians were held up at the
-Swedish frontier.”</p>
-
-</div>
-
-<p class='pindent'>Can one, on the strength of this, say that they were presumably
-apprehended by the Police and not by the Wehrmacht?</p>
-
-<p class='pindent'>WAGNER: Presumably, yes. Certainly not by the Navy; but
-probably by the Police, who controlled the frontiers, so far as
-I know.</p>
-
-<p class='pindent'>DR. SIEMERS: Do you not think, Admiral, that this is not only
-probable but certain if you think back to the affidavit of 14 November
-1945 by Flesch, the commander of the Security Police, who
-brought Evans from the frontier to Oslo?</p>
-
-<p class='pindent'>WAGNER: If you take the two together, then in my opinion it is
-certain; I do not think there is any doubt about it.</p>
-
-<p class='pindent'>DR. SIEMERS: Will you then look at the following sentence?</p>
-
-<p class='pindent'>Mr. President, that is under Figure 2, the last sentence of the
-first paragraph. I quote:</p>
-
-<div class='blockquote'>
-
-<p>“It was possible to take only the civilian-clothed British sailor
-Robert Paul Evans”—born on such and such a date—“into
-arrest. The others escaped into Sweden.”</p>
-
-</div>
-
-<p class='pindent'>Therefore, I think we may assume with certainty that Evans was
-not recognizable as a soldier.</p>
-
-<p class='pindent'>WAGNER: Yes, no doubt.</p>
-
-<p class='pindent'>DR. SIEMERS: Then, will you look at the following sentence.
-There it says—I quote:</p>
-
-<div class='blockquote'>
-
-<p>“Evans had a pistol holster used for carrying weapons under
-the arm-pit, and he had a knuckle duster.”</p>
-
-</div>
-
-<p class='pindent'><span class='pageno' title='519' id='Page_519'></span></p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, it says nothing about
-civilian clothes in the English copy. I do not want to make a bad
-point, but it is not in my copy.</p>
-
-<p class='pindent'>THE PRESIDENT: I am afraid I do not have the document
-before me.</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, the English copy that
-I have simply has, “However, only the British seaman, Robert Paul
-Evans, born 14 January 1922, at London, could be arrested. The
-others escaped into Sweden.”</p>
-
-<p class='pindent'>My Lord, I think it can be checked afterwards.</p>
-
-<p class='pindent'>THE PRESIDENT: Exact reference to the document?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: My Lord, that was Document
-UK-57, and it is a report of the OKW, Office for Ausland Abwehr,
-of 4 January 1944.</p>
-
-<p class='pindent'>THE PRESIDENT: Did Colonel Phillimore put it in this morning?</p>
-
-<p class='pindent'>SIR DAVID MAXWELL-FYFE: I put it in, My Lord, I think it
-was—certainly in cross-examining the Defendant Keitel. It has been
-in before, My Lord.</p>
-
-<p class='pindent'>THE PRESIDENT: I see, it has already been put in with this lot.</p>
-
-<p class='pindent'>DR. SIEMERS: I should be grateful to the Tribunal if the mistake
-were rectified in the English translation. In the German original
-text the photostat copy is included, therefore the wording “civilian-clothed”
-must be correct.</p>
-
-<p class='pindent'>Witness, we were discussing the sentence—I quote:</p>
-
-<div class='blockquote'>
-
-<p>“Evans had a pistol holster used for carrying weapons under
-the arm-pit, and he had a knuckle duster.”</p>
-
-</div>
-
-<p class='pindent'>How does this bear on the fact that he was wearing civilian
-clothes?</p>
-
-<p class='pindent'>WAGNER: It shows that he...</p>
-
-<p class='pindent'>DR. SIEMERS: Sir David would like me to read the next sentence
-too:</p>
-
-<div class='blockquote'>
-
-<p>“Acts of force contrary to international law could not be
-proved against him. Evans made detailed statements regarding
-the action and, on 19 January 1943, in accordance with the
-Führer Order, he was shot.”</p>
-
-</div>
-
-<p class='pindent'>How does this bear on the fact that he was wearing civilian
-clothes? Does this show that he did not act as a soldier in enemy
-territory should act?</p>
-
-<p class='pindent'>THE PRESIDENT: Just a moment. The Tribunal considers that
-that is a question of law which the Tribunal has got to decide, and
-not a question for the witness.
-<span class='pageno' title='520' id='Page_520'></span></p>
-
-<p class='pindent'>DR. SIEMERS: Then I shall forego the answer.</p>
-
-<p class='pindent'>May I ask you to turn to the next page of the document and to
-come back to the Bordeaux case, a similar case which has already
-been discussed. You have already explained the Bordeaux case
-insofar as you said that the Naval Operations Staff was not informed
-about it. I now draw your attention to the sentence at the bottom
-of Page 3:</p>
-
-<div class='blockquote'>
-
-<p>“After carrying out the explosions, they sank the boats and
-tried, with the help of the French civilian population, to escape
-into Spain.”</p>
-
-</div>
-
-<p class='pindent'>Thus did the men concerned in this operation also not act like
-soldiers?</p>
-
-<p class='pindent'>WAGNER: That, according to this document, is perfectly clear.</p>
-
-<p class='pindent'>DR. SIEMERS: Thank you. And now one last question. At the
-end of his examination Colonel Phillimore asked you whether you
-considered Grossadmiral Raeder and Grossadmiral Dönitz guilty in
-the cases which have just been discussed, guilty of these murders as
-he termed them? Now that I have further clarified these cases I
-should like you to answer the question again.</p>
-
-<p class='pindent'>WAGNER: I consider that both admirals are not guilty in these
-two cases.</p>
-
-<p class='pindent'>DR. SIEMERS: I have no further questions.</p>
-
-<p class='pindent'>DR. LATERNSER: Admiral, during cross-examination you explained
-your views on the Commando Order. I wanted to ask you:
-Were your views possibly based on the assumption that the order
-was examined by a superior authority as to its justification before
-international law?</p>
-
-<p class='pindent'>WAGNER: Yes. I assumed that the justification for the order was
-examined by my superiors.</p>
-
-<p class='pindent'>DR. LATERNSER: Furthermore, during cross-examination you
-stated your conception of what happened when a man was handed
-over to the SD. I wanted to ask you: Did you have this conception
-already at that time, or has it taken form now that a great deal of
-material has become known to you?</p>
-
-<p class='pindent'>WAGNER: There is no question that this conception was considerably
-influenced by knowledge of a great deal of material.</p>
-
-<p class='pindent'>DR. LATERNSER: You did not, therefore, at that time have the
-definite conception that the handing over of a man to the SD meant
-certain death?</p>
-
-<p class='pindent'>WAGNER: No, I did not have that conception.</p>
-
-<p class='pindent'>DR. LATERNSER: Now, a few questions regarding the equipment
-of the Commando units. Do you not know that automatic arms were
-<span class='pageno' title='521' id='Page_521'></span>
-found on some members of these units and that, in particular, pistols
-were carried in such a manner that if, in the event of capture, the
-man raised his arms, that movement would automatically cause a
-shot to be fired which would hit the person standing opposite the
-man with raised arms? Do you know anything about that?</p>
-
-<p class='pindent'>WAGNER: I have heard of it.</p>
-
-<p class='pindent'>DR. LATERNSER: Did you not see pictures of it?</p>
-
-<p class='pindent'>WAGNER: At the moment I cannot remember seeing such
-pictures.</p>
-
-<p class='pindent'>DR. LATERNSER: Did the Germans also undertake sabotage
-operations in enemy countries?</p>
-
-<p class='pindent'>THE PRESIDENT: What has it got to do with that, Dr. Laternser?</p>
-
-<p class='pindent'>DR. LATERNSER: I wanted to ascertain by means of this
-question whether the witness had knowledge of German sabotage
-operations, and furthermore, whether he had received reports
-about the treatment of such sabotage units.</p>
-
-<p class='pindent'>THE PRESIDENT: That is the very thing which we have already
-ruled cannot be put.</p>
-
-<p class='pindent'>You are not suggesting that these actions were taken by way
-of reprisal for the way in which German sabotage units were
-treated? We are not trying whether any other powers have committed
-breaches of international law, or crimes against humanity,
-or war crimes; we are trying whether these defendants have.</p>
-
-<p class='pindent'>The Tribunal has ruled that such questions cannot be put.</p>
-
-<p class='pindent'>DR. LATERNSER: Mr. President, I do not know what answer
-the witness is going to give. I merely wanted, in case, which I
-do not know...</p>
-
-<p class='pindent'>THE PRESIDENT: We wanted to know why you were putting
-the question. You said you were putting the question in order
-to ascertain whether German sabotage units had been treated in
-a way which was contrary to international law, or words to that
-effect, and that is a matter which is irrelevant.</p>
-
-<p class='pindent'>DR. LATERNSER: But, Mr. President, it would show at least
-that doubt existed about the interpretation of international law
-with regard to such operations and that would be of importance
-for the application of the law.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal rules that the question is
-inadmissible.</p>
-
-<p class='pindent'>DR. LATERNSER: Witness, you also stated during your cross-examination
-that until 1944 you were chief of the Operational
-<span class='pageno' title='522' id='Page_522'></span>
-Department of the Naval Operations Staff. Can you give information
-on whether there were strong German naval forces or
-naval transport ships in the Black Sea?</p>
-
-<p class='pindent'>WAGNER: The strength of naval forces and transport ships in
-the Black Sea was very slight.</p>
-
-<p class='pindent'>DR. LATERNSER: For what were they mostly needed?</p>
-
-<p class='pindent'>WAGNER: For our own replacements and their protection.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Laternser, how does this arise out of
-the cross-examination? You are re-examining now, and you are
-only entitled to ask questions which arise out of the cross-examination.
-There have been no questions put with reference to the
-Black Sea.</p>
-
-<p class='pindent'>DR. LATERNSER: Mr. President, I learned during the examination
-that for a long time the witness was chief of the Operational
-Department; and I concluded that he was one of the few witnesses
-who could give me information regarding the facts of a very serious
-accusation raised by the Russian Prosecution, namely, the accusation
-that 144,000 people had been loaded on to German ships, that
-at Sebastopol those ships had gone to sea and had then been blown
-up, and that the prisoners of war on the ships were drowned. The
-witness could clarify this matter to some extent.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Laternser, you knew, directly this witness
-began his evidence, what his position was; and you, therefore,
-could have cross-examined him yourself at the proper time. You
-are now re-examining; you are only entitled—because we cannot
-have the time of the Court wasted—you are only entitled to ask
-him questions which arise out of the cross-examination. In the
-opinion of the Tribunal this question does not arise out of the
-cross-examination.</p>
-
-<p class='pindent'>DR. LATERNSER: Mr. President, please, would you, as an exception,
-admit this question?</p>
-
-<p class='pindent'>THE PRESIDENT: No, Dr. Laternser, the Tribunal has given
-you a great latitude and we cannot continue to do so.</p>
-
-<p class='pindent'>The Tribunal will now adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='523' id='Page_523'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>THE PRESIDENT: You have finished, have you not, Dr. Kranzbühler,
-with this witness?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness can retire.</p>
-
-<p class='pindent'>[<span class='it'>The witness left the stand.</span>]</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And now I should like
-to call my next witness, Admiral Godt.</p>
-
-<p class='pindent'>[<span class='it'>The witness Godt took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name?</p>
-
-<p class='pindent'>EBERHARD GODT (Witness): My name is Eberhard Godt.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath.</span>]</p>
-
-<p class='pindent'>You may sit down.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral Godt, when did
-you enter the Navy as an officer cadet?</p>
-
-<p class='pindent'>GODT: On 1 July, 1918.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How long have you been
-working with Admiral Dönitz, and in what position?</p>
-
-<p class='pindent'>GODT: Since January 1938; first of all as First Naval Staff Officer
-attached to the Commander, U-boats, and immediately after the
-beginning of the war as Chief of the Operations Department.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Chief of the Operations
-Department with the Chief of Submarines?</p>
-
-<p class='pindent'>GODT: Yes, attached to the Chief of Submarines, later Flag
-Officer, U-boats.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you collaborate since
-1938 in the drafting of all operational orders worked out by the
-staff of the Flag Officer, U-boats?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How many officers were
-on this staff at the beginning of the war?</p>
-
-<p class='pindent'>GODT: At the beginning of the war there were four officers, one
-chief engineer, and two administrative officers on that staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I shall now show you
-Document GB-83 of the Prosecution’s document book Page 16, which
-<span class='pageno' title='524' id='Page_524'></span>
-is a letter from Commander U-boats, dated 9 October 1939. It refers
-to bases in Norway. How did this letter originate?</p>
-
-<p class='pindent'>GODT: At that time I was visiting the Naval Operations Staff
-in Berlin on other business. On the occasion of that visit I was
-asked whether Commander, U-boats, was interested in bases in Norway
-and what demands should be made in that connection.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were you informed how
-those bases in Norway were to be secured for the use of the German
-Navy?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution has
-quoted an extract from the War Diary of the Naval Operations
-Staff dating from the same period.</p>
-
-<p class='pindent'>Mr. President, I am thinking of the extract reproduced on Page 15
-of the document book.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] That extract contains four questions.
-Questions (a) and (d) deal with technical details regarding bases
-in Norway, whereas (b) and (c) deal with the possibility of obtaining
-such bases against the will of the Norwegians, and the question
-of defending them.</p>
-
-<p class='pindent'>Which of these questions was put to you?</p>
-
-<p class='pindent'>GODT: May I ask you to repeat the questions in detail first
-of all.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The first question is:
-Which places in Norway can be considered for bases?</p>
-
-<p class='pindent'>GODT: That question was put.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you show me from
-the letter from Commander, U-boats, whether the question was
-answered and where it is answered?</p>
-
-<p class='pindent'>GODT: The question was answered under Number 1 (c) at
-the end of Number 1.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: There it says, “Trondheim
-or Narvik are possible places.”</p>
-
-<p class='pindent'>GODT: Yes, that is right.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Question Number 2 is:
-“If it is impossible to obtain bases without fighting, can it be done
-against the will of the Norwegians by the use of military force?”
-Was that question put?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you tell me if the
-question was answered in the letter from Commander, U-boats?
-<span class='pageno' title='525' id='Page_525'></span></p>
-
-<p class='pindent'>GODT: This question was not answered.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The third question is:
-“What are the possibilities of defense after occupation?” Was that
-question put to you?</p>
-
-<p class='pindent'>GODT: No, that question was not put.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Is it replied to in the
-letter?</p>
-
-<p class='pindent'>GODT: III-d refers to the necessity of adopting defense measures.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Is that reference connected
-with the fourth question I put to you now: “Will the harbors
-have to be developed to the fullest extent as bases, or do they
-already offer decisive advantages as possible supply points?”</p>
-
-<p class='pindent'>GODT: These two questions are not connected.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was that fourth question
-put to you?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was it answered?</p>
-
-<p class='pindent'>GODT: Not in this letter.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What is the significance
-of the figures II and III? Do they not answer the question of
-whether these ports must be developed as bases or whether they
-can be used just as supply points?</p>
-
-<p class='pindent'>GODT: They indicate what was thought necessary in order to
-develop them to the fullest extent as bases.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you please read the
-last sentence of the document? There it says, “Establishment of
-a fuel supply point in Narvik as an alternative supply point.” Is
-that not a reply to the question asking whether a supply point
-is enough?</p>
-
-<p class='pindent'>GODT: Yes; I had overlooked that sentence.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can I sum up, therefore,
-by saying that the first and fourth questions were put to you
-and answered by you, whereas questions 2 and 3 were not put to
-you and not answered by you?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In the War Diary of the
-Naval Operations Staff there is a note which says, “Commander,
-U-boats, considers such ports extremely valuable even as temporary
-supply and equipment bases for Atlantic U-boats.” Does that note
-mean that Admiral Dönitz was working on this question before
-your visit to Berlin? Or what was the reason for the note?
-<span class='pageno' title='526' id='Page_526'></span></p>
-
-<p class='pindent'>GODT: That was my own opinion, which I was entitled to give
-in my capacity as Chief of the Operations Department.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was that the first time
-that plans for bases were brought to your notice?</p>
-
-<p class='pindent'>GODT: No. We had been considering the question of whether
-the supply position for U-boats could be improved by using ships—in
-Iceland, for instance.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were these considerations
-in any way connected with the question whether one ought to start
-a war against the country concerned?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I shall now show you
-Document GB-91. This appears on Page 18 of the Prosecution’s
-document book. It is an operational order issued by Commander,
-U-boats, on 30 March 1940 and dealing with the Norwegian enterprise.
-Is it true, that this is your operational order?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How many days before
-the beginning of the Norwegian action was that order released?</p>
-
-<p class='pindent'>GODT: Approximately ten days.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Paragraph II, Section 5,
-contains the following sentence: “While entering the harbor and
-until the troops have been landed, the naval forces will probably
-fly the British naval ensign, except in Narvik.” Is that an
-order given by Commander, U-boats, to the submarines under
-his command?</p>
-
-<p class='pindent'>GODT: No. That passage appears under the heading: “Information
-on our own combat forces.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what is the meaning
-of this allusion?</p>
-
-<p class='pindent'>GODT: It means that U-boats were informed that in certain
-circumstances our own naval units might fly other flags.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Why was that necessary?</p>
-
-<p class='pindent'>GODT: It was necessary so as to prevent possible mistakes in
-identity.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Are there any other
-references to mistakes in identity in this order?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Where?</p>
-
-<p class='pindent'>GODT: In Paragraph IV, Section 5.
-<span class='pageno' title='527' id='Page_527'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you please read it?</p>
-
-<p class='pindent'>GODT: There it says, “Beware of confusing our own units with
-enemy forces.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Only that sentence. Did
-this order instruct U-boats to attack Norwegian forces?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you please indicate
-what the order says about that?</p>
-
-<p class='pindent'>GODT: IV, a2 states, “Only enemy naval forces and troop
-transports are to be attacked.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What was meant by
-“enemy” forces?</p>
-
-<p class='pindent'>GODT: “Enemy” forces were British, French, and Russian—no,
-not Russian. It goes on: “No action is to be taken against Norwegian
-and Danish forces unless they attack our own forces.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you please look at
-Paragraph VI-c?</p>
-
-<p class='pindent'>GODT: Paragraph VI says: “Steamers may only be attacked
-when they have been identified beyond doubt as enemy steamers
-and as troop transports.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was Commander, U-boats,
-informed of the political action taken with regard to incidents
-caused by submarines?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In what way?</p>
-
-<p class='pindent'>GODT: U-boats had orders to report immediately by wireless
-in the case of incidents, and to supplement the report later.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I do not think you quite
-understood my question. I asked you, was Commander, U-boats,
-informed as to how an incident caused by a submarine would
-later on be settled with a neutral government?</p>
-
-<p class='pindent'>GODT: No, not as a rule.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you remember any
-individual case where he was informed?</p>
-
-<p class='pindent'>GODT: I remember the case of the Spanish steamer <span class='it'>Monte
-Corbea</span>. Later on I learned that Spain had been promised reparations.
-I cannot remember now whether I received the information
-through official channels or whether I just heard it accidentally.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should now like to
-establish the dates of certain orders which I have already presented
-to the Tribunal. I shall show you Standing Order Number 171,
-<span class='pageno' title='528' id='Page_528'></span>
-which is on Page 159 of Volume III of the document book. What
-is the date on which that order was issued?</p>
-
-<p class='pindent'>GODT: I shall have to look at it first.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Please do.</p>
-
-<p class='pindent'>GODT: That order must have originated in the winter of
-1939-1940. Probably 1939.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: On what do you base
-that conclusion?</p>
-
-<p class='pindent'>GODT: I base it on the reference made in 4a to equipment for
-depth charges. This was taken for granted at a later stage. I also
-gather it from the reference made in 5b to the shifting of masts
-and colored lights, something which was formulated then for
-the first time.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you tell us the exact
-month in 1939?</p>
-
-<p class='pindent'>GODT: I assume that it was November.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am now going to show
-you another order, Standing War Order Number 122. It appears
-on Page 226 in Volume IV of my document book. Up to now all
-we know is that this order was issued before May 1940. Can you
-give us a more exact date?</p>
-
-<p class='pindent'>GODT: This order must have been issued about the same time
-as the first, that is to say, about November 1939.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Thank you. How was
-the conduct of U-boat warfare by Commander, U-boats, organized
-in practice? Will you explain that to us?</p>
-
-<p class='pindent'>GODT: All orders based on questions of international law, <span class='it'>et
-cetera</span>, originated with the Naval Operations Staff. The Naval
-Operations Staff also reserved for itself the right to determine the
-locality of the center of operations—for instance, the distribution
-of U-boats in the Atlantic Theater, the Mediterranean Theater, and
-the North Sea Theater. Within these various: areas U-boat operations
-were, generally speaking, entirely at the discretion of Commander,
-U-boats.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were the standing orders
-for U-boats given verbally or in writing?</p>
-
-<p class='pindent'>GODT: In writing.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were there not verbal
-orders as well?</p>
-
-<p class='pindent'>GODT: Verbal instructions personally issued by Commander,
-U-boats, played a special part and amounted to personal influence
-<span class='pageno' title='529' id='Page_529'></span>
-on commanders, as well as to explanations of the contents of written
-orders.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: On what occasions was
-that personal influence exerted?</p>
-
-<p class='pindent'>GODT: Particularly when reports were being made by the
-commanders after each action. There must have been very few
-commanders who did not make a personal and detailed report to
-Commander, U-boats, after an action.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was it possible for written
-orders to be changed in the course of verbal transmission, or
-even twisted to mean the opposite?</p>
-
-<p class='pindent'>GODT: Such a possibility might have existed, but it never
-actually happened.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When they made these
-verbal reports, could the commanders risk expressing opinions
-which were not those of Commander, U-boats?</p>
-
-<p class='pindent'>GODT: Absolutely. Commander, U-boats, even asked his commanders
-in so many words to give him their personal opinions
-in every case, so that he could maintain direct personal contact
-with them and thus remain in close touch with events on the front,
-so that he could put matters right, where necessary.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was this personal contact
-used for the verbal transmission of shady orders?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution holds
-that an order—apparently a verbal order—existed, prohibiting the
-entry in the log of measures considered dubious or unjustifiable
-from the point of view of international law. Did such a general
-order exist?</p>
-
-<p class='pindent'>GODT: No; there was no general order. In certain individual
-cases—I can remember two—an order was given to omit certain
-matters from the log.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Which cases do you
-remember?</p>
-
-<p class='pindent'>GODT: The first was the case of the <span class='it'>Athenia</span>; and the second
-was the sinking of a German boat, which was coming from Japan
-through the blockade, by a German submarine.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Before I ask you to give
-me details of that, I should like to know the reason for omitting
-such matters from the log.</p>
-
-<p class='pindent'>GODT: It was done for reasons of secrecy. U-boat logs were
-seen by a great many people: First, in the training stations of the
-<span class='pageno' title='530' id='Page_530'></span>
-U-boat service itself; and, secondly, in numerous offices of the
-High Command. Special attention had therefore to be paid to
-secrecy.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How many copies of each
-U-boat war log were made?</p>
-
-<p class='pindent'>GODT: I should say six to eight copies.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the omission of such
-an item from the log mean that all documentary evidence was
-destroyed in every office; or did certain offices keep these documents?</p>
-
-<p class='pindent'>GODT: These records were received by Commander, U-boats,
-and probably by the Naval Operations Staff as well.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was there a standing
-war order prescribing treatment of incidents?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What were the contents?</p>
-
-<p class='pindent'>GODT: It stated that incidents must be reported immediately
-by wireless and that a supplementary report must be made later,
-either in writing or by word of mouth.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Does this standing order
-contain any allusion to the omission of such incidents from the log?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you please tell me
-now how this alteration was made in the log in the case of the
-<span class='it'>Athenia</span>?</p>
-
-<p class='pindent'>GODT: In the case of the <span class='it'>Athenia</span> Oberleutnant Lemp reported
-on returning that he had torpedoed this ship, assuming it to be
-an auxiliary cruiser. I cannot now tell you exactly whether this
-was the first time I realized that such a possibility existed or
-whether the idea that this might possibly have been torpedoed
-by a German submarine had already been taken into consideration.
-Lemp was sent to Berlin to make a report and absolute
-secrecy was ordered with regard to the case.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: By whom?</p>
-
-<p class='pindent'>GODT: By the Naval Operations Staff, after a temporary order
-had been issued in our department. I ordered the fact to be erased
-from the war log of the U-boat.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And that, of course, was
-on the orders of Admiral Dönitz?</p>
-
-<p class='pindent'>GODT: Yes, or I ordered it on his instructions.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you participate in
-the further handling of this incident?
-<span class='pageno' title='531' id='Page_531'></span></p>
-
-<p class='pindent'>GODT: Only with regard to the question of whether Lemp
-should be punished. As far as I remember, Commander, U-boats,
-took only disciplinary action against him because it was in his
-favor that the incident occurred during the first few hours of the
-war, and it was held that in his excitement he had not investigated
-the character of the ship as carefully as he might have done.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did I understand you
-correctly as saying that the detailed documentary evidence in connection
-with the sinking of the <span class='it'>Athenia</span> was retained by both
-Commander, U-boats, and, you believe, the Naval Operations Staff?</p>
-
-<p class='pindent'>GODT: I can say that with certainty only as far as Commander,
-U-boats, is concerned. That is what happened in this case.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You mentioned a second
-case just now where a log book had been altered. Which case
-was that?</p>
-
-<p class='pindent'>GODT: That incident was as follows: A German blockade
-breaker, that is to say, a merchant vessel on its way back from
-Japan, was accidentally torpedoed by a German submarine and
-sunk in the North Atlantic. This fact was omitted from the log.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: So it was only a question
-of keeping matters secret from German offices?</p>
-
-<p class='pindent'>GODT: Yes. The British learned the facts from lifeboats as far
-as I know; and these facts were to be concealed from the crews
-of other blockade-breaking vessels.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Documents submitted to
-the Tribunal by the Defense show that until the autumn of 1942,
-German U-boats took steps to rescue crews as far as was possible
-without prejudicing the U-boat’s safety and without interfering
-with their own assignment. Does this agree with your own experiences?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should now like to put
-a few questions to you regarding the so-called <span class='it'>Laconia</span> order which
-still require clarification. I refer to Document GB-199. As you
-know, the Prosecution calls this order an order to kill survivors.
-Who formulated this order?</p>
-
-<p class='pindent'>THE PRESIDENT: Where is it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: It is the document book
-of the Prosecution on Page 36, Mr. President.</p>
-
-<p class='pindent'>GODT: I cannot now tell you that for certain. Generally speaking,
-such an order was discussed by Commander, U-boats, the
-First Naval Staff Officer, and myself; Commander, U-boats, decided
-<span class='pageno' title='532' id='Page_532'></span>
-on the general terms of the order and then it was formulated by
-one of us. It is quite possible that I myself worded the order.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: But, at any rate, Admiral
-Dönitz signed it, did he not?</p>
-
-<p class='pindent'>GODT: He must have; yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral Dönitz thought
-that he remembered that you and Captain Hessler were opposed
-to this order. Can you remember this, too; and if so, why were
-you against it?</p>
-
-<p class='pindent'>GODT: I do not remember that.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What was the meaning
-of the order?</p>
-
-<p class='pindent'>GODT: The meaning of the order is plain. It prohibited attempts
-at rescue.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Why was that not forbidden
-by a reference to Standing War Order Number 154, which
-was issued in the winter of 1939-40?</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, surely a written order must
-speak for itself. Unless there is some colloquial meaning in a particular
-word used in the order, the order must be interpreted
-according to the ordinary meaning of the words.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I was not proposing to
-go into the question any further, Mr. President.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] I should like to repeat my last question.
-Why, instead of issuing a new order, did they not simply refer
-commanders to Standing War Order Number 154, which was issued
-in the winter of 1939-40?</p>
-
-<p class='pindent'>I refer, Mr. President, to Document GB-196, on Page 33 of the
-Prosecution’s document book.</p>
-
-<p class='pindent'>You remember that order, don’t you. I have shown it to you.</p>
-
-<p class='pindent'>GODT: Yes, I do. That order had already been canceled when
-the so-called <span class='it'>Laconia</span> order was issued. Apart from that, a mere
-reference to an order already issued would have lacked the character
-of actuality which orders should have.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you mean by that
-that your staff, as a matter of principle, did not issue orders by
-references to earlier orders?</p>
-
-<p class='pindent'>GODT: That was avoided, whenever possible; that is to say,
-almost always.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you explain to me
-why that order was issued as “top secret”?
-<span class='pageno' title='533' id='Page_533'></span></p>
-
-<p class='pindent'>GODT: The order appeared after an operation in which we
-nearly lost two boats, and contained a severe reprimand for the
-commanders concerned. It was not customary for us to put such
-a reprimand in a form accessible to any one except the commanders
-and all the officers.</p>
-
-<p class='pindent'>THE PRESIDENT: Which is the severe reprimand?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you please explain
-of what this severe reprimand for the commander consisted?</p>
-
-<p class='pindent'>GODT: It is understandable in the light of previous events—namely,
-those very things which it forbids. It is largely contained
-in the sentence beginning: “Rescue is against the most elementary
-demands” and it is also implied by the harshness, whereby the commander
-is reproached with being softhearted.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Does this mean that the
-commanders were accused of having endangered their boats too
-much in connection with the rescue action of the <span class='it'>Laconia</span> and of
-acting in a manner which was not in accordance with the dictates
-of war?</p>
-
-<p class='pindent'>GODT: Yes, and that after having been repeatedly reminded
-during the action of the necessity for acting in a manner in accordance
-with the dictates of war.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You were interrogated
-on this order after the capitulation, as you told me; but you could
-not at the moment remember its exact wording. How was it possible
-for you not to remember this order?</p>
-
-<p class='pindent'>GODT: There were certain orders which had to be kept in collective
-files and which one therefore saw very frequently. This
-order was not one of them, but was filed separately after being
-dealt with. After it had been issued I never saw it again until the
-end of the war.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What did an order intended
-for inclusion in such a collection look like on the outside?</p>
-
-<p class='pindent'>GODT: It had to be a “Current Order” or an “Admonition
-Message.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did that occur in the
-text of the order concerned?</p>
-
-<p class='pindent'>GODT: It would be in the heading of the order concerned. That
-is not the case here.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: So we may conclude
-from the fact that this wireless message is not headed either “Admonition
-Message” or “Current Order” that it did not belong to
-a collection of orders?
-<span class='pageno' title='534' id='Page_534'></span></p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: But then, how is it possible
-that Korvettenkapitän Möhle gave lectures on this order
-apparently until the end of the war?</p>
-
-<p class='pindent'>GODT: Korvettenkapitän Möhle had access to all wireless messages
-issued by Commander, U-boats. He was entitled to select
-from these signals anything he thought necessary for the instruction
-of commanders about to go to sea. It made no difference
-whether the order was marked “Admonition” or “Current Order.”
-He had obviously taken out this message and had had it among the
-material to be used for these instructions to the commanders.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Möhle ever ask you
-about the interpretation of that order?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you ever hear of
-any other source interpreting this order to mean that survivors
-were to be shot?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you judge from
-your own experience whether this order had, or could have had,
-any effect practically on Allied naval losses?</p>
-
-<p class='pindent'>GODT: That is very difficult to judge. At that time something
-like 80 percent of all U-boat attacks were probably carried out
-under conditions which made any attempt at rescue impossible.
-That is to say, these attacks were made on convoys or on vessels
-in close proximity to the coast.</p>
-
-<p class='pindent'>The fact that some 12 captains and engineers were brought back
-as prisoners by U-boats is an indication of what happened in the
-other cases. It is difficult to say with any degree of certainty
-whether it was possible to take rescue measures in all cases. The
-situation was probably such that the Allied sailors felt safer in the
-lifeboats than they did, for instance, aboard the U-boat and probably
-were glad to see the U-boat vanish after the attack. The fact that
-the presence of the U-boat involved danger to itself is proved by
-this same case of the <span class='it'>Laconia</span>, where two U-boats were attacked
-from the air while engaged in rescuing the survivors.</p>
-
-<p class='pindent'>I do not think it is at all certain that this order had any effect
-one way or the other.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What do you mean “one
-way or the other”?</p>
-
-<p class='pindent'>GODT: I mean whether it meant an increase or a decrease in
-the number of losses among enemy seamen.
-<span class='pageno' title='535' id='Page_535'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: There is one argument
-I did not quite understand. You pointed to the fact that approximately
-12 captains and chief engineers were made prisoner after
-this order was issued. Do you mean by that that only in these few
-cases was it possible, without endangering the submarine, to carry
-out the order to transfer such officers from the lifeboats?</p>
-
-<p class='pindent'>GODT: It is too much to say that it was only possible in these
-few cases, but it does afford some indication of the number of cases
-in which it was possible.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I shall now show you the
-wireless message which went to Kapitänleutnant Schacht. It is on
-Page 36 of the Prosecution’s document book. This message, too,
-was sent as “top secret.” What was the reason for that?</p>
-
-<p class='pindent'>GODT: It is a definite and severe reprimand for the commander.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How far was that reprimand
-justified? Schacht had not received previous instruction to
-rescue Italians only?</p>
-
-<p class='pindent'>GODT: No, but it had been assumed that U-boats would realize
-that it was of primary importance that allies should be rescued,
-that is, that they should not become prisoners of war. Apart from
-that, several reminders had been issued in the course of operations
-warning commanders to be particularly careful. After that came
-Schacht’s report, which appeared at the time to indicate that he had
-disobeyed orders. Viewed retrospectively, Schacht’s action must
-have taken place before Commander, U-boats, issued the order in
-question, so that in part at least, the accusation was unjustified.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were any further rescue
-measures carried out by U-boats after this order was issued in September
-1942?</p>
-
-<p class='pindent'>GODT: In isolated cases, yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Commander, U-boats,
-object to these rescues?</p>
-
-<p class='pindent'>GODT: I have no recollection of that.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: To your knowledge, did
-German U-boats deliberately kill survivors?</p>
-
-<p class='pindent'>GODT: The only case I know of—and I heard of it after the
-capitulation—is that of Kapitänleutnant Eck. We heard an enemy
-broadcast which hinted at these happenings, but we were unable
-to draw any conclusions from that.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I now hand to you the
-Prosecution’s Exhibit GB-203, which is regarded by the Prosecution
-as proof of the shooting of survivors. This is the war log of <span class='it'>U-247</span>
-<span class='pageno' title='536' id='Page_536'></span>
-from which I mimeographed an extract on Page 74 of Volume II
-of my document book. This extract describes an attack made by
-the U-boat on a British trawler. You have already seen this war
-log. After his return, did the commander make a report on this
-action?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did he report anything
-about the shooting of survivors on that occasion?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: According to a statement
-made by a survivor named McAllister this trawler, the <span class='it'>Noreen
-Mary</span>, had a gun aboard. Do you know whether trawlers had guns
-mounted fore or aft?</p>
-
-<p class='pindent'>GODT: They were almost always in the bows.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Can you remember, with
-the help of this extract from the war log and on the strength of
-your own recollection of the commander’s report, the exact details
-of this incident?</p>
-
-<p class='pindent'>GODT: Originally the U-boat when submerged encountered a
-number of vessels escorting trawlers close to Cape Wrath. It tried
-to torpedo one of the trawlers.</p>
-
-<p class='pindent'>THE PRESIDENT: Is the witness trying to reconstruct this from
-the document, reconstruct the incident?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I am asking him to tell
-us what he remembers of the event, basing his account on his own
-recollection of the commander’s report supplemented by the entry
-in the war log.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, he hasn’t said whether he ever saw the
-commander.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Oh yes, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: Well then, all he can tell us is what the
-commander told him.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, have him do that then.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you please tell us
-what you remember after reading the log.</p>
-
-<p class='pindent'>THE PRESIDENT: Wait a minute. If he remembers anything
-about what the commander told him he can tell us that, but the
-log speaks for itself and he can’t reconstruct it out of that. He
-must tell us what he remembers of what the officer said.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Very well, Sir.
-<span class='pageno' title='537' id='Page_537'></span></p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Will you please speak from memory.</p>
-
-<p class='pindent'>GODT: The commander reported that he had encountered a
-number of trawlers extraordinarily close to the coast, considering
-conditions at the time. Failing in his attempt to torpedo one of
-them, he sank it with gunfire. That was all the more remarkable
-because, in the first place, the incident occurred quite unusually
-near the coast and, in the second place, the commander risked this
-artillery fight regardless of the presence of other vessels nearby.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were these other ships
-also armed trawlers?</p>
-
-<p class='pindent'>GODT: It was to be assumed at the time that every trawler
-was armed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The witness McAllister
-thought that the submarine surfaced 50 yards away from the trawler.
-In the light of your own recollections and experiences, do you think
-this is possible?</p>
-
-<p class='pindent'>GODT: I do not remember the details; but it would be an unusual
-thing for a U-boat commander to do.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: McAllister also stated
-the U-boat used shells filled with wire.</p>
-
-<p class='pindent'>THE PRESIDENT: Wait a minute. Wait a minute. Dr. Kranzbühler,
-the Tribunal thinks that the witness oughtn’t to express
-opinions of this sort. He ought to give us the evidence of any facts
-which he has. He is telling us in his opinion it is impossible
-that a naval commander would ever bring his submarine up within
-50 yards of another vessel.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: That is not a matter for him to say.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I was
-going to ask the witness next whether German U-boats used shells
-filled with wire as stated by the witness McAllister. Is that question
-admissible?</p>
-
-<p class='pindent'>THE PRESIDENT: Shells filled with wire?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, that is the question
-I want to put.</p>
-
-<p class='pindent'>Will you answer that question, Witness.</p>
-
-<p class='pindent'>GODT: There were no such shells.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was this attack by the
-submarine on the <span class='it'>Noreen Mary</span> reported by wireless immediately?
-Do you know anything about it?</p>
-
-<p class='pindent'>GODT: Do you mean the U-boat commander’s report?
-<span class='pageno' title='538' id='Page_538'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: No, by the British.</p>
-
-<p class='pindent'>GODT: As far as I remember, a wireless message sent by a
-British vessel was intercepted, reporting a U-boat attack in the area.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: A signal is entered in
-the war log under 0127 hours. It is intended for Matschulat, which
-means that it was sent by you to the commander, and it reads,
-“English steamer reports attack by German U-boat west of Cape
-Wrath.”</p>
-
-<p class='pindent'>GODT: That is the message intended to inform the U-boat that
-a wireless signal sent by a British steamer concerning a submarine
-attack in that area had been intercepted.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I should now like to ask
-you something about Standing War Order Number 511. This is in
-Volume I of my document book, Page 46. When I presented this
-order, the Tribunal was not sure of the significance of Paragraph 2,
-which I am going to read:</p>
-
-<div class='blockquote'>
-
-<p>“Captains and officers of neutral ships which may be sunk
-according to Standing Order Number 101, (such as Swedish
-except Göteborg traffic), must not be taken on board, since
-internment of these officers is not permitted by international
-law.”</p>
-
-</div>
-
-<p class='pindent'>Can you tell me first the experiences or calculations which led
-to the inclusion of Paragraph 2 in the order?</p>
-
-<p class='pindent'>GODT: On one occasion a U-boat brought a Uruguayan officer—a
-captain whose ship had been sunk—to Germany. We were
-afraid that if we released this captain he might report some of the
-things he had seen while he was interned aboard the U-boat. The
-reason for this order was to avoid difficulties of that kind in the
-future; for the Uruguayan captain had to be released and was, in
-fact, released.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What is the meaning of
-the reference to neutral ships which might be sunk according to
-Standing War Order Number 101?</p>
-
-<p class='pindent'>GODT: May I please see the order for a minute?</p>
-
-<p class='pindent'>[<span class='it'>The document was submitted to the witness.</span>]</p>
-
-<p class='pindent'>The Standing War Order Number 101 contains the following
-directives in connection with the sinking of neutral ships: Once
-inside the blockade zone, all neutral ships can be sunk as a matter
-of principle, with two main exceptions, or shall we say, two general
-exceptions.</p>
-
-<p class='pindent'>To begin with, ships belonging to certain neutral countries, with
-whom agreements had been made regarding definite shipping
-channels, must not be sunk; further, ships belonging to certain
-<span class='pageno' title='539' id='Page_539'></span>
-neutral states which might be assumed not to be working exclusively
-in the enemy’s service. Outside the blockade zone neutral ships
-might be sunk; first, if they were not recognizable as neutrals and
-therefore must be regarded as enemy vessels by the submarine in
-question and, second, if they were not acting as neutrals.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: As, for instance, those
-traveling in enemy convoy?</p>
-
-<p class='pindent'>GODT: Yes, those traveling in convoys, or if they reported the
-presence of U-boats, <span class='it'>et cetera</span>, by wireless.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Paragraph 2 mean
-that the captains of neutral ships would in the future be in a worse
-position than captains of enemy ships, or would they be in a better
-position?</p>
-
-<p class='pindent'>GODT: This is not a question of better or worse, it is a question
-of taking prisoners. They were not to be taken prisoners because
-they could not be detained as such. Whether this meant that their
-positions would be better or worse is at least open to doubt. Captains
-of enemy ships usually tried to avoid being taken aboard the
-U-boat probably because they felt safer in their lifeboats.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What do you know about
-orders to respect hospital ships at the beginning of the invasion?</p>
-
-<p class='pindent'>GODT: At the beginning of the invasion the rule in this area,
-as in any other area, was that hospital ships were not to be attacked.
-Commanders operating in the invasion zone then reported that there
-was a very large number of hospital ships sailing.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: From where to where?</p>
-
-<p class='pindent'>GODT: Between the Normandy invasion area and the British
-Isles. Commander, U-boats, then had investigations made by the
-competent department as to whether hospital traffic was really as
-heavy as alleged in these reports. That was found to be the case.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What do you mean by
-that?</p>
-
-<p class='pindent'>GODT: It means that the number of hospital ships reported
-corresponded to the estimated number of wounded. After that it
-was expressly announced that hospital ships were not to be attacked
-in the future.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was the strict respect
-paid to hospital ships at that stage of the war in our own interests?</p>
-
-<p class='pindent'>GODT: At that time we only had hospital ships in the Baltic
-where the Geneva Convention was not recognized by the other side;
-so we had no particular interest in respecting hospital ships.
-<span class='pageno' title='540' id='Page_540'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you know of any case
-of an enemy hospital ship being sunk by a German U-boat during
-this war?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did it happen the other
-way round?</p>
-
-<p class='pindent'>GODT: The German hospital ship <span class='it'>Tübingen</span> was, I think, sunk
-by British aircraft in the Mediterranean.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Presumably because of
-mistaken identity?</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the question on German
-hospital ships which were sunk isn’t relevant, is it?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I was going to show by
-it, Mr. President, that the possibility of mistaken identity does exist
-and that a hospital ship was in fact sunk in consequence of such a
-mistake. My evidence therefore goes to show that from the sinking
-of a ship it must not be concluded that the sinking was ordered.</p>
-
-<p class='pindent'>THE PRESIDENT: The Tribunal quite realize that mistakes may
-be made in sea warfare. It is a matter of common knowledge.
-Should we adjourn now?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Yes, Mr. President.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Admiral Godt, you have
-known Admiral Dönitz very well since 1934; and you have had a
-good deal to do with him during that time. Did he have anything
-to do with politics during that time?</p>
-
-<p class='pindent'>GODT: Nothing at all, to my knowledge, before he was appointed
-Commander-in-Chief of the Navy. As Commander-in-Chief of the
-Navy he made occasional speeches outside the Navy; for instance,
-he addressed dock workers, made a speech to the Hitler Youth at
-Stettin, and gave a talk over the air on “Heroes’ Day” and on
-20 July; I remember no other occasions.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were these speeches not
-always directly connected with the tasks of the Navy—for instance,
-the address to the dock laborers—shipbuilding?</p>
-
-<p class='pindent'>GODT: Yes, when he spoke to the dock laborers.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And to the Hitler Youth?</p>
-
-<p class='pindent'>GODT: The Hitler Youth, too.
-<span class='pageno' title='541' id='Page_541'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what was the connection
-there?</p>
-
-<p class='pindent'>GODT: As far as I remember, the speech was concerned with
-recruiting for the Navy.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did he select his staff
-officers for their ideological or military qualifications?</p>
-
-<p class='pindent'>GODT: Their military and personal qualities were all that mattered.
-Their political views had nothing to do with it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The question of whether
-Admiral Dönitz knew, or must have known, of certain happenings
-outside the Navy is a very important one from the Tribunal’s point
-of view. Can you tell me who his associates were?</p>
-
-<p class='pindent'>GODT: His own officers and officers of his own age, almost exclusively.
-As far as I know, he had very few contacts beyond those.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did matters change much
-in this respect after he was appointed Commander-in-Chief of the
-Navy?</p>
-
-<p class='pindent'>GODT: No. He probably had a few more contacts with people
-from other branches, but on the whole his circle remained the same.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Where did he actually
-live at that time, that is, after his appointment as Commander-in-Chief
-of the Navy?</p>
-
-<p class='pindent'>GODT: After his appointment as Commander-in-Chief, he was
-mainly at the headquarters of the Naval Operations Staff near
-Berlin.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did he live with his
-family or with his staff?</p>
-
-<p class='pindent'>GODT: He made his home with his family; but the main part
-of his life was spent with his staff.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And where did he live
-when his staff was transferred to the so-called “Koralle” quarters
-in the neighborhood of Berlin in the autumn of 1943?</p>
-
-<p class='pindent'>GODT: He lived at his headquarters, where his family also
-lived—at least for some time. His official discussions, however,
-usually lasted till late in the evening.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In other words, from
-that time on he lived constantly in the naval officers’ quarters?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You were in a better
-position than almost any of the other officers to observe the Admiral’s
-career at close quarters. Can you tell me what you think
-were the motives behind the military orders he issued?
-<span class='pageno' title='542' id='Page_542'></span></p>
-
-<p class='pindent'>THE PRESIDENT: You can’t speak about the motives of people.
-You can’t give evidence about other people’s minds. You can only
-give evidence of what they said and what they did.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I still
-think that an officer who lived with another officer for years must
-have a certain knowledge of his motives, based on the actions of
-the officer in question and on what that officer told him. However,
-perhaps I may put my question rather differently.</p>
-
-<p class='pindent'>THE PRESIDENT: He can give evidence about his character,
-but he can’t give evidence about his motives.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then I shall question
-him on his character, Your Honor.</p>
-
-<p class='pindent'>Witness, can you tell me whether Admiral Dönitz ever expressed
-selfish motives to you in connection with any other orders he gave
-or any of his actions?</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, that is the same thing, the
-same question again, really.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I beg your pardon,
-Mr. President. I meant it to be a different question.</p>
-
-<p class='pindent'>THE PRESIDENT: Nobody is charging him with being egotistical
-or anything of that sort. He is charged with the various crimes
-that are charged against him in the Indictment.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then I shall ask a direct
-question based on the Prosecution’s opinion.</p>
-
-<p class='pindent'>The Prosecution judged Admiral Dönitz to be cynical and opportunistic.
-Does that agree with your own judgment?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How would you judge
-him?</p>
-
-<p class='pindent'>GODT: As a man whose mind was fixed entirely on duty, on
-his work, his naval problems, and the men in his service.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, I have no
-further questions to put to this witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Do any other members of the defendants’
-counsel want to ask any questions?</p>
-
-<p class='pindent'>[<span class='it'>There was no response.</span>]</p>
-
-<p class='pindent'>COL. PHILLIMORE: My Lord, might I first mention the documents
-that I put in in cross-examination this morning, or rather it
-was a document which had been in before. It was D-658, GB-229.
-That is the document dealing with Bordeaux, and there was a dispute
-as to whether it was from the Bordeaux Commando Raid. The
-dispute was as to whether it was from the SKL, that is the Naval
-<span class='pageno' title='543' id='Page_543'></span>
-War Staff Diary, or from the war diary of some lower formation.
-My Lord, I have had the matter confirmed with the Admiralty, and
-I will produce the original for defense counsel; it comes from the
-SKL War Diary, Tagebuch der Seekriegsleitung, and it is from
-Number 1 Abteilung, Teil A—that is part A—for December 1942.
-So it is from the War Diary of the Defendant Raeder and the
-witness.</p>
-
-<p class='pindent'>You have said, Witness, that you don’t recollect protesting
-against this order of 17 September 1942.</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I will try and refresh your memory. Would
-you look at a document, D-865?</p>
-
-<p class='pindent'>That’s GB-458, My Lord; that is an extract from an interrogation
-of Admiral Dönitz on 6 October. I should say that the record was
-kept in English and therefore the translation into German does not
-represent necessarily the Admiral’s actual words.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Would you look at the second page of
-that document at the end of the first paragraph. It is the end
-of the first paragraph on Page 207 in the English text. The Admiral
-is dealing with the order of 17 September 1942, and in that last
-sentence in that paragraph he says:</p>
-
-<div class='blockquote'>
-
-<p>“I remember that Captain Godt and Captain Hessler were
-opposed to this telegram. They said so expressly because, as
-they said, ‘it might be misunderstood.’ But I said, ‘I must
-pass it on now to these boats to prevent this 1 percent of
-losses. I must give them a reason, so that they do not feel
-themselves obliged to do that.’ ”</p>
-
-</div>
-
-<p class='pindent'>Do you remember protesting now, saying “That can be misunderstood”?</p>
-
-<p class='pindent'>GODT: No, I do not recall that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And a further extract on Page 3 of the
-English translation, the bottom of Page 2 of the German:</p>
-
-<div class='blockquote'>
-
-<p>“So I sent a second telegram to prevent further losses. The
-second telegram was sent at my suggestion. I am completely
-and personally responsible for it, because both Captain Godt
-and Captain Hessler expressly stated they thought the telegram
-ambiguous or liable to misinterpretation.”</p>
-
-</div>
-
-<p class='pindent'>Do you remember that now?</p>
-
-<p class='pindent'>GODT: No, I do not recall that.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Would you look at a further statement to
-the same effect, on Page 5 of the English, first paragraph; Page 4
-of the German text, third paragraph. He has been asked the
-question:
-<span class='pageno' title='544' id='Page_544'></span></p>
-
-<div class='blockquote'>
-
-<p>“Why was it necessary to use a phrase like the one that I
-read to you before: Efforts to rescue members of the crew
-were counter to the most elementary demands of warfare for
-the destruction of enemy ships and crews?”</p>
-
-</div>
-
-<p class='noindent'>It is the last clause of the first sentence, and he answered:</p>
-
-<div class='blockquote'>
-
-<p>“These words do not correspond to the telegram. They do
-not in any way correspond to our actions in the years of
-1939, 1940, 1941 and 1942, as I have plainly shown you
-through the <span class='it'>Laconia</span> incident. I would like to emphasize once
-more that both Captain Godt and Captain Hessler were violently
-opposed to the dispatch of this telegram.”</p>
-
-</div>
-
-<p class='pindent'>Do you still say that you don’t remember protesting against the
-sending of that telegram?</p>
-
-<p class='pindent'>GODT: I have stated repeatedly that I do not remember it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I will show you one more extract, Document
-D-866, which will become GB-459. That is a further interrogation
-on 22 October. The first question on the document is:</p>
-
-<div class='blockquote'>
-
-<p>“Do you believe that this order is contrary to the Prize
-Regulations issued by the German Navy at the beginning of
-the war?”</p>
-
-</div>
-
-<p class='noindent'>And the last sentence of the first paragraph of the answer is:</p>
-
-<div class='blockquote'>
-
-<p>“Godt and Hessler said to me, ‘Don’t send this message. You
-see, it might look odd some day. It might be misinterpreted.’ ”</p>
-
-</div>
-
-<p class='pindent'>You don’t remember using those words?</p>
-
-<p class='pindent'>GODT: No.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You were an experienced staff officer,
-were you not?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You knew the importance of drafting an
-operational order with absolute clarity, did you not?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: These orders you were issuing were going
-to young commanders between 20 and 30 years of age, were
-they not?</p>
-
-<p class='pindent'>GODT: Certainly not as young as 20. They would be in their
-late twenties, most probably.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes. Do you say that this order is not
-ambiguous?</p>
-
-<p class='pindent'>GODT: Yes. Perhaps if you take one sentence out of the context
-you might have some doubt, but not if you read the entire
-order.
-<span class='pageno' title='545' id='Page_545'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: What was the point of the words: “Rescue
-runs counter to the most elementary demands of warfare for the
-destruction of enemy ships and crews”?</p>
-
-<p class='pindent'>[<span class='it'>There was no response.</span>] Show it to him, will you?</p>
-
-<p class='pindent'>[<span class='it'>The document was submitted to the witness.</span>]</p>
-
-<p class='pindent'>What was the point of those words, if this was merely a nonrescue
-order?</p>
-
-<p class='pindent'>GODT: It was served to motivate the remainder of the order
-and to put on an equal level all the ships and crews which were
-fighting against our U-boats.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You see, all your orders were so clear,
-were they not? Have you got the Defense documents there in
-the witness box?</p>
-
-<p class='pindent'>GODT: I think so—no.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Look at the Defense Document Number
-Dönitz-8, Page 10. It is on Page 10 of that book. Let me just
-read you the second paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“U-boats may instantly attack, with all the weapons at their
-command, enemy merchant vessels recognized with certainty
-as armed, or announced as such, on the basis of unimpeachable
-evidence in the possession of the Naval Operations
-Staff.”</p>
-
-</div>
-
-<p class='noindent'>The next sentence:</p>
-
-<div class='blockquote'>
-
-<p>“As far as circumstances permit, measures shall be taken
-for the rescue of the crew, after the possibility of endangering
-the U-boat is excluded.”</p>
-
-</div>
-
-<p class='pindent'>Now, no commander could go wrong with that order, could he?
-It is perfectly clear.</p>
-
-<p class='pindent'>Look at another one, D-642, at Page 13. It is the last paragraph
-of the order, on Page 15. Now, this is a nonrescue order. Have
-you got it? Paragraph E, Standing Order 154:</p>
-
-<div class='blockquote'>
-
-<p>“Do not rescue crew members or take them aboard and do
-not take care of the ship’s boats. Weather conditions and
-distance from land are of no consequence. Think only of the
-safety of your own boat and try to achieve additional success
-as soon as possible.</p>
-
-<p>“We must be harsh in this war. The enemy started it in
-order to destroy us; and we have to act accordingly.”</p>
-
-</div>
-
-<p class='pindent'>Now, that was perfectly clear, was it not? That was a “nonrescue”
-order?</p>
-
-<p class='pindent'>GODT: It was just as clear as the order we are talking about.
-<span class='pageno' title='546' id='Page_546'></span></p>
-
-<p class='pindent'>COL. PHILLIMORE: Look at one or two more and then let me
-come back to that order; Page 45, another order:</p>
-
-<div class='blockquote'>
-
-<p>“Order from Flag Officer, U-boats”—reading the third line—“to
-take on board as prisoners captains of sunk ships with
-their papers, if it is possible to do so without endangering
-the boat or impairing its fighting capacity.”</p>
-
-</div>
-
-<p class='pindent'>It is perfectly clear to anybody exactly what was intended,
-is it not?</p>
-
-<p class='pindent'>GODT: That is not an order at all; it only reproduces an extract
-from the War Diary.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes, reciting the words of the order; and
-then, on the next page in Paragraph 4:</p>
-
-<div class='blockquote'>
-
-<p>“Try under all circumstances to take prisoners if that can
-be done without endangering the boat”—Again, perfectly
-clear.</p>
-
-</div>
-
-<p class='pindent'>Look at the next page, Page 47, Paragraph 1 of your order of
-the 1 June 1944, the last sentence:</p>
-
-<div class='blockquote'>
-
-<p>“Therefore every effort must be made to bring in such
-prisoners, as far as possible, without endangering the boat.”</p>
-
-</div>
-
-<p class='pindent'>Now, you have told us that this order of 17 September 1942 was
-intended to be a nonrescue order; that is right, is it not?</p>
-
-<p class='pindent'>GODT: Yes, certainly.</p>
-
-<p class='pindent'>COL. PHILLIMORE: I ask you again, what was meant by the
-sentence: “Rescue runs counter to the most elementary demands of
-warfare for the destruction of enemy ships and crews”?</p>
-
-<p class='pindent'>GODT: That is the motivation of the rest of the order, which
-states that ships with crews armed and equipped to fight U-boats
-were to be put on the same level.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Why do you speak about the destruction
-of crews if you do not mean the destruction of crews?</p>
-
-<p class='pindent'>GODT: The question is whether the ships and their crews were
-to be destroyed; and that is something entirely different from
-destroying the crews after they had left the ship.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And that is something entirely different
-from merely not rescuing the crews; isn’t that a fact?</p>
-
-<p class='pindent'>GODT: I do not quite understand that question.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Destruction of crews is quite different
-from nonrescue of crews?</p>
-
-<p class='pindent'>GODT: Destruction—as long as the ship and crew are together.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You are not answering the question, are
-you? But if you want it again: Destruction of crews is quite different
-from nonrescue of crews?
-<span class='pageno' title='547' id='Page_547'></span></p>
-
-<p class='pindent'>GODT: The destruction of the crew is different from the nonrescue
-of survivors, yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Were those words merely put in to give
-this order what you described as a “lively character,” which an
-order should have?</p>
-
-<p class='pindent'>GODT: I cannot give you the details; I have already said that
-I do not remember in detail the events leading up to this order.</p>
-
-<p class='pindent'>THE PRESIDENT: Colonel Phillimore, the Tribunal has already
-said to the witness that the document speaks for itself.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Would you just look at the next document
-in the Prosecution book, that is D-663, at the last sentence
-of that document? In view of the desired destruction of ships’
-crews, are you saying that it was not your intention at this time
-to destroy the crews if you could?</p>
-
-<p class='pindent'>GODT: I thought we were talking about survivors.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Well, it is the same thing, to some extent,
-is it not; ships’ crews, once they are torpedoed, become survivors?</p>
-
-<p class='pindent'>GODT: Then they would be survivors; yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Will you now answer the question? Was
-it not your intention at this time to destroy the crews, or survivors
-if you like, if you could?</p>
-
-<p class='pindent'>GODT: If you mean survivors; the question can refer to two
-things. As regards survivors—no.</p>
-
-<p class='pindent'>COL. PHILLIMORE: If you are not prepared to answer the
-question, I will pass on.</p>
-
-<p class='pindent'>Do you remember the case of Kapitänleutnant Eck?</p>
-
-<p class='pindent'>GODT: I only heard of the case of Kapitänleutnant Eck from
-American and British officers, and only after I came to Germany.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Do you know that he was on his first
-voyage when his U-boat sank the <span class='it'>Peleus</span> and then machine-gunned
-the survivors? Do you know that?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: He had set out from the 5th U-boat flotilla
-at Kiel where Möhle was briefing the commanders, had he not?</p>
-
-<p class='pindent'>GODT: He must have.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Yes. Now, if—instead of taking the whole
-blame upon himself for the action which he took—if he had
-defended his action under this order of 17 September 1942, are
-<span class='pageno' title='548' id='Page_548'></span>
-you saying that you could have court-martialed him for disobedience?</p>
-
-<p class='pindent'>GODT: It might have been possible.</p>
-
-<p class='pindent'>COL. PHILLIMORE: In view of the wording of your order, do
-you say that?</p>
-
-<p class='pindent'>GODT: That would have been a question for the court-martial
-to decide. Moreover, Eck, as far as I heard, did not refer to this
-order.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Can you explain to the Tribunal how the
-witness Möhle was allowed to go on briefing that this was an annihilation
-order, from September 1942 to the end of the war?</p>
-
-<p class='pindent'>GODT: I do not know how Möhle came to interpret this order
-in such a way. In any case he did not ask me about it.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You realize that he is putting his own
-life in great jeopardy by admitting that he briefed as he did,
-don’t you.</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: You also know, don’t you, that another
-commander he briefed was subsequently seen either by yourself
-or by Admiral Dönitz before he went out?</p>
-
-<p class='pindent'>GODT: Yes.</p>
-
-<p class='pindent'>COL. PHILLIMORE: Again when he came back?</p>
-
-<p class='pindent'>GODT: In general, yes, almost always.</p>
-
-<p class='pindent'>COL. PHILLIMORE: In general. Are you seriously telling the
-Tribunal that none of these officers who were briefed that this
-was an annihilation order, that none of them raised the question
-either with you or with Admiral Dönitz?</p>
-
-<p class='pindent'>GODT: In no circumstances was this order discussed.</p>
-
-<p class='pindent'>COL. PHILLIMORE: But I suggest to you now that this order
-was very carefully drafted to be ambiguous; deliberately, so that
-any U-boat commander who was prepared to behave as he did
-was entitled to do so under the order. Isn’t that right?</p>
-
-<p class='pindent'>GODT: That is an assertion.</p>
-
-<p class='pindent'>COL. PHILLIMORE: And that you and Hessler, you tried to
-stop this order being issued?</p>
-
-<p class='pindent'>GODT: I have already said that I do not remember this.</p>
-
-<p class='pindent'>COL. PHILLIMORE: My Lord, I have no further questions.</p>
-
-<p class='pindent'>THE PRESIDENT: Is there any other cross-examination? Do
-you wish to re-examine, Dr. Kranzbühler?
-<span class='pageno' title='549' id='Page_549'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you know that Korvettenkapitän
-Möhle has testified before this Tribunal that he told
-only a very few officers about his interpretation of the <span class='it'>Laconia</span>
-order?</p>
-
-<p class='pindent'>GODT: I read that in the affidavit which Möhle made before
-British officers last year.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you know that
-Möhle testified here personally that he did not speak to Admiral
-Dönitz, yourself, or Captain Hessler about his interpretation of
-the <span class='it'>Laconia</span> order, although he repeatedly visited your staff?</p>
-
-<p class='pindent'>GODT: I know that. I cannot tell you at the moment whether
-I know it from the affidavit which Möhle made last year or from
-another source.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You have been confronted
-with Admiral Dönitz’ testimony that you and Captain
-Hessler opposed the <span class='it'>Laconia</span> order. You stated that Admiral Dönitz
-gave an exaggerated account of your objection to this order, so
-as to take the whole responsibility upon himself?</p>
-
-<p class='pindent'>THE PRESIDENT: Wait a minute. I do not think you can ask
-him that question, Dr. Kranzbühler, whether it is possible that
-the Admiral was over-emphasizing what he said.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then I will not put this
-question. Your Honor, I have no further question to put to this
-witness.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness can retire.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then with the permission
-of the Tribunal I would like to call Captain Hessler as my
-next witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>[<span class='it'>The witness Hessler took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name?</p>
-
-<p class='pindent'>GÜNTHER HESSLER (Witness): Günther Hessler.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and will add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Captain Hessler, when
-did you enter the Navy?</p>
-
-<p class='pindent'>HESSLER: In April 1927.
-<span class='pageno' title='550' id='Page_550'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What was your last
-grade?</p>
-
-<p class='pindent'>HESSLER: Fregattenkapitän.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You are related to Admiral
-Dönitz. Is that correct?</p>
-
-<p class='pindent'>HESSLER: Yes. I married his only daughter in November 1937.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When did you enter the
-U-boat service?</p>
-
-<p class='pindent'>HESSLER: I started my U-boat training in April 1940.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were you given any
-information during your period of training on economic warfare
-according to the Prize Ordinance?</p>
-
-<p class='pindent'>HESSLER: Yes. I was informed of it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was the so-called “prize
-disc” used which has just been submitted to you?</p>
-
-<p class='pindent'>HESSLER: Yes, I was instructed about it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Will you tell the Tribunal
-briefly just what the purpose of this “prize disc” is?</p>
-
-<p class='pindent'>HESSLER: It was a system of discs by means of which, through
-a simple mechanical process in a very short time one could ascertain
-how to deal with neutral and enemy merchant ships—whether, for
-instance, a neutral vessel carrying contraband could be sunk or
-captured, or whether it must be allowed to pass.</p>
-
-<p class='pindent'>This disc has another great advantage in that it indicates at
-the same time the particular paragraph of the Prize Ordinance
-in which the case in question may be found. This made it possible
-to cut down the time required for the investigation of a merchant
-ship to a minimum.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That means that the
-disc was in the nature of a legal adviser to the commander?</p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I now submit this disc
-to the Tribunal as Exhibit Dönitz-95.</p>
-
-<p class='pindent'>In your training were you told what attitude you were required
-to adopt toward shipwrecked survivors? If so, what was it?</p>
-
-<p class='pindent'>HESSLER: Yes. The rescuing of survivors is a matter of course
-in naval warfare and must be carried out as far as military measures
-permit. In U-boat warfare it is utterly impossible to rescue
-survivors, that is, to take the entire crew on board, for space conditions
-in the U-boat do not permit of any such action. The carrying
-out of other measures, such as, approaching the lifeboats,
-<span class='pageno' title='551' id='Page_551'></span>
-picking up swimmers and transferring them to the lifeboats, handing
-over provisions and water, is, as a rule, impossible, for the
-danger incurred by the U-boat is so great throughout the operational
-zone that none of these measures can be carried out without
-endangering the boat too much.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You yourself went out
-on cruises as commander soon after receiving these instructions?</p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: From when to when?</p>
-
-<p class='pindent'>HESSLER: From October 1940 till November 1941.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: In what areas did you
-operate?</p>
-
-<p class='pindent'>HESSLER: South of Iceland, west of the North Channel, in the
-waters between Cape Verde and the Azores, and in the area west
-of Freetown.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What success did you
-have against merchant shipping?</p>
-
-<p class='pindent'>HESSLER: I sank 21 ships, totaling more than 130,000 tons.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You received the
-Knight’s Cross?</p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How did you act toward
-the survivors of the crews of the ships you sank?</p>
-
-<p class='pindent'>HESSLER: In most cases the situation was such that I was
-compelled to leave the scene of the wreck without delay on account
-of danger from enemy naval or air forces. In two cases the danger
-was not quite so great. I was able to approach the lifeboats and
-help them.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: What were the ships
-concerned?</p>
-
-<p class='pindent'>HESSLER: Two Greek ships: the <span class='it'>Papalemos</span> and <span class='it'>Pandias</span>.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How did you help the
-lifeboats?</p>
-
-<p class='pindent'>HESSLER: First of all I gave the survivors their exact position
-and told them what course to set in order to reach land in their
-lifeboats. In the second place, I gave them water, which is of vital
-importance for survivors in tropical regions. In one case I also furnished
-medical aid for several wounded men.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did your personal experience
-with torpedoed ships dispose you to caution with regard
-to rescue measures?
-<span class='pageno' title='552' id='Page_552'></span></p>
-
-<p class='pindent'>HESSLER: Yes. The experienced U-boat commander was justifiably
-suspicious of every merchantman and its crew, no matter
-how innocent they might appear. In two cases this attitude of suspicion
-saved me from destruction.</p>
-
-<p class='pindent'>This happened in the case of the steamer <span class='it'>Kalchas</span>, a British
-10,000 ton ship which I torpedoed north of Cape Verde. The ship
-had stopped after being hit by the torpedo. The crew had left the
-ship and were in the lifeboats, and the vessel seemed to be sinking.
-I was wondering whether to surface in order at least to give the
-crew their position and ask if they needed water. A feeling which
-I could not explain kept me from doing so. I raised my periscope
-to the fullest extent and just as the periscope rose almost entirely
-out of the water, sailors who had been hiding under the guns and
-behind the bulwark, jumped up, manned the guns of the vessel—which
-so far had appeared to be entirely abandoned—and opened
-fire on my periscope at very close range, compelling me to submerge
-at full speed. The shells fell close to the periscope but were
-not dangerous to me.</p>
-
-<p class='pindent'>In the second case, the steamer <span class='it'>Alfred Jones</span>, which I torpedoed
-off Freetown, also seemed to be sinking. I wondered whether to
-surface, when I saw in one of the lifeboats two sailors of the British
-Navy in full uniform. That aroused my suspicions. I inspected
-the ship at close range—I would say from a distance of 50 to
-100 meters—and established the fact that it had not been abandoned,
-but that soldiers were still concealed aboard her in every
-possible hiding-place and behind boarding. When I torpedoed the
-ship this boarding was smashed. I saw that the ship had at least
-four to six guns of 10 and 15 centimeter caliber and a large number
-of depth charge chutes and antiaircraft guns behind the bulwarks.
-Only a pure accident, the fact that the depth charges had not been
-timed, saved me from destruction.</p>
-
-<p class='pindent'>It was clear to me, naturally, after such an experience, that I
-could no longer concern myself with crews or survivors without
-endangering my own ship.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: When did you enter the
-staff of the Commander, U-boats.</p>
-
-<p class='pindent'>HESSLER: In November 1941.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You were First Naval
-Staff Officer?</p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was it your task to instruct
-the commanders on orders issued before they left port?</p>
-
-<p class='pindent'>HESSLER: Yes, I did that.
-<span class='pageno' title='553' id='Page_553'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what was the connection
-between the instructions given by you and those to be given
-by the flotilla chiefs—Korvettenkapitän Möhle, for instance?</p>
-
-<p class='pindent'>HESSLER: The commanders whom I had to instruct received a
-complete summary of all questions concerning procedure at sea.
-The flotilla chiefs were charged with ascertaining that all commanders
-should receive a copy of the most recent orders issued by
-Commander, U-boats. I might say that these were limited instructions,
-compared with the full instructions they received from me.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did these full instructions
-include the instructions to the commanders regarding the
-treatment of survivors?</p>
-
-<p class='pindent'>HESSLER: Yes, in much the same style as the instructions I
-received during my training in the U-boat school.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was any change made
-in the manner of instruction after the <span class='it'>Laconia</span> order of September
-1942?</p>
-
-<p class='pindent'>HESSLER: Yes. I related the incident briefly to the commanders
-and told them:</p>
-
-<div class='blockquote'>
-
-<p>“Now the decision as to whether the situation at sea permits
-of rescue attempts no longer rests with you. Rescue measures
-are prohibited from now on.”</p>
-
-</div>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you mean to say that
-during the whole of the rest of the war—that is, for 2½ years—the
-commanders continued to be told about the <span class='it'>Laconia</span> incident, or
-was that only done immediately after this incident in the autumn
-of 1942?</p>
-
-<p class='pindent'>HESSLER: I would say up to January 1943 at the latest. After
-that, no further mention was made of it.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: You mean, no further
-mention of the incident?</p>
-
-<p class='pindent'>HESSLER: No further mention of the <span class='it'>Laconia</span> incident.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: But the orders issued as
-a result of it were mentioned?</p>
-
-<p class='pindent'>HESSLER: Yes, that a specific order not to take any more rescue
-measures had been issued.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did the commanders at
-any time receive orders or suggestions from you or from one of
-your staff to shoot at survivors?</p>
-
-<p class='pindent'>HESSLER: Never.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Were the commanders
-told by you about the order to take captains and chief engineers
-on board, if possible?
-<span class='pageno' title='554' id='Page_554'></span></p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Was it emphasized in
-those instructions that this was only to take place when it could
-be done without endangering the U-boat?</p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Do you know of the incident
-of U-boat <span class='it'>U-386</span> which passed some airmen shot down in the
-Bay of Biscay?</p>
-
-<p class='pindent'>HESSLER: I remember this incident very distinctly.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Then you also remember
-that this incident took place in the autumn of 1943?</p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did Commander, U-boats,
-think, with regard to this incident, that the U-boat commander
-should have shot at the airmen in the rubber dinghy?</p>
-
-<p class='pindent'>HESSLER: No, on the contrary, he was annoyed because the
-crew of the aircraft had not been brought along by the U-boat.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did any other person or
-persons on the staff put forward the view I have just expressed?</p>
-
-<p class='pindent'>HESSLER: No, we knew every one on the staff, and it is out of
-the question that any member of the staff held a different opinion.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Korvettenkapitän Möhle
-testified that he asked Korvettenkapitän Kuppisch, who was a member
-of your staff, for an explanation of the <span class='it'>Laconia</span> order and that
-Kuppisch told him about the incident of the <span class='it'>U-386</span>; and told it in
-such a way as to make it appear that Commander, U-boats, ordered
-the shooting of survivors.</p>
-
-<p class='pindent'>HESSLER: That is impossible.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Why?</p>
-
-<p class='pindent'>HESSLER: Because Kuppisch took his U-boat out to sea in July
-1943 and never returned from that cruise. The incident of <span class='it'>U-386</span>
-happened in the autumn of 1943, which was later.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Korvettenkapitän Möhle
-in his first statement left the possibility open that this story about
-<span class='it'>U-386</span> might have come from you. Did you discuss this matter
-with him?</p>
-
-<p class='pindent'>HESSLER: No.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Are you certain of that?</p>
-
-<p class='pindent'>HESSLER: Absolutely certain.
-<span class='pageno' title='555' id='Page_555'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did you hear of the interpretation
-given by Korvettenkapitän Möhle to this <span class='it'>Laconia</span> order?</p>
-
-<p class='pindent'>HESSLER: After the capitulation—that is, after the end of the
-war and then through a British officer.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: How do you explain the
-fact that of the very few officers who received these instructions
-from Möhle, none raised the question of the interpretation of this
-order with Commander, U-boats?</p>
-
-<p class='pindent'>HESSLER: I have only one explanation of this; and that is that
-these officers thought Korvettenkapitän Möhle’s interpretation completely
-impossible, and not in agreement with the interpretation of
-Commander, U-boats.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Therefore, they did not
-think that clarification was necessary?</p>
-
-<p class='pindent'>HESSLER: They did not think that clarification was necessary.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: The Prosecution’s charges
-against Admiral Dönitz are based to a great extent on extracts from
-the War Diary of the SKL and Commander, U-boats, documents
-which are in the possession of the British Admiralty. How is it
-possible that all these data fell into the hands of the British Admiralty—and
-<span class='it'>in toto</span>?</p>
-
-<p class='pindent'>HESSLER: It was the Admiral’s desire that the war diaries of
-the U-boats and of Commander, U-boats, which formed part of the
-Navy archives, should be preserved and not be destroyed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did he say anything to
-you about this?</p>
-
-<p class='pindent'>HESSLER: Yes, in that form, when I told him that our own
-staff data had been completely destroyed.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Did he give any reason
-as to why he did not want the Navy archives destroyed?</p>
-
-<p class='pindent'>HESSLER: He wanted to keep these data until after the war,
-and the Naval Operations Staff had nothing to conceal.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Is that your opinion or
-is that the opinion which Admiral Dönitz expressed to you?</p>
-
-<p class='pindent'>HESSLER: He told me, “We have a clear conscience.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Immediately after the
-capitulation you were repeatedly interrogated on questions of U-boat
-warfare and you asked the senior officer present whether the German
-U-boat command would be accused by the British Navy of
-criminal acts. Is that right?</p>
-
-<p class='pindent'>HESSLER: Yes.
-<span class='pageno' title='556' id='Page_556'></span></p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: And what answer did
-you receive?</p>
-
-<p class='pindent'>HESSLER: An unhesitating “No.”</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have no further questions,
-Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: Does any defendant’s counsel wish to ask
-any questions?</p>
-
-<p class='pindent'>[<span class='it'>There was no response.</span>]</p>
-
-<p class='pindent'>The Prosecution?</p>
-
-<p class='pindent'>COL. PHILLIMORE: With the Tribunal’s permission I would not
-propose to cross-examine and ask leave to adapt my cross-examination
-of the last witness because it is the same ground substantially.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>Does any other Prosecutor wish to cross-examine?</p>
-
-<p class='pindent'>Yes, Dr. Kranzbühler?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: I have no further questions
-to ask the witness, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: In the interrogation of the Defendant Dönitz
-he said that Godt and Hessler—that is you, is it not...?</p>
-
-<p class='pindent'>HESSLER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: ...told him, “Don’t send that signal. You see,
-one day it might appear in the wrong; it might be misinterpreted.”
-Did you say that?</p>
-
-<p class='pindent'>HESSLER: I do not remember. As consulting officers, we often
-had to oppose orders which were being drafted, and we were entitled
-to do so; but I do not remember whether Admiral Godt and
-I did so in this case.</p>
-
-<p class='pindent'>THE PRESIDENT: Then later in this interrogation the Defendant
-Dönitz said:</p>
-
-<div class='blockquote'>
-
-<p>“I am completely and personally responsible for it”—that is
-that order—“because Captains Godt and Hessler both expressly
-stated that they considered the telegram as ambiguous
-or liable to be misinterpreted.”</p>
-
-</div>
-
-<p class='pindent'>Did you say that this telegram was ambiguous or liable to be
-misinterpreted?</p>
-
-<p class='pindent'>HESSLER: I do not remember that point. I do not think I
-thought the telegram was ambiguous.</p>
-
-<p class='pindent'>THE PRESIDENT: And lastly the Defendant Dönitz said this:
-<span class='pageno' title='557' id='Page_557'></span></p>
-
-<div class='blockquote'>
-
-<p>“I would like to emphasize once more that both Captain Godt
-and Captain Hessler were violently opposed to the sending
-of the telegram.”</p>
-
-</div>
-
-<p class='pindent'>Do you say that you were not violently opposed to the sending
-of the telegram?</p>
-
-<p class='pindent'>HESSLER: It is possible that we opposed the dispatch of the
-telegram because we did not consider it necessary to refer to the
-matter again.</p>
-
-<p class='pindent'>THE PRESIDENT: Did you say anything to the Defendant Dönitz
-about this telegram at all?</p>
-
-<p class='pindent'>HESSLER: At the drafting of the telegram we talked it over,
-just as we discussed every wireless message drafted by us. As time
-went on, we drafted many hundreds of wireless messages so that
-it is impossible to remember just what was said in each case.</p>
-
-<p class='pindent'>THE PRESIDENT: You began your answer to that question: “At
-the drafting of this telegram...”</p>
-
-<p class='pindent'>Do you remember what happened at the drafting of this telegram?</p>
-
-<p class='pindent'>HESSLER: I can remember only that in the course of the so-called
-<span class='it'>Laconia</span> incident a great many wireless messages were sent
-and received; that many wireless messages were drafted; and that,
-in addition, U-boat operations were going on in the Atlantic, so that
-I cannot recall details of what happened when the message was
-drafted.</p>
-
-<p class='pindent'>THE PRESIDENT: You said now that it was possible that you
-and Admiral Godt were opposed to the sending of this telegram. Is
-that your answer?</p>
-
-<p class='pindent'>HESSLER: It is possible, but I cannot say.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well. Dr. Kranzbühler, the witness can
-retire.</p>
-
-<p class='pindent'>[<span class='it'>The witness left the stand.</span>]</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Mr. President, this morning
-I had already advised the Prosecution that I shall not call the
-fourth witness scheduled—that is Admiral Eckardt. Therefore, my
-examination of witnesses has been concluded.</p>
-
-<p class='pindent'>THE PRESIDENT: And that concludes your case for the present?</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: That concludes my case,
-but with the permission of the Tribunal I would like to clarify one
-more question which deals with documents.</p>
-
-<p class='pindent'>The Tribunal has refused all documents which refer to contraband,
-control ports, and the “Navicert” system. These questions
-are of some importance if I am to give a correct exposition later on.
-<span class='pageno' title='558' id='Page_558'></span></p>
-
-<p class='pindent'>May I interpret the Tribunal’s decision as saying that these documents
-are not to be used now as evidence but that I may have
-permission to use them later on in my legal exposition?</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Kranzbühler, the Tribunal thinks that
-is a question which may be reserved until the time comes for you
-to make your speech.</p>
-
-<p class='pindent'>FLOTTENRICHTER KRANZBÜHLER: Thank you, Mr. President.
-Then I have concluded my case.</p>
-
-<p class='pindent'>THE PRESIDENT: We will adjourn now.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 15 May 1946 at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<div><span class='pageno' title='559' id='Page_559'></span><h1><span style='font-size:larger'>ONE HUNDRED AND THIRTIETH DAY</span><br/> Wednesday, 15 May 1946</h1></div>
-
-<h2 class='nobreak'><span class='it'>Morning Session</span></h2>
-
-<p class='pindent'>[<span class='it'>The witness Emil Puhl took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name?</p>
-
-<p class='pindent'>EMIL PUHL (Witness): Emil Johann Rudolf Puhl.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>DR. SAUTER: Witness Puhl, you were formerly Vice President
-of the Reichsbank?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: If I am correctly informed, you were a member of
-the Directorate of the Reichsbank already at the time of Dr. Schacht?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: When Dr. Schacht left, you were one of the few
-gentlemen who remained in the Reichsbank?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: You were then named by Hitler, on the suggestion
-of the Defendant Funk, to be Managing Vice President of the Reichsbank?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: When was that?</p>
-
-<p class='pindent'>PUHL: During the year 1939.</p>
-
-<p class='pindent'>DR. SAUTER: During the year 1939. You have said that you
-were Managing Vice President, and I presume this was due to the
-fact that banking was not the special field of the Defendant Funk
-while you were a banking expert, and that Funk in addition had
-charge of the Reich Ministry of Economics. Is that correct?</p>
-
-<p class='pindent'>PUHL: Yes, but there was another reason, namely, the division
-of authority between official business on one side, and the handling
-of personnel on the other.
-<span class='pageno' title='560' id='Page_560'></span></p>
-
-<p class='pindent'>DR. SAUTER: The actual conduct of business was apparently
-your responsibility?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Hence, the title Managing Vice President?</p>
-
-<p class='pindent'>PUHL: Yes. May I make a few comments on this?</p>
-
-<p class='pindent'>DR. SAUTER: Only if it is necessary in the interests of the case.</p>
-
-<p class='pindent'>PUHL: Yes. The business of the Directorate of the Reichsbank
-was divided among a number of members of the Directorate. Every
-member had full responsibility for his own sphere. The Vice President
-was the <span class='it'>primus inter pares</span>, his main task was to act as chairman
-at meetings to represent the President in the outside world
-and to deal with problems of general economic and banking policy.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, the Defendant Funk referred to you as
-a witness as early as December. You know that, don’t you? And
-accordingly, you were interrogated at the camp where you are now
-accommodated, I believe in Baden-Baden...</p>
-
-<p class='pindent'>PUHL: Near Baden-Baden.</p>
-
-<p class='pindent'>DR. SAUTER: ...interrogated on 1 May?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Two days later you were again interrogated?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: On 3 May?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Do you know why the matters on which you were
-questioned on 3 May were not dealt with during the interrogation
-on 1 May?</p>
-
-<p class='pindent'>PUHL: I have before me the affidavit dated 3 May.</p>
-
-<p class='pindent'>DR. SAUTER: 3 May. That deals with these business affairs with
-the SS.</p>
-
-<p class='pindent'>PUHL: Yes. But I was questioned on this subject already on
-1 May, only very briefly, and on 3 May there was a second interrogation
-for the purpose of discussing it in more detail.</p>
-
-<p class='pindent'>DR. SAUTER: Did you not mention these business affairs of the
-Reichsbank with the SS during your interrogation on 1 May?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Did you mention them?</p>
-
-<p class='pindent'>PUHL: A short statement was made.</p>
-
-<p class='pindent'>DR. SAUTER: During the interrogation of 1 May?
-<span class='pageno' title='561' id='Page_561'></span></p>
-
-<p class='pindent'>PUHL: Yes. At any rate, the statement on 3 May made during
-the interrogation was only a more detailed record of what had
-already been briefly discussed before.</p>
-
-<p class='pindent'>DR. SAUTER: I have the record of your interrogation on 1 May
-before me; I read through it again today. But as far as I can see,
-it contains no mention at all of business affairs with the SS. You
-must be speaking now of another interrogation?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: Mr. President, I think perhaps I can be helpful in
-this apparent confusion. The interrogatory which was authorized by
-the Tribunal was taken on 1 May, but on that same day, and independent
-of these interrogatories, a member of our staff also interviewed
-this witness. But it was a separate interview. It wasn’t
-related to the interrogatory, and I think that is the source of the
-confusion.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>DR. SAUTER: Were you interrogated twice about these transactions
-with the SS?</p>
-
-<p class='pindent'>PUHL: Yes, twice during the days around 1 May; that is correct.</p>
-
-<p class='pindent'>DR. SAUTER: Do you still remember the affidavit which you
-signed on 3 May?</p>
-
-<p class='pindent'>PUHL: On 3 May, yes.</p>
-
-<p class='pindent'>DR. SAUTER: It is the affidavit which deals with these transactions
-with the SS. Are your statements in this affidavit correct?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, have you been interrogated on these
-matters again since that time, since 3 May?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: When?</p>
-
-<p class='pindent'>PUHL: Here in Nuremberg.</p>
-
-<p class='pindent'>DR. SAUTER: When were you interrogated?</p>
-
-<p class='pindent'>PUHL: During the last few days.</p>
-
-<p class='pindent'>DR. SAUTER: I see. Today is Wednesday, when was it?</p>
-
-<p class='pindent'>PUHL: Friday, Monday, Tuesday.</p>
-
-<p class='pindent'>DR. SAUTER: Yesterday?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: On this matter?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Was a film also shown to you here?</p>
-
-<p class='pindent'>PUHL: Yes.
-<span class='pageno' title='562' id='Page_562'></span></p>
-
-<p class='pindent'>DR. SAUTER: Once or twice?</p>
-
-<p class='pindent'>PUHL: Once.</p>
-
-<p class='pindent'>DR. SAUTER: Had you seen this film before?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: Did you recognize clearly what was presented in
-the film?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: I ask because, as you know, the film runs very
-quickly and is very short; the Prosecution showed it twice in the
-courtroom so that one might follow it fairly well. Did one showing
-suffice to make clear to you what the film contained?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Then will you tell me what you saw in it, only
-what you saw in the film, or what you think you saw.</p>
-
-<p class='pindent'>PUHL: Yes. The film was taken in front of the safes of our bank at
-Frankfurt-on-Main, the usual safes with glass doors, behind which
-one could see the locked cases and containers, which had apparently
-been deposited there. It was the usual picture presented by such
-strong rooms. In front of these safes were several containers which
-had been opened so that their contents could be seen—coins, jewelry,
-pearls, bank notes, clocks.</p>
-
-<p class='pindent'>DR. SAUTER: What sort of clocks?</p>
-
-<p class='pindent'>PUHL: Large alarm clocks.</p>
-
-<p class='pindent'>DR. SAUTER: Nothing else? Didn’t you see anything else in the
-film?</p>
-
-<p class='pindent'>PUHL: Apart from these objects?</p>
-
-<p class='pindent'>DR. SAUTER: Apart from these, shall we say, valuables, didn’t
-you see anything else that is alleged to have been kept there?</p>
-
-<p class='pindent'>PUHL: No, no.</p>
-
-<p class='pindent'>DR. SAUTER: Only these valuables? Please go on.</p>
-
-<p class='pindent'>PUHL: I noticed that among these valuables there were coins,
-apparently silver coins, and also bank notes, obviously American
-bank notes.</p>
-
-<p class='pindent'>DR. SAUTER: Correct.</p>
-
-<p class='pindent'>PUHL: It was astonishing that these things were given to us for
-safekeeping, because if they had come to the knowledge of our officials,
-then no doubt...</p>
-
-<p class='pindent'>DR. SAUTER: Speak slowly, please.</p>
-
-<p class='pindent'>PUHL: ...no doubt the bank notes would have been immediately
-turned over to the foreign exchange department, since, as is known,
-<span class='pageno' title='563' id='Page_563'></span>
-a general order existed for the turning in of foreign bank notes
-which particularly were much in demand.</p>
-
-<p class='pindent'>Something similar applies to the coins. These, too, ought to have
-been transferred to the treasury in accordance with the regulations
-and routine of business, that is to say, they should have been
-purchased for the accounts of the Reich.</p>
-
-<p class='pindent'>DR. SAUTER: That is what you noticed in the film?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: And nothing else?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, valuable articles entrusted to the Reichsbank
-for safekeeping were supposed to have been kept in the Reichsbank
-in that way. Now I have been asking myself whether your
-Reichsbank really stored the valuables entrusted to it in the manner
-apparent from the film and I therefore want to ask this question of
-you: Do you as Managing Vice President of the Reichsbank know
-how valuables which were handed over for safekeeping in the
-strong-rooms were kept, for instance, in Berlin or in Frankfurt,
-where this film was taken?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Please tell the Court.</p>
-
-<p class='pindent'>PUHL: The outer appearance of the safe installations in Berlin
-was somewhat similar to that in Frankfurt, and probably similar to
-any other large bank. These things were known to us as “closed
-deposits,” a banking term, and were kept, as the name indicates, in
-closed containers. Space for these was provided by us and paid for
-by the depositors, according to the size in each case.</p>
-
-<p class='pindent'>DR. SAUTER: Were these things kept—for instance, in Berlin or
-in Frankfurt—exactly as shown in the film?</p>
-
-<p class='pindent'>PUHL: Well, I had the impression that the things of which we
-are now talking had been put there expressly for the purpose of
-taking the film.</p>
-
-<p class='pindent'>DR. SAUTER: For the film. Do you recollect seeing a sack, which
-I think was shown in the film, with the label “Reichsbank Frankfurt?”</p>
-
-<p class='pindent'>PUHL: Yes, I saw a sack labeled “Reichsbank”; I cannot say
-whether “Reichsbank Frankfurt.”</p>
-
-<p class='pindent'>DR. SAUTER: As far as I know, it had “Reichsbank Frankfurt”
-on it. For that reason we assumed that the film was taken at Frankfurt,
-and the Prosecution confirmed that.</p>
-
-<p class='pindent'>MR. DODD: I don’t like to interrupt but I think we should be
-careful about this statement. There have been two mistakes of some
-<span class='pageno' title='564' id='Page_564'></span>
-slight importance already. We didn’t show the film twice before this
-Tribunal and that bag doesn’t bear the legend “Frankfurt.” It
-simply says “Reichsbank.” And it was the Schacht film that was
-shown twice here, because it moved rather quickly.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, will you continue with your reply to the
-question. I can put it in this way: Did the Reichsbank keep gold
-articles and the like in such sacks?</p>
-
-<p class='pindent'>PUHL: If I understand you correctly, you are asking this: When
-valuables were deposited with us, were they deposited in open sacks?
-Is that correct?</p>
-
-<p class='pindent'>DR. SAUTER: I do not know what procedure you had.</p>
-
-<p class='pindent'>PUHL: We at any rate had closed deposits, as the name implies.
-Of course, it may be a sack which is closed; that is quite possible.</p>
-
-<p class='pindent'>DR. SAUTER: So far as I saw in banks at Munich, the things
-which were deposited there in increased measure during the war
-were without exception deposited in closed boxes or cases and the
-like, so that generally the bank did not know at all what was contained
-in the cases or boxes. Did you in the Reichsbank follow a
-different procedure?</p>
-
-<p class='pindent'>PUHL: No, it was exactly the same. And the noticeable thing
-about this sack, as has been said, is the label “Reichsbank.” Obviously
-it is a sack belonging to us and not to any private person.</p>
-
-<p class='pindent'>DR. SAUTER: Then you too, if I may repeat this to avoid any
-doubt, you too kept in a closed container the valuables, which had
-been deposited as “closed deposits.”</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Or they went to the strongboxes?</p>
-
-<p class='pindent'>PUHL: The word “deposits” might be misleading. The closed
-containers went to the strong-room. The strong-room consisted of
-strongboxes where these cases or containers were deposited. Quite
-independent of that arrangement, we had the “open deposits.” Open
-deposits are those which by initial agreement are administered
-openly. The strong-rooms for these were located in quite a different
-part of the building from the so-called main strong-room.</p>
-
-<p class='pindent'>DR. SAUTER: But presumably, we are not concerned here with
-these open deposits?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: Now, Witness, I come to the deposits of the SS.
-These deposits were not in Frankfurt but presumably in Berlin in
-the central bank.</p>
-
-<p class='pindent'>PUHL: Yes.
-<span class='pageno' title='565' id='Page_565'></span></p>
-
-<p class='pindent'>DR. SAUTER: Now, will you give details about the discussions
-which the Defendant Funk had with you regarding the SS deposits.
-And may I ask you to consider your replies and search your memory
-very carefully before answering my questions. Naturally I shall
-allow you time.</p>
-
-<p class='pindent'>First of all, what did you and the Defendant Funk discuss when
-you talked about these deposits of the SS for the first time?</p>
-
-<p class='pindent'>PUHL: I refer here to my affidavit of 3 May. I had a very
-simple talk with Herr Funk. It turned on the request of the SS to
-make use of our bank installations by depositing valuables for which,
-it was said, there was not sufficient protection in the cellars of the
-SS building. Perhaps, for the sake of completeness, I may add that
-“SS,” in this connection, always means the Economic Department of
-the SS.</p>
-
-<p class='pindent'>DR. SAUTER: What did the Defendant Funk speak of at the
-time? Did he specify exactly what should be accepted for safekeeping?</p>
-
-<p class='pindent'>PUHL: He mentioned valuables which the SS had brought from
-the Eastern Territories, which were then in their cellars and which,
-above all, they requested us to keep in safety.</p>
-
-<p class='pindent'>DR. SAUTER: But did the Defendant Funk tell you in detail
-what these valuables were?</p>
-
-<p class='pindent'>PUHL: No, not in detail, but he said that in general they were
-gold, foreign currency, silver, and jewelry.</p>
-
-<p class='pindent'>DR. SAUTER: Gold, foreign currency, silver, jewelry...</p>
-
-<p class='pindent'>PUHL: To which I may add that gold and foreign currency had
-of course to be surrendered to the Reichsbank at any rate.</p>
-
-<p class='pindent'>DR. SAUTER: Gold, foreign currency, silver and jewelry?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: And that was supposed to have been confiscated
-in the Eastern Territories?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Did the Defendant Funk tell you at the time why
-these confiscations had been made, or who had been affected
-by them?</p>
-
-<p class='pindent'>PUHL: No, that was not stated; the talk, as I have said, was brief.</p>
-
-<p class='pindent'>DR. SAUTER: And what was your reply?</p>
-
-<p class='pindent'>PUHL: I said that this sort of business with the SS would at
-least be inconvenient for us, and I voiced objections to it. I may add
-that we, as the Reichsbank, were always very cautious in these
-<span class='pageno' title='566' id='Page_566'></span>
-matters, for example, when valuables were offered us by foreign
-exchange control offices, customs offices, and the like.</p>
-
-<p class='pindent'>DR. SAUTER: What was the actual reason for your objections in
-the case of the SS?</p>
-
-<p class='pindent'>PUHL: Because one could not know what inconvenient consequences
-a business connection of this sort might produce.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, that answer does not satisfy me. Did you
-or the Defendant Funk not wish to have anything to do with the SS
-at all, or was there some other reason for your objections?</p>
-
-<p class='pindent'>PUHL: The first part of your question I answer with “no.”
-There was no objection on principle, nor could there be; for, after
-all, every German organization or institution had the legal right to
-enjoy the services of the Reichsbank.</p>
-
-<p class='pindent'>The circumstances arising out of these confiscations were uncomfortable,
-like the confiscations of the foreign exchange control
-offices, <span class='it'>et cetera</span>, which I mentioned, because one never knew what
-difficulties might result.</p>
-
-<p class='pindent'>DR. SAUTER: So that, if I understand you well—please correct
-me if I interpret it wrongly—you voiced objections because these
-business affairs were somewhat uncomfortable for the Reichsbank,
-they fell outside the normal scope of business, and were as little
-welcome to you as, for instance, deposits of the customs authorities
-or the foreign exchange control offices, and so forth? Only for this
-reason?</p>
-
-<p class='pindent'>PUHL: Yes. But I have to add something; we were asked
-whether we would assist the SS in handling these deposits. It was
-immediately clear, of course, and also expressly stated, that these
-deposits included foreign currency, and also securities and all sorts
-of gold coins, <span class='it'>et cetera</span>, and that the SS people did not quite know
-how to deal with these things.</p>
-
-<p class='pindent'>DR. SAUTER: Did these things arrive subsequently?</p>
-
-<p class='pindent'>PUHL: Yes. But something else happened before that. After
-this conversation the head of the Economic Department of the SS,
-whose name was Pohl, Obergruppenführer Pohl, contacted me. I
-asked him to come to my office, and there he repeated, what I
-already knew, namely that he would welcome it if we would take
-over these valuables as soon as possible.</p>
-
-<p class='pindent'>DR. SAUTER: What was your answer?</p>
-
-<p class='pindent'>PUHL: I confirmed what we had arranged and said, “If you will
-designate officials from your department, I shall inform our department,
-and together they can discuss the technical details.”
-<span class='pageno' title='567' id='Page_567'></span></p>
-
-<p class='pindent'>DR. SAUTER: To revert to an earlier stage: What did the Defendant
-Funk say when you explained during your first conversation
-with him that you would not willingly take over those things because
-one often had a lot of trouble with such matters?</p>
-
-<p class='pindent'>PUHL: My objections were subordinated to the broader consideration
-of assisting the SS, all the more—and this must be emphasized—because
-these things were for the account of the Reich.</p>
-
-<p class='pindent'>DR. SAUTER: Did you discuss whether these things, particularly
-gold, should be converted by the Reichsbank or melted down?</p>
-
-<p class='pindent'>PUHL: No, not in detail; it was merely said that the officials of
-the Reichsbank should offer their good services to the SS.</p>
-
-<p class='pindent'>DR. SAUTER: I do not quite understand. The good services of
-the Reichsbank officials consist in receiving these valuables into
-safekeeping and locking them up?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Were the services of your officials to go beyond
-that?</p>
-
-<p class='pindent'>PUHL: Yes, inasmuch as the SS people were to come and remove
-from the containers whatever had to be surrendered.</p>
-
-<p class='pindent'>DR. SAUTER: For instance, gold coins, foreign currency, <span class='it'>et
-cetera</span>?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Then did you see—to come back to the question
-already put—did you see what arrived, what the SS delivered?</p>
-
-<p class='pindent'>PUHL: No, not personally. This happened far away from my
-office, in quite a different building, downstairs in the strong-rooms
-which I, as Vice President of the Reichsbank, would not normally
-enter without a special reason.</p>
-
-<p class='pindent'>DR. SAUTER: Did you, as Vice President, visit these strong-rooms
-frequently?</p>
-
-<p class='pindent'>PUHL: It was a habit of mine, sometimes at an interval of three
-months or longer, to go through the strong-rooms; if there was some
-occasion for it, for instance, when there was a visitor to be conducted
-or some new installation to be discussed, or when there was
-something of importance beyond mere attendance on the safes and
-the clients.</p>
-
-<p class='pindent'>DR. SAUTER: But, of course, as Vice President, you had nothing
-to do with attending to customers?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: And I should like to put the same question to you
-with regard to the Defendant Funk. Did the Defendant Funk, who
-<span class='pageno' title='568' id='Page_568'></span>
-moreover belonged to the Reichsbank only in part, go to the strong-rooms
-often?</p>
-
-<p class='pindent'>If so, how often and for what reason? And did he see what had
-been handed in by the SS?</p>
-
-<p class='pindent'>PUHL: The answer is that Funk, too, went to the strong-rooms
-on special occasions, for example, when there were foreign visitors.
-Naturally, I would not know how often, nor whether he saw the SS
-deposits. That depends on whether the strong-room officials who
-were conducting him pointed them out to him.</p>
-
-<p class='pindent'>DR. SAUTER: Did you, Witness, see the things which came from
-the SS—did you see them yourself?</p>
-
-<p class='pindent'>PUHL: No, never.</p>
-
-<p class='pindent'>DR. SAUTER: Never?</p>
-
-<p class='pindent'>PUHL: Never.</p>
-
-<p class='pindent'>DR. SAUTER: Do you think that the Defendant Funk saw them?</p>
-
-<p class='pindent'>PUHL: I cannot tell that, of course; it depends on whether the
-strong-room officials pointed out specifically: “Here is the deposit of
-the SS.”</p>
-
-<p class='pindent'>DR. SAUTER: Then I presume you cannot give us any information
-on how these things of the SS were actually kept or how they
-were packed?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: Whether in boxes or...</p>
-
-<p class='pindent'>PUHL: No, I do not know that.</p>
-
-<p class='pindent'>DR. SAUTER: Did you talk again about this whole affair of the
-SS deposits with the Defendant Funk?</p>
-
-<p class='pindent'>PUHL: Hardly at all, as far as I can remember. But I must certainly
-have talked to him a second time, after Herr Pohl had visited
-me, since it was, of course, my task and my duty to keep Funk informed
-of everything.</p>
-
-<p class='pindent'>DR. SAUTER: Did the members of the Reichsbank Directorate,
-the board of directors, attach a special significance to this whole
-matter so that there might have been occasion to discuss it more
-frequently? Or was it regarded as just an unpleasant but unimportant
-sort of business?</p>
-
-<p class='pindent'>PUHL: No. At the beginning there was probably a report on it
-to the meeting of the Directorate, but then it was not mentioned
-again.</p>
-
-<p class='pindent'>DR. SAUTER: You cannot recollect having later again talked of
-the matter with Funk? But it is possible, if I understood you correctly,
-that after the settlement with SS Obergruppenführer Pohl,
-<span class='pageno' title='569' id='Page_569'></span>
-you may again have reported about it briefly? Did I understand
-you correctly?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Now, Witness, in your affidavit under Figure 5,
-you say that among the articles deposited by the SS were jewelry,
-watches, spectacle frames, gold fillings—apparently these dental
-fillings—and other articles in large quantities which the SS had
-taken away from Jews and concentration camp victims and other
-persons. How do you know that?</p>
-
-<p class='pindent'>PUHL: I know that from my interrogations at Frankfurt.</p>
-
-<p class='pindent'>DR. SAUTER: You were told about these things during your
-interrogations in Frankfurt after your arrest?</p>
-
-<p class='pindent'>PUHL: And they were shown to me.</p>
-
-<p class='pindent'>DR. SAUTER: You had no knowledge of them while you were
-free and administered the Reichsbank as Vice President?</p>
-
-<p class='pindent'>PUHL: No, because, I repeat it again, we never discussed this
-in the Directorate, since it was of no basic significance for currency
-or banking policy or in any other respect.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, if at that time in 1942 you had known
-that these were articles which the SS had taken away from many
-concentration camp victims, would you have received them into
-safekeeping?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: What would you have done?</p>
-
-<p class='pindent'>PUHL: Then we would have come to some decision on the
-attitude which the bank as a whole should adopt toward this
-problem.</p>
-
-<p class='pindent'>DR. SAUTER: Who would have had the decisive word?</p>
-
-<p class='pindent'>PUHL: The decision would have been made by the Directorate
-of the Reichsbank as an executive group, as a corporate body, and
-then it would have been submitted to the President for countersignature.</p>
-
-<p class='pindent'>DR. SAUTER: Earlier—I must fill in this gap in connection with
-your affidavit—you expressed yourself in a rather misleading way.
-You stated earlier: “This was brought to our knowledge, because the
-SS personnel attempted to convert this material into gold, into cash.”
-And today you say that you heard of it only after your arrest.
-Apparently, if I understand you correctly, there must be...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, I do not understand why you
-say “earlier.” It is the sentence which followed the sentence which
-you put to him.
-<span class='pageno' title='570' id='Page_570'></span></p>
-
-<p class='pindent'>DR. SAUTER: Yes, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: Why do you say “earlier” then? Why do
-you say “earlier”?</p>
-
-<p class='pindent'>DR. SAUTER: In his affidavit—if the wording of the affidavit is
-correct and there is no misunderstanding—the witness said...</p>
-
-<p class='pindent'>THE PRESIDENT: What I am pointing out to you is that the
-first sentence reads like this: “The material deposited by the SS
-included all these items taken from Jews, concentration camp
-victims, and other persons by the SS.” And it then goes on, “This
-was brought to our knowledge by the SS personnel who attempted
-to convert this material into cash.” What you are now putting to
-him is that that acceptance was put to him earlier. At least that is
-what I understood you to say.</p>
-
-<p class='pindent'>DR. SAUTER: No; the witness said today that he was told only
-during his interrogations in Frankfurt-on-Main that these articles
-had been taken from concentration camp victims, <span class='it'>et cetera</span>. The
-affidavit, however, can and must be interpreted in my opinion as
-saying that he received this information, already before his arrest,
-through the SS personnel and that apparently is not true. For that
-reason I asked the witness whether this expression in the affidavit
-is not a misunderstanding.</p>
-
-<p class='pindent'>Now, Witness, if I may repeat this: You first heard that these
-articles belonged to concentration camp victims at your interrogation?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: And when did you learn what was contained in
-this deposit; when did you know that, to pick out one example, gold
-teeth were contained in it?</p>
-
-<p class='pindent'>PUHL: Not at all. No details of this transaction were submitted
-to the Directorate by the strong-room or safe officials.</p>
-
-<p class='pindent'>DR. SAUTER: So of this, too, you heard only after your arrest?</p>
-
-<p class='pindent'>PUHL: Of the details, yes.</p>
-
-<p class='pindent'>DR. SAUTER: Good. Now, you speak of an agreement which,
-according to the statement of Funk, Himmler, the Reichsführer of
-the SS, is said to have made with the Reich Minister of Finance.
-What do you know about this agreement?</p>
-
-<p class='pindent'>PUHL: That is the agreement I have already mentioned. It was
-clear from the beginning that the value of the things deposited
-with us was to be credited to the Ministry of Finance.</p>
-
-<p class='pindent'>DR. SAUTER: Not to the SS?</p>
-
-<p class='pindent'>PUHL: No, not to the SS.
-<span class='pageno' title='571' id='Page_571'></span></p>
-
-<p class='pindent'>DR. SAUTER: Why not? The SS were the depositors, were they
-not?</p>
-
-<p class='pindent'>PUHL: Yes, but they maintained that their actions were carried
-out in the name and on behalf of the Reich and its accounts.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, do you know whether these valuables,
-which in some way had been confiscated or stolen by the SS in the
-East, were placed as a matter of principle at the disposal of the
-Reich Ministry of Finance?</p>
-
-<p class='pindent'>PUHL: I did not quite understand the question. Are you referring
-to these articles or to confiscated articles, valuables in general?</p>
-
-<p class='pindent'>DR. SAUTER: To all valuables. I am speaking of gold, foreign
-currency, and so forth, all these valuables acquired by the SS in
-the East; were they all to be placed at the disposal of the Reich
-Ministry of Finance, and not of the Reichsbank?</p>
-
-<p class='pindent'>PUHL: The equivalent value?</p>
-
-<p class='pindent'>DR. SAUTER: Yes, the equivalent value.</p>
-
-<p class='pindent'>PUHL: The equivalent value was credited to the Reich Ministry
-of Finance.</p>
-
-<p class='pindent'>DR. SAUTER: In this connection, Witness, may I show you two
-accounts. I do not know whether you have seen them. They are
-two accounts of the chief cashier’s office of your bank.</p>
-
-<p class='pindent'>PUHL: Yes, to us.</p>
-
-<p class='pindent'>DR. SAUTER: I should like you, then, to look at them, and to tell
-me whether you have seen them before and what you know about
-them?</p>
-
-<p class='pindent'>PUHL: I saw these two copies—photostat copies—during my
-interrogations.</p>
-
-<p class='pindent'>DR. SAUTER: But not earlier?</p>
-
-<p class='pindent'>PUHL: No, not earlier. And from these photostat copies it is
-clear—we have just discussed it—that the equivalent value was to
-be credited to the Reich Chief Cashier’s Office, as it says here; the
-Reich Chief Cashier’s Office was a part of the Ministry of Finance.</p>
-
-<p class='pindent'>DR. SAUTER: So apparently it is connected with this agreement,
-of which you heard, that finally all these things belonged to the
-Reich Ministry of Finance, to the Reich.</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Now I have one more question on this subject.
-And I would like to know whether perhaps there is a misunderstanding
-in this case too. You say in the affidavit that Funk told you
-this matter should be kept absolutely secret; that is the wording.
-You did not mention this point at all today, although we have the
-<span class='pageno' title='572' id='Page_572'></span>
-affidavit in front of us. Will you say now whether this is true or
-whether it is a misunderstanding?</p>
-
-<p class='pindent'>PUHL: That it should be kept secret? No.</p>
-
-<p class='pindent'>DR. SAUTER: Yes.</p>
-
-<p class='pindent'>PUHL: Of course, this matter was to be kept secret, but then
-everything that happens in a bank must be kept secret.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, this statement cannot, of course, satisfy
-us. Did you, during your interrogation of 3 May, say what is contained
-in this document, namely, that the matter was to be kept
-absolutely secret, or did you express yourself in different words?</p>
-
-<p class='pindent'>PUHL: No, the wording of the affidavit is correct; the matter
-was to be kept absolutely secret.</p>
-
-<p class='pindent'>DR. SAUTER: Why?</p>
-
-<p class='pindent'>PUHL: Why? Because, plainly, such matters are usually kept
-secret and are not publicized; furthermore, these things came from
-the East. I repeat what I said before, that our attitude towards
-confiscated articles was always to avoid them.</p>
-
-<p class='pindent'>DR. SAUTER: Did it strike you as unusual that the Defendant
-Funk spoke of keeping the matter secret?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: Or did it not strike you as unusual?</p>
-
-<p class='pindent'>PUHL: Not as unusual.</p>
-
-<p class='pindent'>DR. SAUTER: Not as unusual?</p>
-
-<p class='pindent'>PUHL: No. It was merely decided in the conversation that since
-we were not willing to accept the confiscated articles of the foreign
-exchange control offices and the customs offices, we should, naturally,
-insist on secrecy in accepting these articles.</p>
-
-<p class='pindent'>DR. SAUTER: Yes. But from your account of the matter, it
-appears that, on one hand, you considered the business to be perfectly
-legal, and you yourself say that it was perfectly legal; on
-the other hand, secrecy was for you, as an old banking expert, a
-matter of course. Now the question arises, why then was the subject
-of keeping the matter secret discussed at all?</p>
-
-<p class='pindent'>PUHL: Herr Funk himself had been asked to keep the matter as
-secret as possible, and he passed on that request.</p>
-
-<p class='pindent'>DR. SAUTER: When did Funk tell you that he had been asked
-to keep it secret?</p>
-
-<p class='pindent'>PUHL: I do not remember that.</p>
-
-<p class='pindent'>DR. SAUTER: Did you not ask him why it should be kept secret,
-absolutely secret, as you say? I do not know whether you still
-maintain “absolutely secret”?
-<span class='pageno' title='573' id='Page_573'></span></p>
-
-<p class='pindent'>PUHL: Yes, a special duty of observing secrecy was to be imposed
-on the officials.</p>
-
-<p class='pindent'>DR. SAUTER: Well, what did you, as Vice President, as
-Managing Vice President, say to that?</p>
-
-<p class='pindent'>PUHL: I did not say anything because, if that had been agreed
-upon, then this wish would have to be complied with.</p>
-
-<p class='pindent'>DR. SAUTER: But you do not know whether it had been agreed
-upon?</p>
-
-<p class='pindent'>PUHL: Well, I assume that it was agreed upon.</p>
-
-<p class='pindent'>DR. SAUTER: You consider it possible?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: And—to repeat this—you did not at all see the
-articles which arrived?</p>
-
-<p class='pindent'>PUHL: No, not at all.</p>
-
-<p class='pindent'>DR. SAUTER: And probably you do not know how many there
-were?</p>
-
-<p class='pindent'>PUHL: No, I do not know that either; and, as I said before, I
-never saw an account; that was not in conformity with our procedure,
-as individual transactions were not submitted to the members
-of the Directorate.</p>
-
-<p class='pindent'>DR. SAUTER: I ask because recently, when this case was discussed,
-it was asserted that whole truckloads of such articles, whole
-truckloads had arrived. You are already laughing and you will laugh
-more when I tell you that 47 truckloads of gold were said to have
-arrived at your bank; and you knew nothing about them?</p>
-
-<p class='pindent'>PUHL: I have never heard of that.</p>
-
-<p class='pindent'>DR. SAUTER: You heard nothing about that? Witness, we will
-leave this point and turn to the second point in your affidavit of
-May, with which we can deal very briefly.</p>
-
-<p class='pindent'>I think you knew Herr Pohl, SS Obergruppenführer Pohl, of
-whom you spoke just now, already in 1942?</p>
-
-<p class='pindent'>PUHL: Yes, but none the less this was the first occasion on which
-Pohl came to my office.</p>
-
-<p class='pindent'>DR. SAUTER: This is no reproach, I just wanted to establish a
-fact. You knew him as a result of this first credit transaction which
-took place at an earlier time.</p>
-
-<p class='pindent'>PUHL: Yes, that may be.</p>
-
-<p class='pindent'>DR. SAUTER: The Defendant Funk says, you see, that as far as
-he can remember this credit matter—and he did not attach any
-special significance to it at the time—it was negotiated about 1940,
-<span class='pageno' title='574' id='Page_574'></span>
-some time before the other transaction. Can that be true? Approximately?</p>
-
-<p class='pindent'>PUHL: I can neither deny nor confirm that; I no longer recall
-the date of the credit.</p>
-
-<p class='pindent'>DR. SAUTER: Well, in your affidavit you state, with reference
-to this credit, that the Reichsbank had granted a credit of 10 or 12
-millions to the SS, I believe to pay off a loan which the SS had
-taken up with another bank. And you say that this credit was used
-for financing production in factories directed by the SS, where
-workers from concentration camps were employed.</p>
-
-<p class='pindent'>Witness, I am not primarily interested in this credit as such
-because it was, of course, part of your business as a bank; and the
-figure of, I think, 10 or 12 millions was also not unusual. But I am
-interested in how you knew that this money was to be used for SS
-factories in which workers from concentration camps were employed.
-How did you know that?</p>
-
-<p class='pindent'>PUHL: The application for credit came from the Economic Department
-of the SS which I have mentioned before. This department
-was directing a number of factories in Germany, and needed money
-for that purpose. The Gold Discount Bank was prepared to give this
-credit, but only in the form of regular business credits. In other
-words, the debtor had to submit a balance sheet to us and at regular
-intervals had to report on his production, his general financial position,
-his plans for the immediate future, in short, all matters on
-which a debtor is bound to inform his creditor.</p>
-
-<p class='pindent'>The board of directors of the Gold Discount Bank conducted
-these negotiations, in which the representatives of the Economic
-Department, who submitted the balance sheets, naturally discussed
-their production program, which was remarkable insofar as the
-wage figures affecting the balance were comparatively low. And so
-the natural question arose: Why is your wage account so low? The
-director of the Gold Discount Bank reported on this subject to the
-board meeting of the Gold Discount Bank.</p>
-
-<p class='pindent'>DR. SAUTER: You always refer to the Gold Discount Bank. The
-Tribunal would be interested to know whether the Gold Discount
-Bank is identical with the Reichsbank, whether it was also under
-the jurisdiction of the Defendant Funk and your own, and what was
-its position?</p>
-
-<p class='pindent'>PUHL: The Gold Discount Bank was an institute subsidiary to
-the Reichsbank; it was founded in the twenties for various purposes,
-not only for the promotion of exports, but also for the increase of
-production. The capital structure...</p>
-
-<p class='pindent'>DR. SAUTER: No, we are not interested in that.
-<span class='pageno' title='575' id='Page_575'></span></p>
-
-<p class='pindent'>PUHL: Practically all the shares were in the hands of the Reichsbank.
-The Gold Discount Bank had a Board of Directors always
-headed by the President of the Reichsbank; it also had a deputy
-chairman who was the Second Vice President of the Reichsbank,
-and the Board of Directors itself included a number of members of
-the Directorate of the Reichsbank, and also the State Secretaries of
-the Ministry of Economics and of the Ministry of Finance.</p>
-
-<p class='pindent'>THE PRESIDENT: It is not interesting to us to know who the
-exact directors of the Gold Discount Bank were.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, I wanted, in fact, to interrupt you earlier,
-and tell you that what you have just related is without significance
-for the Trial. To me and to the Tribunal it is only of interest to
-hear whether the Defendant Funk, as far as you definitely remember,
-had knowledge of these matters, of the purpose of this credit
-and whether he knew that in these factories people from the concentration
-camps were employed? Do you, or do you not know?</p>
-
-<p class='pindent'>PUHL: I might assume that, but I cannot know it. At any rate,
-it was known that the credit was destined for these factories.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, I cannot be satisfied with that answer
-because the SS, as you have probably heard in the meantime,
-directed various undertakings in which no concentration camp
-inmates were employed. To my knowledge, for example, the porcelain
-factory at Allach did not apparently employ concentration camp
-inmates. Then for example, the entire personnel at the spas...</p>
-
-<p class='pindent'>MR. DODD: I object to testimony by counsel. He is practically
-giving the answer to this witness before he asks the question.</p>
-
-<p class='pindent'>DR. SAUTER: Do you know whether the SS had undertakings in
-which no concentration camp inmates were employed?</p>
-
-<p class='pindent'>PUHL: I did not, of course, know every individual business run
-by the SS, nor could I know in each case whether prisoners were or
-were not employed.</p>
-
-<p class='pindent'>DR. SAUTER: Was the Defendant Funk present at all during the
-meeting at which this credit was discussed?</p>
-
-<p class='pindent'>PUHL: No, he was not present; the records of the proceedings
-were submitted; we always adopted that procedure.</p>
-
-<p class='pindent'>DR. SAUTER: Then did the Defendant Funk talk at all with the
-people who had given information on the unusual figures of the
-wage account?</p>
-
-<p class='pindent'>PUHL: No, that was done by the Board of Directors of the Gold
-Discount Bank.</p>
-
-<p class='pindent'>DR. SAUTER: That was done by the board of the Gold Discount
-Bank, not by the Defendant Funk?
-<span class='pageno' title='576' id='Page_576'></span></p>
-
-<p class='pindent'>Then, Mr. President, I have no further questions for the witness.</p>
-
-<p class='pindent'>MR. DODD: I have just a few questions to ask, Your Honor.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Whom have you talked to besides
-representatives of the Prosecution since you have arrived here in
-Nuremberg? Did you look at any paper?</p>
-
-<p class='pindent'>PUHL: I do not know all their names, I believe a Mr. Kempner,
-Mr. Margolis...</p>
-
-<p class='pindent'>MR. DODD: I am not asking you about the gentlemen of the
-Prosecution. I am asking you whom else you have talked to, if
-anybody, since you arrived here in Nuremberg. That doesn’t require
-very much thought. Have you talked to anybody else since you
-arrived here or not?</p>
-
-<p class='pindent'>PUHL: Only to the other prisoners in the corridor of our prison.</p>
-
-<p class='pindent'>MR. DODD: To no one else?</p>
-
-<p class='pindent'>PUHL: No one else.</p>
-
-<p class='pindent'>MR. DODD: Now, are you absolutely sure about that?</p>
-
-<p class='pindent'>PUHL: Yes, absolutely.</p>
-
-<p class='pindent'>MR. DODD: Did you talk to Dr. Stuckart over in the witness
-wing, and about your testimony that you were going to give here
-this morning? Answer that question.</p>
-
-<p class='pindent'>PUHL: Dr. Stuckart is one of the prisoners in the corridor of
-our witness wing.</p>
-
-<p class='pindent'>MR. DODD: I didn’t ask you that. I asked you if you didn’t talk
-to him a day or two ago about your testimony in this case?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>MR. DODD: Now, I think it is awfully important to you that I
-remind you that you are under oath here. I am going to ask you
-again if you didn’t talk to Dr. Stuckart over in this witness wing
-about your testimony or about the facts concerning Funk in this
-case?</p>
-
-<p class='pindent'>PUHL: No, I talked about all sorts of general matters.</p>
-
-<p class='pindent'>MR. DODD: You didn’t talk to four or five of those other people
-over there either about your testimony or about the facts here?</p>
-
-<p class='pindent'>PUHL: No, absolutely not.</p>
-
-<p class='pindent'>MR. DODD: All right. You know a man by the name of Thoms,
-T-h-o-m-s?</p>
-
-<p class='pindent'>PUHL: T-h-o-m-s? He was an official of the Reichsbank who
-worked in the vaults of the Reichsbank in Berlin.</p>
-
-<p class='pindent'>MR. DODD: You know the man, you do know him?</p>
-
-<p class='pindent'>PUHL: Yes.
-<span class='pageno' title='577' id='Page_577'></span></p>
-
-<p class='pindent'>MR. DODD: Now, you talked to him about these deposits put in
-by the SS, didn’t you, Herr Puhl?</p>
-
-<p class='pindent'>PUHL: To Herr Thoms, no.</p>
-
-<p class='pindent'>MR. DODD: You didn’t talk to him?</p>
-
-<p class='pindent'>PUHL: No, I have not seen Herr Thoms at all in Nuremberg, and
-only from a distance in Frankfurt.</p>
-
-<p class='pindent'>MR. DODD: I am not referring to Nuremberg now. We will get
-away from that for a minute. I mean during the time that these
-deposits were being made in the Reichsbank. Did you not talk to
-Herr Thoms about the deposits?</p>
-
-<p class='pindent'>PUHL: Yes, as has been stated here in the affidavit.</p>
-
-<p class='pindent'>MR. DODD: Well, never mind the affidavit for a few minutes.
-I have a few questions I want to ask you. I am particularly interested
-in this matter of secrecy. What did you tell Thoms about the
-requirement of secrecy with respect to these SS deposits? Did you
-tell Thoms about the requirement of secrecy with respect to these
-SS deposits?</p>
-
-<p class='pindent'>PUHL: I must add that I really talked with Herr Tonetti, because
-he was the person responsible; and Herr Thoms was only called in.
-I told both gentlemen that it was desired the matter be kept secret.</p>
-
-<p class='pindent'>MR. DODD: Did you say that it had to be kept a secret and that
-they must not discuss it with anybody else; that it was highly
-secret, a special transaction, and if anybody asked him about it, he
-was to say that he was forbidden to speak about it? Did you tell
-that to Herr Thoms in the Reichsbank?</p>
-
-<p class='pindent'>PUHL: Yes, that was the sense of what I said.</p>
-
-<p class='pindent'>MR. DODD: Well, that is what I am asking you. Why did you
-tell Thoms that he was not to speak about it; that it was absolutely
-forbidden; that it was highly secret, if it was just the ordinary confidence
-reposed in bank officials attached to a business relationship?</p>
-
-<p class='pindent'>PUHL: Because the Reichsbank President Funk personally conveyed
-this wish to me.</p>
-
-<p class='pindent'>MR. DODD: Well, now, I think perhaps there is some confusion
-in our minds. You see, I clearly understood, and I expect others as
-well as the Tribunal may have in the courtroom this morning, that
-you were telling counsel for Funk that the secrecy attached to these
-transactions was not extraordinary but just the ordinary secrecy or
-confidence that banking people attach to their relationship with
-customers. Now, of course, that wasn’t so, was it?</p>
-
-<p class='pindent'>PUHL: The position, as I explained it earlier, is this: These confiscated
-valuables were usually rejected by us when brought to the
-bank; and if an exception was now being made, then it was a matter
-<span class='pageno' title='578' id='Page_578'></span>
-of course that a greater amount of secrecy, a special obligation to
-maintain secrecy, should be observed.</p>
-
-<p class='pindent'>MR. DODD: I wish you would answer this question very directly.
-Wasn’t there a special reason for special secrecy with respect to
-these deposits by the SS? You can answer that Yes or No.</p>
-
-<p class='pindent'>PUHL: No, I did not perceive a special reason.</p>
-
-<p class='pindent'>MR. DODD: Then why were you telling Thoms that it was highly
-secret and he was to tell anybody who asked him about it that he
-was forbidden to speak about it? You didn’t ordinarily instruct your
-people to that effect, did you?</p>
-
-<p class='pindent'>PUHL: Because I myself had received this instruction.</p>
-
-<p class='pindent'>MR. DODD: That may be so, but that was a special secrecy,
-wasn’t it? That wasn’t your ordinary and customary way of doing
-business?</p>
-
-<p class='pindent'>PUHL: The confiscated articles were usually rejected when they
-reached us; if the exception which we made in this case became
-known, then it would immediately have provided an example for
-others; and that we wanted to avoid under all circumstances.</p>
-
-<p class='pindent'>MR. DODD: You didn’t want to discuss this matter on the telephone
-with Pohl of the SS, did you? You asked him to come to your
-office rather than talk about it on the telephone?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: Why was that, if it was just an ordinary business
-transaction?</p>
-
-<p class='pindent'>PUHL: Because one never knew to what extent the telephone
-was being tapped, and thus the transaction might have become
-known to others.</p>
-
-<p class='pindent'>MR. DODD: Well, you didn’t talk to anybody much on the telephone;
-is that right? You were a man that never used the telephone
-out of the Reichsbank? Now, I think you realize fully well that
-there was a special reason in this case for not wanting to talk on the
-telephone and I think you should tell the Tribunal what it was.</p>
-
-<p class='pindent'>PUHL: Yes; the reason was, as I have said repeatedly, that from
-the beginning special secrecy was desired, this desire was respected
-and adhered to everywhere, also as to this telephone call.</p>
-
-<p class='pindent'>MR. DODD: And you are still insisting that this transaction was
-not a special secret transaction that you told Dr. Kempner was a
-“Schweinerei.” Do you know what that word means?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: What does it mean? It means it smelled bad,
-doesn’t it?
-<span class='pageno' title='579' id='Page_579'></span></p>
-
-<p class='pindent'>PUHL: That we should not have done it.</p>
-
-<p class='pindent'>MR. DODD: Now, you called up Thoms on more than one occasion
-to ask him how the deposits from the SS were coming in, didn’t you?</p>
-
-<p class='pindent'>PUHL: No, I saw Thoms relatively seldom, often not for months,
-as he could hardly come to my office.</p>
-
-<p class='pindent'>MR. DODD: I didn’t ask you if you saw him often. I asked you
-if you didn’t call him on the telephone and ask him how the deposits
-were coming along?</p>
-
-<p class='pindent'>PUHL: No, I took no further interest in the conduct of this particular
-transaction. Moreover, the requesting of a report from the
-cashier would have been the proper procedure.</p>
-
-<p class='pindent'>MR. DODD: Did you tell him to get in touch with Brigadeführer
-Frank or Gruppenführer or Obergruppenführer Wolff of the SS?
-Did you tell that to Thoms?</p>
-
-<p class='pindent'>PUHL: Yes, I repeat what I said earlier; when Pohl was in my
-office he told me that he would appoint two people to negotiate the
-transaction with the Reichsbank, and they were the two people just
-mentioned; I passed on their names to the cashier’s office.</p>
-
-<p class='pindent'>MR. DODD: What was the name under which these deposits were
-known in the Reichsbank?</p>
-
-<p class='pindent'>PUHL: I heard of the name under which these deposits were
-known in the Reichsbank for the first time in Frankfurt, when I saw
-it in the files.</p>
-
-<p class='pindent'>MR. DODD: Don’t you know the name Melmer, M-e-l-m-e-r?</p>
-
-<p class='pindent'>PUHL: Yes, from my time in Frankfurt.</p>
-
-<p class='pindent'>MR. DODD: Didn’t you on one occasion call Herr Thoms on the
-telephone and ask him how the “Melmer” deposits were coming
-along?</p>
-
-<p class='pindent'>PUHL: I am afraid I didn’t quite understand.</p>
-
-<p class='pindent'>MR. DODD: Well, I say, didn’t you on one occasion at least call
-Herr Thoms on the telephone in the Reichsbank and ask him how
-the “Melmer” deposits were coming along?</p>
-
-<p class='pindent'>PUHL: No, I could not have put that question because I did not
-know the word “Melmer.”</p>
-
-<p class='pindent'>MR. DODD: You don’t know that Melmer was the name of an
-SS man? You don’t know that?</p>
-
-<p class='pindent'>PUHL: No, I did not know that.</p>
-
-<p class='pindent'>MR. DODD: I want you to look at an affidavit by Mr. Thoms,
-executed the 8th day of May 1946. You have seen this before, by the
-way; haven’t you, you saw it yesterday? Answer that question, will
-<span class='pageno' title='580' id='Page_580'></span>
-you please, Mr. Witness. You saw this affidavit yesterday, the one
-I just sent up to you? You saw that yesterday, didn’t you?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: You will observe in Paragraph 5 that Thoms, who
-executed this affidavit, said that he went to see you and that you
-told him that the Reichsbank was going to act as custodian for the
-SS and the receipt and disposition of deposits and that the SS would
-deliver the property, namely gold, silver and foreign currency; and
-you also explained that the SS intended to deliver numerous other
-kinds of property such as jewelry, and “we must find a way to
-dispose of it,” and that he suggested to you, Mr. Puhl, that:</p>
-
-<div class='blockquote'>
-
-<p>“We transmit the items to the Reichshauptkasse, as we did in
-the case of Wehrmacht booty, or that the items could be given
-by the Reichsführer-SS directly to the pawnshop for disposition,
-so that the Reichsbank had no more to do with it than it
-did in the case of confiscated Jewish property. Puhl told me
-that it was out of the question and that it was necessary that
-we arrange a procedure for handling this unusual property in
-order to hold the whole business secret.”</p>
-
-</div>
-
-<p class='noindent'>Then he goes on to say:</p>
-
-<div class='blockquote'>
-
-<p>“This conversation with Puhl occurred just a short time,
-approximately two weeks, before the first delivery, which
-occurred on 26 August 1942. The conversation was in the
-office of Herr Puhl; nobody else was present. I don’t remember
-if Herr Frommknecht was present during the whole time;
-and Puhl said it was very important not to discuss this with
-anybody, that it was to be highly secret, that it was a special
-transaction, and if anybody asked about it that I should say
-I was forbidden to speak about it.”</p>
-
-</div>
-
-<p class='noindent'>And on the next page you find, in Paragraph 8, Herr Thoms says:</p>
-
-<div class='blockquote'>
-
-<p>“I was told by Herr Puhl that if I had any questions on this
-matter I was to get in touch with Brigadeführer Frank or with
-Gruppenführer or Obergruppenführer Wolff of the SS. I
-remember getting the telephone number of this office, and
-I think I recall it was furnished me by Herr Puhl. I called
-Brigadeführer Frank about this, and he stated that the deliveries
-would be made by truck and would be in charge of an
-SS man by the name of Melmer. The question was discussed
-whether Melmer should appear in uniform or civilian clothes,
-and Frank decided it was better that Melmer appear out of
-uniform.”</p>
-
-</div>
-
-<p class='pindent'>And so on.</p>
-
-<p class='pindent'>Then, moving on down, he says, in Paragraph 10:
-<span class='pageno' title='581' id='Page_581'></span></p>
-
-<div class='blockquote'>
-
-<p>“When the first delivery was made, however, although Melmer
-appeared in civilian clothes, one or two SS men in uniform
-were on guard; and after one or two deliveries most of the
-people in the Hauptkasse and almost everybody in my office
-knew all about the SS deliveries.”</p>
-
-</div>
-
-<p class='pindent'>Then moving on again, Paragraph 12:</p>
-
-<div class='blockquote'>
-
-<p>“Included in the first statement sent by the Reichsbank, and
-signed by me, to Melmer was a question concerning the name
-of the account to which the proceeds should be credited. In
-answer to that I was orally advised by Melmer that the proceeds
-should be credited to the account of ‘Max Heiliger.’ I
-confirmed this on the telephone with the Ministry of Finance;
-and in my second statement to Melmer, dated 16 November
-1942, I confirmed the oral conversation.”</p>
-
-</div>
-
-<p class='pindent'>Now, the next paragraph is 13:</p>
-
-<div class='blockquote'>
-
-<p>“After a few months, Puhl called me and asked me how the
-Melmer deliveries were going along and suggested that
-perhaps they would soon be over. I told Puhl that the way
-the deliveries were coming in it looked as though they were
-growing.”</p>
-
-</div>
-
-<p class='pindent'>And then I call your attention to the next paragraph:</p>
-
-<div class='blockquote'>
-
-<p>“One of the first hints of the sources of these items occurred
-when it was noticed that a packet of bills was stamped with
-a rubber stamp, ‘Lublin.’ This occurred some time early in
-1943. Another hint came when some items bore the stamp,
-‘Auschwitz.’ We all knew that these places were the sites of
-concentration camps. It was the tenth delivery, in November
-1942, that dental gold appeared. The quantity of the dental
-gold became unusually great.”</p>
-
-</div>
-
-<p class='pindent'>Now, there is another paragraph, but I particularly want to call
-your attention to the fact that Thoms says you called him and asked
-him how the Melmer deliveries were going, and also to the fact that
-you, as he states in here, impressed upon him the need for absolute
-secrecy.</p>
-
-<p class='pindent'>And now, I want to ask you, after having seen that affidavit
-again—and you will recall that you told our people yesterday that
-that affidavit, insofar as your knowledge was concerned, was
-absolutely true—now I am going to ask you if it isn’t a fact that
-there was a very special reason for keeping this transaction secret.</p>
-
-<p class='pindent'>PUHL: In reading this statement, it is obvious that the desire for
-secrecy came from the SS; and this tallies exactly with what I said
-before, namely, that the SS emphasized that the desire for secrecy
-originated with them. And as we heard, they went so far as to
-invent an account—“Max Heiliger”—which was obviously, as is also
-<span class='pageno' title='582' id='Page_582'></span>
-clear from the statement, an account for the Reich Ministry of
-Finance. In other words, this tallies with what I have been saying,
-namely, that the obligation to keep the matter secret, this special
-obligation, was desired by the SS, and was carried out; and it
-applied even to the transfer of the equivalent value. As regards the
-second point, that I am supposed to have talked to Thoms, I already
-stated yesterday that I do not remember such a conversation among
-the very great number of conversations which I had at the bank
-daily. Nor can I imagine that I went to see him. That would have
-been a very unusual procedure.</p>
-
-<p class='pindent'>I do not recall the expression “Melmer deliveries” in that connection;
-but I suggest that it is used in this statement for simplicity’s
-sake, just to refer briefly to the subject under discussion.</p>
-
-<p class='pindent'>MR. DODD: It isn’t too important, but of course he says you
-called him on the telephone, that you didn’t go to see him. However,
-I offer this as Exhibit USA-852.</p>
-
-<p class='pindent'>THE PRESIDENT: This statement we have before us doesn’t
-appear to be sworn.</p>
-
-<p class='pindent'>MR. DODD: Well, the witness is here in Nuremberg. I will
-withdraw it and have it sworn to and submit it at a later date. I
-wasn’t aware that it wasn’t sworn to. He is here and available. I
-had him brought here in case any question, was raised about him.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Now, the Defendant Göring knew
-something about these deposits, too, didn’t he? Now that we are
-talking this thing all out, what about that?</p>
-
-<p class='pindent'>PUHL: I was not aware that Herr Göring knew anything about
-these things.</p>
-
-<p class='pindent'>MR. DODD: I show you a document that was found in the files
-of the Reich Treasury, the Reichsbank, rather. It is Number 3947-PS,
-and it is a new document. You haven’t seen this, by the way.</p>
-
-<p class='pindent'>Now, this is a memorandum in the files, dated 31 March 1944,
-and it says, its subject is:</p>
-
-<div class='blockquote'>
-
-<p>“Utilization of jewels, and so forth, which have been acquired
-by official agencies in favor of the Reich.</p>
-
-<p>“According to an oral confidential agreement between the
-Vice President, Mr. Puhl, and the chief of one of Berlin’s
-public offices, the Reichsbank has taken over the converting
-of domestic and foreign moneys, gold and silver coins, precious
-metals, securities, jewels, watches, diamonds, and other
-valuable articles. These deposits will be processed under the
-code name ‘Melmer.’</p>
-
-<p>“The large amounts of jewelry, and so forth, acquired hereby
-have previously been turned over—after checking the number
-<span class='pageno' title='583' id='Page_583'></span>
-of pieces and, insofar as they had not been melted down, the
-approximate weights given—to the Municipal Pawn Shop,
-Division III, Main Office, Berlin N 4, Elsässer Strasse 74, for
-the best possible realization of value.”</p>
-
-</div>
-
-<p class='pindent'>I am not going to read all of it. It goes on with more material
-about the pawnshop, but I want to call your attention to the paragraph
-beginning:</p>
-
-<div class='blockquote'>
-
-<p>“The Reich Marshal of the Greater German Reich, the Delegate
-for the Four Year Plan, informs the Reichsbank in his
-letter of 19 March 1944, copy of which is enclosed, that the
-considerable amounts of gold and silver objects, jewels, and
-so forth at the Main Office of Trustees for the East (Haupttreuhandstelle
-Ost) are to be delivered to the Reichsbank
-according to an order issued by Reich Ministers Funk and
-Graf Schwerin von Krosigk. The converting of these objects
-must be accomplished in the same way as the ‘Melmer’
-deliveries.</p>
-
-<p>“At the same time the Reich Marshal informs us on the converting
-of objects of the same kind which have been acquired
-in the occupied western territories. We do not know to which
-office these objects have been delivered and how they are
-liquidated.”</p>
-
-</div>
-
-<p class='pindent'>Then there is more about an inquiry and more about this whole
-business, the pawnshops, and so on. But, first of all, I want to ask
-you: In the first paragraph it says “according to a confidential oral
-agreement between you and the chief of one of Berlin’s public
-offices”—who was this chief of the Berlin public office who had a
-confidential agreement about this business with you?</p>
-
-<p class='pindent'>PUHL: That was Herr Pohl. This is the agreement of which we
-spoke this morning.</p>
-
-<p class='pindent'>MR. DODD: That was Herr Pohl of the SS, wasn’t it?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: And that was this whole transaction; this whole SS
-transaction that this memorandum is about, that much of it is about?</p>
-
-<p class='pindent'>PUHL: This is a report from our cashier, and in line with the
-obligation of secrecy the words “SS Economic Department” have
-been avoided and the more general term “the head of a Berlin
-public office” is used.</p>
-
-<p class='pindent'>MR. DODD: And later on in the paragraph it refers to the
-incoming objects to be processed under the code name “Melmer,”
-M-e-l-m-e-r. That is the name I asked you a few minutes ago if
-you recognized, isn’t it?</p>
-
-<p class='pindent'>PUHL: I didn’t understand the question.
-<span class='pageno' title='584' id='Page_584'></span></p>
-
-<p class='pindent'>MR. DODD: Well, the last sentence in this paragraph says: “All
-incoming deposits will be processed under the code name ‘Melmer.’ ”
-M-e-l-m-e-r. That is the name I asked you about a few minutes ago,
-and you said you didn’t know it.</p>
-
-<p class='pindent'>PUHL: Yes, and this statement also shows that I couldn’t have
-known it, because only now, in this statement, is it disclosed that
-the name “Melmer” was used.</p>
-
-<p class='pindent'>MR. DODD: I think if you will read it you will see that it shows
-just the opposite. It says, according to the oral confidential agreement
-between you and Pohl of the SS the Reichsbank took over the
-selling, and so on, of gold, silver coins, and so forth. “All incoming
-deposits will be processed under the code name ‘Melmer.’ ”</p>
-
-<p class='pindent'>You are not telling this Tribunal that a transaction like this was
-going on in your bank over which you were Vice President, under
-a code name, and you didn’t know it, and you were the man who
-was dealing directly with the SS man. Are you seriously saying that
-to this Court?</p>
-
-<p class='pindent'>PUHL: Yes. The word “Melmer” was never used in my presence.
-But our treasury directors could use code words for the accounts of
-clients who preferred not to give their own names and the names of
-their institutions; and the treasury made use of a code word in this
-case too.</p>
-
-<p class='pindent'>MR. DODD: You will observe that this is the second time this
-morning that we have run across the name Melmer. Herr Thoms
-says you used that term in talking to him, and now we find it in
-one of your own bank memorandums, which is a captured document.
-Are you still saying that you don’t know the term?</p>
-
-<p class='pindent'>PUHL: This memorandum wasn’t made for me, but for the
-responsible treasury official. And specifically in order to acquaint
-him with the arrangements made by the treasury, the memorandum
-states under what code name this transaction will be carried out.</p>
-
-<p class='pindent'>MR. DODD: Herr Puhl, look up at me a minute, will you. Didn’t
-you tell Lieutenant Meltzer, Lieutenant Margolis, and Dr. Kempner,
-when they were all together with you, that all of this business with
-the SS was common gossip in the Reichsbank? These gentlemen who
-are sitting right here, two of them at the United States table and
-one up here. You know them. Now I want you to think a minute
-before you answer that question.</p>
-
-<p class='pindent'>PUHL: We talked of the fact that the secret was not kept, and in
-the long run it is not possible to keep a permanent secret in a bank;
-but that has nothing to do with it. What we were speaking of just
-now were the technical details, how this sort of transaction was
-carried out; those details did not become general knowledge. What
-<span class='pageno' title='585' id='Page_585'></span>
-naturally could not be avoided was the transaction as such becoming
-known.</p>
-
-<p class='pindent'>MR. DODD: Now, in case you don’t understand me, we are not
-talking about that. I think you cannot help but remember because
-this is only a day or so ago, and in this building, you had a conversation
-with these gentlemen, didn’t you? And I am now asking
-you if it isn’t a fact that you told them that this whole SS transaction
-with the bank was common gossip in the bank.</p>
-
-<p class='pindent'>PUHL: There was a general whisper in the bank about this
-transaction; but details were, of course, not known.</p>
-
-<p class='pindent'>MR. DODD: Are you worried about your part in this? I think
-that is a fair question in view of your affidavit in your testimony.
-Are you concerned about what you had to do with this business?
-Are you?</p>
-
-<p class='pindent'>PUHL: No. I myself, once the matter had been set in motion,
-had nothing further to do with it. And in the statement, which you
-have submitted, Herr Thoms himself admits that he did not see me
-at all for months. The Directorate never discussed this matter in its
-meetings and was never approached for a decision.</p>
-
-<p class='pindent'>MR. DODD: You know, when the Defendant Funk was on the
-stand, he said that you were the one who first told him about the SS
-business. Is that your version of it?</p>
-
-<p class='pindent'>PUHL: No. My recollection is that the first conversation took
-place in the office of President Funk; and he told me, for reasons
-which I stated earlier, that we wanted to oblige the SS by taking
-over these “deposits”—that was the word used.</p>
-
-<p class='pindent'>MR. DODD: You put it more strongly than that the other day
-when you thought about it, when you said “Can you imagine
-Himmler talking to me instead of Funk”? Do you remember saying
-that to these gentlemen?</p>
-
-<p class='pindent'>PUHL: I’m sorry I didn’t understand the last question.</p>
-
-<p class='pindent'>MR. DODD: Well, it is not too important. I say, don’t you
-remember telling these gentlemen, Lieutenant Meltzer, Lieutenant
-Margolis, don’t you remember making this statement that Himmler
-wouldn’t talk to you as Vice President of the Bank, but that he
-would talk to Funk. You were quite upset when we told you that
-Funk had said that you were the man who originated this.</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: You got terribly upset about it. Don’t you remember
-that?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: Finally, this question: Are you serious in
-saying that you didn’t know about these deposits until you were
-<span class='pageno' title='586' id='Page_586'></span>
-interrogated in Frankfurt, or what the nature of them was? In view
-of the Thoms affidavit, this exhibit that I have just shown you, and
-the whole examination this morning, do you want your testimony
-to close with the statement that you actually didn’t know what was
-in these deposits at any time?</p>
-
-<p class='pindent'>PUHL: I saw the statement put before me today, the statement
-by the treasury official put before me today, for the first time in
-Frankfurt, and never before. Moreover, I did not and could not, as
-Vice President, concern myself with the details of this transaction,
-for I was responsible for general economic and currency policy and
-for credits and such things. Besides, we had a whole staff of highly
-qualified officials in our treasury office; and if it had been necessary,
-they would have had to make a report to the Directorate of the
-Reichsbank.</p>
-
-<p class='pindent'>MR. DODD: Of course you don’t deny that you knew there were
-jewels and silver and all these other things in the deposits, do you?</p>
-
-<p class='pindent'>PUHL: The German term “Schmucksachen,” jewelry, was
-always used.</p>
-
-<p class='pindent'>MR. DODD: All right! Let’s see what you did know was in the
-deposits? You knew there was jewelry, some jewelry, there. You
-knew there was some currency. You knew there were coins. You
-knew there were other articles. Now, the only thing you didn’t know
-was the dental gold; is that so?</p>
-
-<p class='pindent'>PUHL: That is true, certainly. It was known from the outset,
-and Herr Pohl had told me, that the greater part of these deposits
-contained mainly gold, foreign currency, silver coins, and, he added,
-also “some jewelry.”</p>
-
-<p class='pindent'>MR. DODD: Well, now, the question I think you can answer
-simply is: Everything that is mentioned in your affidavit except the
-dental gold you did know was on deposits from the SS. Don’t you
-understand that question? I don’t think it is complicated. You don’t
-need to read anything, Herr Puhl. If you will just look up here, I
-am asking you if you know about everything that is mentioned in
-your affidavit except the dental gold.</p>
-
-<p class='pindent'>PUHL: Well, I knew about jewelry, but I did not know in detail
-what kind of jewelry it was.</p>
-
-<p class='pindent'>MR. DODD: I am not asking you about details. I am simply
-asking if you did know it was there. You knew there was currency
-there, and you knew there were other articles there. Those are about
-the only things that are mentioned excepting the dental gold, and
-that is the one thing you seem now not to have known.</p>
-
-<p class='pindent'>PUHL: Yes, I knew, in general, that the deposits contained gold
-and foreign currency, and I repeat that the jewelry...
-<span class='pageno' title='587' id='Page_587'></span></p>
-
-<p class='pindent'>MR. DODD: And jewelry?</p>
-
-<p class='pindent'>PUHL: I knew that there was jewelry.</p>
-
-<p class='pindent'>MR. DODD: So the only thing you say now you didn’t know was
-the dental gold. That is all I am asking you. Why don’t you answer
-that? It doesn’t take very long. Isn’t that so? The only thing you
-didn’t know was the dental gold.</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>MR. DODD: Well, what else is mentioned you didn’t know about?</p>
-
-<p class='pindent'>PUHL: Spectacle frames, for example, were also mentioned.</p>
-
-<p class='pindent'>MR. DODD: You didn’t know about those either? All right, I
-will include those, spectacle frames and dental gold. These are the
-two things you didn’t know about?</p>
-
-<p class='pindent'>PUHL: Information I received contained only the general term
-“jewelry.”</p>
-
-<p class='pindent'>MR. DODD: They are the two matters that you had the most to
-worry about, aren’t they, eyeglass frames and dental gold?</p>
-
-<p class='pindent'>I have no further questions, Mr. President.</p>
-
-<p class='pindent'>THE PRESIDENT: One moment, please. Don’t take that man
-away.</p>
-
-<p class='pindent'>[<span class='it'>Turning to the witness.</span>] Have you got a copy of your affidavit
-before you?</p>
-
-<p class='pindent'>PUHL: Of 3 May, yes.</p>
-
-<p class='pindent'>THE PRESIDENT: Have you only got one copy of it?</p>
-
-<p class='pindent'>PUHL: I must just look—Yes, I have another copy.</p>
-
-<p class='pindent'>THE PRESIDENT: Let me have it, please, will you?</p>
-
-<p class='pindent'>This document will be identified, and form part of the record. It
-had better be given whatever the appropriate number is.</p>
-
-<p class='pindent'>MR. DODD: I believe, Mr. President, that it is already in evidence.</p>
-
-<p class='pindent'>THE PRESIDENT: Not this particular document, it is not. This
-is the particular document he had before him; it has got a number
-of manuscript notes on it, and is in the English language.</p>
-
-<p class='pindent'>Mr. Dodd, you had better look at it.</p>
-
-<p class='pindent'>MR. DODD: All right, Sir.</p>
-
-<p class='pindent'>I believe it would become Exhibit USA-851; I think that is the
-next number in sequence.</p>
-
-<p class='pindent'>THE PRESIDENT: Exhibit USA-851; very well.</p>
-
-<p class='pindent'>MR. DODD: I might say I think there is one question that might
-be helpful to the Tribunal with respect to this affidavit.
-<span class='pageno' title='588' id='Page_588'></span></p>
-
-<p class='pindent'>Herr Puhl, you personally typed up a large part of this affidavit
-yourself, did you not, or wrote it up, or dictated it?</p>
-
-<p class='pindent'>PUHL: A complete draft was put before me, and I altered it
-accordingly.</p>
-
-<p class='pindent'>THE PRESIDENT: One moment; and then signed it after you
-had altered it?</p>
-
-<p class='pindent'>[<span class='it'>The witness nodded assent.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Do not nod; please answer. You said, “A complete
-draft was put before me, and I altered it.” And I ask you, did
-you then sign it?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: And did you also initial those places that you
-altered on the original? Did you not put your initials in each place
-that you wanted to make a change?</p>
-
-<p class='pindent'>Isn’t that so?</p>
-
-<p class='pindent'>PUHL: No; we copied it again, it was completely rewritten...</p>
-
-<p class='pindent'>MR. DODD: I know you copied it anew. Did you not mark the
-places that you wanted changed and say how you wanted it changed?
-You did, did you not?</p>
-
-<p class='pindent'>PUHL: Yes; but that is of minor importance; for instance, the
-word for “Reichsbank” was changed to “Gold Discount Bank,” and
-there were similar editorial changes.</p>
-
-<p class='pindent'>MR. DODD: Well, I thought it might be helpful to the Tribunal
-to know that it was rewritten and initialed.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Francis Biddle, Member for the United
-States): Mr. Witness, I want to ask you a few questions. The first
-you heard about these transactions was from the Defendant Funk,
-was it not?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Did Funk tell you who had told
-him about them in the SS?</p>
-
-<p class='pindent'>PUHL: Himmler.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Himmler had spoken to Funk
-about this? Who else, besides Himmler and Funk, was present when
-Funk talked to Himmler about this?</p>
-
-<p class='pindent'>PUHL: That I do not know.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): You do not know if Pohl was
-there also?
-<span class='pageno' title='589' id='Page_589'></span></p>
-
-<p class='pindent'>PUHL: That I cannot say but I can say that from the very
-beginning the name of the Minister of Finance was mentioned in this
-connection. But whether he was personally present, I do not know.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Did Funk say to you what
-Himmler said to him?</p>
-
-<p class='pindent'>PUHL: He asked that the facilities of the Reichsbank be placed
-at the disposal of the SS for this purpose.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Then shortly after that, you took
-the matter up at the meeting of the Board of Directors?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Was Funk at that meeting?</p>
-
-<p class='pindent'>PUHL: No, he was not.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): What did you say to the Board
-of Directors?</p>
-
-<p class='pindent'>PUHL: I reported to the Directorate briefly on the transaction.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): What did you say to them?</p>
-
-<p class='pindent'>PUHL: In a few words I described my conversation with Herr
-Funk and my conversation with Herr Pohl, and I confirmed the fact
-that the Reichsbank would take the valuables of the SS into their
-vaults.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): And then did the Board of Directors
-approve the action?</p>
-
-<p class='pindent'>PUHL: Yes; there was no objection.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Now, the defendant Funk said to
-you that these objects had come “from the East,” did he not?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): What did you understand that he
-meant by that phrase, “from the East”?</p>
-
-<p class='pindent'>PUHL: Principally Poland, occupied Poland. But some Russian
-territories might also have been included in that phrase.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): You knew that this was confiscated
-property, I presume?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Now, you told Pohl that the
-Bank would perform certain services in handling the property, did
-you not?</p>
-
-<p class='pindent'>PUHL: Pohl asked me to place the good services of the Bank
-at the disposal of his men. That I agreed to do.
-<span class='pageno' title='590' id='Page_590'></span></p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): And did those services include
-arranging the property, putting it in sacks and describing it?</p>
-
-<p class='pindent'>PUHL: That was not talked about.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): I did not ask you whether it was
-talked about. I asked you whether the services included arranging
-the property and putting it in different kinds of containers and sacks.
-Is that what you did?</p>
-
-<p class='pindent'>PUHL: Yes, that was a matter for the decision of the treasury
-directors; if they considered it necessary, they could do it.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Was that done?</p>
-
-<p class='pindent'>PUHL: That I cannot know. It is a treasury matter.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, may I put two more questions, two
-very brief questions?</p>
-
-<p class='pindent'>THE PRESIDENT: Very well, Dr. Sauter.</p>
-
-<p class='pindent'>DR. SAUTER: The one question, Witness, is this: You have been
-repeatedly asked here who has talked to you during the past few
-days.</p>
-
-<p class='pindent'>PUHL: Here in Nuremberg?</p>
-
-<p class='pindent'>DR. SAUTER: Yes, in Nuremberg. You know that several members
-of the Prosecution have discussed this with you during the last
-few days. I should like to establish here: Have I talked to you?</p>
-
-<p class='pindent'>PUHL: No, I am seeing you for the first time in my life today.</p>
-
-<p class='pindent'>DR. SAUTER: I just wanted to establish this, for the sake of
-correctness. And the second question is this—actually you have
-already confirmed this, but after the charge of the Prosecution I
-should like to hear it from you again—in all these negotiations or
-in the documents which have been submitted and which you have
-of course read, was mention ever made of the fact that these things
-came from concentration camps?</p>
-
-<p class='pindent'>PUHL: The word “concentration camp” was used neither during
-the conversation with Herr Funk nor during the conversation with
-Herr Pohl.</p>
-
-<p class='pindent'>DR. SAUTER: And Herr Funk did not give you an indication of
-that sort, either.</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>DR. SAUTER: Then I have no further questions, Mr. President;
-thank you.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness can retire, and the Tribunal will
-adjourn.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'><span class='pageno' title='591' id='Page_591'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, you did offer 3947-PS as an
-exhibit, did you not?</p>
-
-<p class='pindent'>MR. DODD: Yes, Sir, I did, as Exhibit USA-850, I believe it was.</p>
-
-<p class='pindent'>THE PRESIDENT: 850, was it? Yes, and then that copy of the
-Puhl affidavit was USA-851?</p>
-
-<p class='pindent'>MR. DODD: Yes, Sir, that is right. I did not offer the other affidavit
-because we discovered it wasn’t sworn to as yet. I propose
-to do so and with your permission I delay the date. I have that
-witness here. This thing can’t go on interminably, and I don’t want
-to drag it on; but I would like to offer it as an affidavit when I can
-have him swear to it, and if there is going to be any demand for
-him I might respectfully suggest that Dr. Sauter states it now. He
-is not a prisoner, Mr. President, the witness Thoms. He is a free
-man in this country.</p>
-
-<p class='pindent'>THE PRESIDENT: You are suggesting that he should be called
-now?</p>
-
-<p class='pindent'>MR. DODD: If he is going to be called, I would suggest that it
-be done soon.</p>
-
-<p class='pindent'>THE PRESIDENT: If he wants to cross-examine him he should
-be called now.</p>
-
-<p class='pindent'>MR. DODD: I should be glad to have him now.</p>
-
-<p class='pindent'>DR. SEIDL: Mr. President, I am representing Attorney Dr. Kauffmann
-for the Defendant Göring. The Defendant Göring asked me
-to put two questions to the witness Puhl during his re-examination.
-The questions would probably be connected with the document
-which the Prosecution brought up in cross-examination of the
-witness Puhl, Document 3947-PS, of which the Prosecution read
-Page 2, Paragraph 3, beginning, “The Reich Marshal of the Greater
-German Reich, Delegate for the Four Year Plan...”</p>
-
-<p class='pindent'>THE PRESIDENT: One moment, Dr. Seidl. If you want to put
-questions to the witness Puhl on behalf of the Defendant Göring
-you can do so and Puhl will be recalled for that purpose.</p>
-
-<p class='pindent'>DR. SEIDL: Mr. President, the difficulty consists of something
-else. The Defendant Göring says, and I think rightly, that he can
-put his questions to the witness with reason only if he has an
-opportunity of seeing the document to which the Prosecution referred.
-Therefore, during the cross-examination I wanted to have the guard
-pass on Document 3947-PS to Defendant Göring. That was refused,
-however, on the grounds that, by an order of the Commandant of the
-Prison, during the proceedings documents can no longer be handed
-to those defendants whose cases have already been concluded.
-<span class='pageno' title='592' id='Page_592'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Although the document was read over the
-earphones the Defendant Göring and yourself shall certainly see the
-document, but the witness must be called during this sitting. You
-may see the document and the Defendant Göring may see the document,
-but the witness must be recalled for any questions at once.</p>
-
-<p class='pindent'>DR. SEIDL: Mr. President, only excerpts were read from the
-document. In my opinion the Defendant Göring is right in saying:
-If I am to ask a sensible question I must know the whole document.
-I think there are only two possibilities; either the Prosecution must
-refrain from presenting new material during cross-examination of
-the defendants whose cases are said to have already been concluded,
-or the defendant must be given the opportunity of seeing this
-evidence...</p>
-
-<p class='pindent'>THE PRESIDENT: Don’t go too fast!</p>
-
-<p class='pindent'>DR. SEIDL: ...or the defendant must be given the opportunity
-of seeing the evidence newly introduced, and when only excerpts of
-a document are read, he must have access to the whole document.</p>
-
-<p class='pindent'>THE PRESIDENT: The document is only just over one page and
-there is only one paragraph in it which refers to Göring. And that
-paragraph has already been read. When I say one page, it is just
-one page of this English copy. I think you have a German translation
-before you.</p>
-
-<p class='pindent'>DR. SEIDL: I have 3½ pages.</p>
-
-<p class='pindent'>THE PRESIDENT: There is only one paragraph which relates
-to Göring.</p>
-
-<p class='pindent'>DR. SEIDL: Mr. President, it is only a question of whether in the
-main proceedings I may give this photostat copy to the Defendant
-Göring or not. If this is possible, and...</p>
-
-<p class='pindent'>THE PRESIDENT: You are going too fast!</p>
-
-<p class='pindent'>DR. SEIDL: ...and I see no reason why it should not be possible,
-then I will shortly be able to ask the witness Puhl any question
-that may be necessary; but I think the defendant is right in saying
-that he would like to see the entire contents of a document from
-which only excerpts have been read.</p>
-
-<p class='pindent'>MR. DODD: Mr. President, I might be a little bit helpful. I
-would like to point out that Dr. Seidl had the document for 10
-minutes anyway during the recess; and also I would like to point
-out that we did not preclude him, as members of the Prosecution,
-from having it. It is a security measure altogether.</p>
-
-<p class='pindent'>THE PRESIDENT: Perhaps it will satisfy you, Dr. Seidl, if we
-order that the witness Puhl be recalled at 2 o’clock for Dr. Seidl
-to put any questions to him that you wish. And of course he would
-<span class='pageno' title='593' id='Page_593'></span>
-have the document. He has got the document now, and of course
-Göring will have the document, too.</p>
-
-<p class='pindent'>DR. SEIDL: That is the difficulty, Mr. President. I have the
-document, but on account of the existing instructions I cannot hand
-it to the Defendant Göring.</p>
-
-<p class='pindent'>THE PRESIDENT: You can give the document to Göring now.</p>
-
-<p class='pindent'>DR. SEIDL: I am not allowed to do that.</p>
-
-<p class='pindent'>THE PRESIDENT: I am telling you to do it, and they will let
-you do it.</p>
-
-<p class='pindent'>Dr. Sauter, do you wish to cross-examine the man who has made
-a statement? Do you wish to cross-examine Thoms?</p>
-
-<p class='pindent'>DR. SAUTER: Yes, if I may.</p>
-
-<p class='pindent'>THE PRESIDENT: You do?</p>
-
-<p class='pindent'>DR. SAUTER: Yes. Mr. President, may I comment on what
-Dr. Seidl has just said? It isn’t only a question concerning this one
-document which Dr. Seidl just wanted to give to the Defendant
-Göring, but it is a general question of whether during the session
-a defense counsel is authorized to hand to a defendant documents
-which have been submitted. Hitherto this has been allowed, but
-now the security ruling is that defendants whose cases have been
-completed for the present may no longer be given any documents
-in the courtroom by their defense counsel. Defense Counsel feel that
-this is an unfair ruling, since, as the case of Göring shows, it can
-very easily happen that a defendant is in some way involved in a later
-case. And the request which we now direct to you and to the Court
-is that Defense Counsel should again be permitted to give the defendants
-documents here during the session, even if the case of the
-defendant in question has already been concluded. That is what
-Dr. Seidl wanted to ask you.</p>
-
-<p class='pindent'>Mr. President, may I say something else?</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, Dr. Sauter? You wanted to say something
-more to me?</p>
-
-<p class='pindent'>DR. SAUTER: May I also point out the following: In the interrogation
-room down in the prison we have so far not been allowed
-to hand any documents to the prisoners with whom we were speaking.
-Thus, if I want to discuss a document with my client, I have
-to read the whole of it to him. And when 10, 12, or 15 defense
-counsel are down there in the evening, it is almost...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, the Tribunal is of the opinion
-that any document which is handed to the defendants’ counsel may
-be handed to the defendants themselves by the counsel and that it
-<span class='pageno' title='594' id='Page_594'></span>
-does not make any difference that a particular defendant’s case has
-been closed with reference to that rule.</p>
-
-<p class='pindent'>DR. SAUTER: We are very grateful to you, Mr. President, and
-we hope that your ruling will not in practice encounter any difficulties.</p>
-
-<p class='pindent'>THE PRESIDENT: Well then now, you want to cross-examine
-Thoms?</p>
-
-<p class='pindent'>DR. SAUTER: Yes.</p>
-
-<p class='pindent'>THE PRESIDENT: Is Thoms here? Can he be brought here at
-once?</p>
-
-<p class='pindent'>MR. DODD: He is on his way—he is probably right outside the
-door.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, would the Marshal see if he is available.</p>
-
-<p class='pindent'>MR. DODD: I have not had time, Mr. President, to have the
-affidavit sworn to because I have not seen the man.</p>
-
-<p class='pindent'>THE PRESIDENT: No, but as far as his cross-examination is
-concerned, he can be put under oath here.</p>
-
-<p class='pindent'>MARSHAL: No, Sir, he is not here yet.</p>
-
-<p class='pindent'>MR. DODD: He is on his way.</p>
-
-<p class='pindent'>THE PRESIDENT: He is not available.</p>
-
-<p class='pindent'>MR. DODD: He is on his way. He was in Lieutenant Meltzer’s
-office a minute ago and he went out to get him.</p>
-
-<p class='pindent'>THE PRESIDENT: Well, he can be called then at 2 o’clock
-after the other witness.</p>
-
-<p class='pindent'>Now, Dr. Siemers, would you be ready?</p>
-
-<p class='pindent'>DR. SIEMERS: Your Honors, may I say, first of all, how I
-intend to proceed in the presentation of my case?</p>
-
-<p class='pindent'>In accordance with the suggestion of the Court, I should like to
-call Raeder as a witness in connection with all the documents which
-the Prosecution has submitted against him. I have given all these
-documents to Raeder so that he will have them before him on the
-witness stand, and no time will be lost by handing him each one
-individually. The British Delegation has kindly compiled the documents
-which were not included in the Raeder Document Book, in a
-new Document Book 10a. I assume that this document book is in
-the possession of the Tribunal.</p>
-
-<p class='pindent'>Thus, to facilitate matters, I shall give the page number of the
-English Document Book 10a or the English Document Book 10 in
-the case of each document.
-<span class='pageno' title='595' id='Page_595'></span></p>
-
-<p class='pindent'>At the same time, if the Tribunal agrees, I intend already now
-to submit from my own document books those documents which in
-each case are connected with the matter under discussion. Thank
-you.</p>
-
-<p class='pindent'>May I then ask that Admiral Raeder be called to the witness
-stand.</p>
-
-<p class='pindent'>[<span class='it'>The Defendant Raeder took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name.</p>
-
-<p class='pindent'>ERICH RAEDER (Defendant): Erich Raeder.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>DR. SIEMERS: Admiral Raeder, may I ask you first to tell the
-Tribunal briefly about your past and your professional career?</p>
-
-<p class='pindent'>RAEDER: I was born in 1876 in Wandsbek near Hamburg. I
-joined the Navy in 1894 and became an officer in 1897. Then normal
-promotion: two years at the naval academy; in each year, three
-months leave to study languages; in Russia during the Russo-Japanese
-War. 1906 to 1908 in the Reich Navy Office, in Von Tirpitz’
-Intelligence Division, responsible for the foreign press and the publications
-<span class='it'>Marine Rundschau</span> and <span class='it'>Nautikus</span>.</p>
-
-<p class='pindent'>1910 to 1912, Navigation Officer on the Imperial Yacht Hohenzollern.
-1912 to the beginning of 1918, First Chief Naval Staff Officer
-and Chief of Staff to Admiral Hipper who was in command of the
-battle cruisers.</p>
-
-<p class='pindent'>After the first World War in the Admiralty, as Chief of the
-Central Division with Admiral Von Trotha. Then two years of
-writing at the naval archives: history of naval war. From 1922 to
-1924, with the rank of Rear Admiral, Inspector of Training and
-Education in the Navy. 1925 to 1928, as Vice Admiral, chief of the
-Baltic naval station at Kiel.</p>
-
-<p class='pindent'>On 1 October 1928 Reich President Von Hindenburg named me
-Chief of the Navy Command in Berlin, at the suggestion of Reich
-Minister of Defense, Gröner.</p>
-
-<p class='pindent'>In 1935 I became Commander-in-Chief of the Navy, and on
-1 April 1939 Grossadmiral.</p>
-
-<p class='pindent'>On 30 January 1943 resigned as Commander-in-Chief of the
-Navy; I received the title of Admiral Inspector of the Navy, but
-remained without any official duties.
-<span class='pageno' title='596' id='Page_596'></span></p>
-
-<p class='pindent'>DR. SIEMERS: I should like to come back to one point. You said
-that in 1935 you became Commander-in-Chief of the Navy. This
-was only, if I am right, a new name?</p>
-
-<p class='pindent'>RAEDER: It was only a new name.</p>
-
-<p class='pindent'>DR. SIEMERS: So you were head of the Navy from 1928 to 1943?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: After the Versailles Treaty Germany had an
-army of only 100,000 men, and a navy of 15,000 men, with officers.
-In relation to the size of the Reich, the Wehrmacht was thus extremely
-small.</p>
-
-<p class='pindent'>Was Germany in the twenties in a position to defend herself
-with this small Wehrmacht against possible attacks by neighboring
-states, and with what dangers did Germany have to reckon in the
-twenties?</p>
-
-<p class='pindent'>RAEDER: In my opinion, Germany was not at all in a position to
-defend herself effectively against attacks, even of the smallest states,
-since she had no modern weapons; the surrounding states, Poland
-in particular, were equipped with the most modern weapons, while
-even the modern fortifications had been taken away from Germany.
-The danger which Germany constantly faced in the twenties was...</p>
-
-<p class='pindent'>DR. SIEMERS: One moment. Now continue, please.</p>
-
-<p class='pindent'>RAEDER: The danger which Germany constantly faced in the
-twenties was a Polish attack on East Prussia with the object of
-severing this territory, already cut off from the rest of Germany
-by the Corridor, and occupying it. The danger was especially clear
-to Germany, because at that time Vilna was occupied by the Poles,
-in the midst of peace with Lithuania; and Lithuania took away the
-Memel area. In the south, Fiume was also taken away, without
-objection being raised by the League of Nations or anyone else. It
-was, however, quite clear to the German Government of those days
-that one thing which could not be allowed to happen to Germany
-during that time of her weakness was the occupation of East Prussia
-and its separation from the Reich. Our efforts were therefore aimed
-at preparing ourselves to oppose a Polish invasion of East Prussia
-with all possible means.</p>
-
-<p class='pindent'>DR. SIEMERS: You said that it was feared that such an invasion
-might take place. Did not several border incidents actually occur in
-the twenties?</p>
-
-<p class='pindent'>RAEDER: Yes, indeed.</p>
-
-<p class='pindent'>DR. SIEMERS: Is it true that these dangers were recognized, not
-only by you and by military circles, but also by the governments
-in the twenties, especially by the Social Democrats and by Stresemann?
-<span class='pageno' title='597' id='Page_597'></span></p>
-
-<p class='pindent'>RAEDER: Yes. I already said that the government, too, realized
-that such an invasion could not be allowed to happen.</p>
-
-<p class='pindent'>DR. SIEMERS: Now, the Prosecution has accused you of conduct
-contrary to international law and contrary to existing treaties, even
-in the time before Hitler.</p>
-
-<p class='pindent'>On 1 October 1928 you became Chief of the Navy Command, and
-thus rose to the highest position in the German Navy. Did you, in
-view of the dangers you have described, use all your power to build
-up the German Navy within the framework of the Versailles Treaty,
-particularly with the object of protecting East Prussia?</p>
-
-<p class='pindent'>RAEDER: Yes, I exerted all my strength for the reconstruction
-of the Navy, and I came to consider this as my life work. In all
-stages of this period of naval reconstruction, I met with great difficulties;
-and as a result, I had to battle in one way or another constantly
-throughout those years in order to put this reconstruction
-into effect. Perhaps I became rather one-sided, since this fight for the
-reconstruction of the Navy filled all my time and prevented me from
-taking part in any matters not directly concerned with it. In addition
-to material reconstruction, I put every effort into the formation
-of a competent officer corps and well-trained, especially well-disciplined,
-crews.</p>
-
-<p class='pindent'>Admiral Dönitz has already commented on the result of this
-training of our men and officers, and I should like only to confirm
-that these German naval men earned full recognition in peacetime,
-both at home and abroad, for their dignified and good behavior and
-their discipline; and also during the war, when they fought to the
-end in an exemplary manner, in complete unity, with irreproachable
-battle ethics, and, in general, did not participate in any kind of
-atrocities. Also in the occupied areas to which they came, in Norway
-for instance, they earned full approval of the population for their
-good and dignified conduct.</p>
-
-<p class='pindent'>DR. SIEMERS: Since for fifteen years you were head of the
-Navy and reconstructed it in those years, can it be said that as chief
-of the Navy you are responsible for everything that happened in
-connection with this reconstruction?</p>
-
-<p class='pindent'>RAEDER: I am fully responsible for it.</p>
-
-<p class='pindent'>DR. SIEMERS: If I am correct, the only qualification would be
-the date 1 October 1928.</p>
-
-<p class='pindent'>RAEDER: As regards the material rebuilding.</p>
-
-<p class='pindent'>DR. SIEMERS: Who were your superiors, as regards the reconstruction
-of the Navy? You could not, of course, act with complete
-independence.
-<span class='pageno' title='598' id='Page_598'></span></p>
-
-<p class='pindent'>RAEDER: I was subordinate, firstly, to the Reichswehrminister
-and, through him, to the Reich Government, since I was not a
-member of the Reich Government; and secondly, I also had to obey
-the Commander-in-Chief of the Wehrmacht in these matters. From
-1925 to 1934 the Commander-in-Chief of the Wehrmacht was Reich
-President Field Marshal Von Hindenburg, and after his death on
-1 August 1934, Adolf Hitler.</p>
-
-<p class='pindent'>DR. SIEMERS: Mr. President, in this connection may I submit
-Exhibit Number Raeder-3, a short excerpt from the Constitution of
-the German Reich. It is Number Raeder-3, in Document Book 1
-on Page 9. Article 47 reads:</p>
-
-<div class='blockquote'>
-
-<p>“The Reich President has the supreme command of all the
-Armed Forces of the Reich.”</p>
-
-</div>
-
-<p class='pindent'>I also submit the Reich Defense Law, as Exhibit Number Raeder-4,
-Document Book 1, Page 11. I have to return to it later, but now I
-refer to Article 8 of the Reich Defense Law, which reads as follows:</p>
-
-<div class='blockquote'>
-
-<p>“The command is exclusively in the hands of the lawful
-superior...</p>
-
-<p>“The Reich President is the Commander-in-Chief of all Armed
-Forces. Under him, the Reich Minister for Defense has
-authoritative powers over all the Armed Forces. At the head
-of the Reich Army is a General, as Chief of the Army Command;
-at the head of the Reich Navy, an Admiral, as Chief
-of the Naval Command.”</p>
-
-</div>
-
-<p class='pindent'>These paragraphs remained in full effect under the National
-Socialist regime. I refer to them only because they confirm what
-the witness has said. In regard to naval reconstruction, he was thus
-third in authority: Reich President, Reich Minister of Defense, and
-then the head of the branches of the Wehrmacht.</p>
-
-<p class='pindent'>Admiral, the Prosecution accuses you of building up the Navy:
-First, in violation of the Versailles Treaty; secondly, behind the
-back of the Reichstag and the Reich Government; and thirdly, with
-the intention of waging aggressive wars.</p>
-
-<p class='pindent'>I should like to ask you now whether the reconstruction of the
-Navy was undertaken for aggressive or defensive purposes. Make a
-chronological distinction, however, and speak first about the period
-overshadowed by the Versailles Treaty, that is, from 1928 until the
-Naval Agreement with England on 18 June 1935.</p>
-
-<p class='pindent'>My question is: Did the reconstruction of the Navy in this period
-take place for purposes of aggression as the Prosecution has asserted?</p>
-
-<p class='pindent'>RAEDER: The reconstruction of the Navy did not in any respect
-take place for the purposes of aggressive war. No doubt it constituted
-some evasion of the Versailles Treaty. Before I go into
-<span class='pageno' title='599' id='Page_599'></span>
-details, I should like to ask permission to read a few short quotations
-from a speech which I made in 1928 in Kiel and Stralsund, the two
-largest garrisons of my naval station. This speech was delivered
-before the public during a week devoted to an historical anniversary;
-and when I took up my duties in Berlin, it was handed as my
-program to Minister Severing, who regarded me with some suspicion
-at that time. That is the...</p>
-
-<p class='pindent'>DR. SIEMERS: One moment. Raeder’s statements in the year
-1928 show his attitude of that time much more clearly than his
-present recollections; and for that reason I think the Tribunal will
-agree that I submit this speech as Exhibit Number Raeder-6,
-Document Book 1, Page 15. The speech itself begins on Page 17. I
-shall read...</p>
-
-<p class='pindent'>THE PRESIDENT: Yes?</p>
-
-<p class='pindent'>DR. SIEMERS: Mr. President, it would take five or ten minutes,
-so may I ask whether this is a proper time to adjourn? I am willing
-to continue, however.</p>
-
-<p class='pindent'>THE PRESIDENT: We will adjourn.</p>
-
-<h3>[<span class='it'>The Tribunal recessed until 1400 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<h2><span class='pageno' title='600' id='Page_600'></span><span class='it'>Afternoon Session</span></h2>
-
-<p class='pindent'>DR. SERVATIUS: Mr. President, will you please grant permission
-for the Defendant Sauckel to be absent from the courtroom
-from the sessions of the 16th to the 18th inclusive so that he may
-prepare his defense?</p>
-
-<p class='pindent'>THE PRESIDENT: Be absent in order to prepare his defense?
-Yes, certainly.</p>
-
-<p class='pindent'>MR. DODD: Mr. President, I would like to suggest that, before
-the witness Puhl is recalled, the witness Thoms be called. I think
-it will save some of the Tribunal’s time. I think, from what I
-know of the prospective testimony, there may be questions that
-will arise in the mind of the Tribunal which it would like to put
-to the witness Puhl after having heard the witness Thoms.</p>
-
-<p class='pindent'>And also I would ask, so as to be absolutely fair to all concerned,
-that the witness Puhl be in the courtroom when the witness
-Thoms testifies. I think he should have that opportunity.</p>
-
-<p class='pindent'>THE PRESIDENT: Have you any objections, Dr. Sauter?</p>
-
-<p class='pindent'>DR. SAUTER: No, I have no objections.</p>
-
-<p class='pindent'>MR. DODD: May we call the witness Thoms?</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, call Thoms, and have Puhl somewhere
-in the courtroom where he can hear.</p>
-
-<p class='pindent'>[<span class='it'>The witness Thoms took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Will you state your full name?</p>
-
-<p class='pindent'>ALBERT THOMS (Witness): Albert Thoms.</p>
-
-<p class='pindent'>THE PRESIDENT: Will you repeat this oath after me: I swear
-by God—the Almighty and Omniscient—that I will speak the pure
-truth—and will withhold and add nothing.</p>
-
-<p class='pindent'>[<span class='it'>The witness repeated the oath.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: You may sit down.</p>
-
-<p class='pindent'>MR. DODD: Mr. President, I am aware that he has been called
-for cross-examination. However, there are one or two matters,
-now material, which were not included in the affidavit, and to save
-time I would like to bring those out before the cross-examination
-takes place.</p>
-
-<p class='pindent'>THE PRESIDENT: Very well.</p>
-
-<p class='pindent'>MR. DODD: Herr Thoms, you executed a statement on the 8th
-day of May 1946. Is that so?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: And you signed it?
-<span class='pageno' title='601' id='Page_601'></span></p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: And everything in it was true?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: And is true now, of course?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: I wish you would just look at it for the purposes of
-certainty and identify it now. Is that the statement that you signed,
-Herr Thoms?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: All right. Now, I have one or two questions to
-ask you about it. I wish to offer it, Mr. President, as Exhibit
-USA-852. You know this gentleman sitting to your left, do you not?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: That is Mr. Puhl, is it not?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: He was the Vice President of the Reichsbank when
-you were employed there.</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: Now, did you ever have a conversation with Herr
-Puhl about any special deposit which was coming to the Reichsbank
-and about which you should maintain the utmost secrecy?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: Tell us when that conversation took place, what
-was said, and if anyone else was present at the time.</p>
-
-<p class='pindent'>THOMS: This conversation took place in the summer of 1942.
-I was called to Vice President Puhl’s office by Herr Frommknecht, a
-Treasury official. Herr Frommknecht took me to Herr Puhl, and
-there Herr Puhl disclosed the fact that a special transaction with
-the office of the Reichsführer-SS was to be undertaken. Do you
-want me to explain it in detail?</p>
-
-<p class='pindent'>MR. DODD: Tell us everything that he said to you.</p>
-
-<p class='pindent'>THOMS: Herr Puhl told me that the affair was to be kept
-absolutely secret and confidential. Not only would articles be
-delivered which would be automatically taken over in the ordinary
-course of business of the Reichsbank, but also the disposal of
-jewelry and other articles would have to be effected. Upon my
-objection that we had no expert men for such matters, he replied
-that we would have to find a way to convert these articles. First
-I made the suggestion that these special articles should then be
-sent to the Reich Main Treasury—that is, the Main Treasury of
-<span class='pageno' title='602' id='Page_602'></span>
-the Reich Government—which also held all booty of the Army.
-However, Herr Puhl thought that this matter should not go through
-the Reich Main Treasury, but should be handled by the Reichsbank
-in some other way. Thereupon I suggested that these articles could
-be sent to the Municipal Pawnbroker’s Office in Berlin, exactly
-as the deliveries from the confiscated Jewish property had been
-dealt with before. Herr Puhl agreed to this suggestion.</p>
-
-<p class='pindent'>MR. DODD: Now, when did the first of these shipments arrive?</p>
-
-<p class='pindent'>THOMS: The first delivery came to the Reichsbank during the
-month of August, as far as I can remember.</p>
-
-<p class='pindent'>MR. DODD: 1942?</p>
-
-<p class='pindent'>THOMS: 1942.</p>
-
-<p class='pindent'>MR. DODD: Does the name Melmer mean anything to you?</p>
-
-<p class='pindent'>THOMS: Melmer was the name of the SS man who subsequently
-brought these valuables to the Reichsbank. Under this code word
-all deliveries of the SS were later entered in the books of the bank.</p>
-
-<p class='pindent'>MR. DODD: Did you ever mention the name or the word
-“Melmer” to Puhl, and did he ever mention it to you?</p>
-
-<p class='pindent'>THOMS: The name “Melmer” was not mentioned by Vice President
-Puhl to me, but was mentioned by me to Vice President Puhl
-as I had to inform him about the start of the entire transaction and
-particularly about the carrying out of the transaction regarding the
-conversion of the valuables. In accordance with the suggestion
-of the office of the Reichsführer-SS, the money equivalent was
-transferred to the Reich Ministry of Finance into an account which
-was given the name “Max Heiliger.” I duly informed Vice President
-Puhl briefly about these facts.</p>
-
-<p class='pindent'>MR. DODD: Did you ever tell Puhl the nature of the material
-that you were receiving in the SS shipments?</p>
-
-<p class='pindent'>THOMS: After some months Vice President Puhl asked me how
-the “Melmer” affair was getting along. I explained to him that, contrary
-to the expectation that there would really be very few deliveries,
-deliveries were increasing and that apart from gold and
-silver coins they contained particularly a great deal of jewelry, gold
-rings, wedding rings, gold and silver fragments, dental gold, and
-all sorts of gold and silver articles.</p>
-
-<p class='pindent'>MR. DODD: What did he say when you told him there were
-jewels and silver and dental gold and other articles?</p>
-
-<p class='pindent'>THOMS: May I first of all add a few things. I drew his attention
-especially to the fact that on one occasion something like 12 kilograms
-of pearls had been collected and that I had never before
-seen such an unusual amount in all my life.
-<span class='pageno' title='603' id='Page_603'></span></p>
-
-<p class='pindent'>MR. DODD; Wait a minute! What was it?</p>
-
-<p class='pindent'>THOMS: They were pearls and pearl necklaces.</p>
-
-<p class='pindent'>MR. DODD: Did you also tell him you were receiving a quantity
-of eyeglass rims?</p>
-
-<p class='pindent'>THOMS: I cannot swear to that at the moment, but I described
-the general character of these deliveries to him. Therefore, I think,
-I probably used “spectacles,” and similar words; but I would not
-like to state it on my oath.</p>
-
-<p class='pindent'>MR. DODD: Was Puhl ever in the vaults when this material was
-being looked through?</p>
-
-<p class='pindent'>THOMS: On several occasions he visited the strong-rooms of
-the bank to inspect the gold stored there and particularly to inform
-himself about the type of stores. The deliveries of the “Melmer”
-transactions were kept in a special part of one of the main safes,
-so that on those occasions Herr Puhl must also have seen the
-boxes and sacks full of those deliveries. Nearby in the corridor
-of the vault the articles of the “Melmer” deliveries were being
-dealt with.</p>
-
-<p class='pindent'>I am firmly convinced that when he walked through the strong-rooms,
-Herr Puhl must have seen these objects, as they were lying
-quite openly on the table and everyone who visited the strong-room
-could see them.</p>
-
-<p class='pindent'>MR. DODD: There were about 25 or 30 people that sorted this
-stuff out, were there not, before it was shipped away for melting
-and for sale in the pawnshops?</p>
-
-<p class='pindent'>THOMS: I would say that there were not 25 to 30 people who
-sorted these things—in the course of a day perhaps 25 to 30 people
-would visit the strong-rooms to carry out some official business
-there. For this particular business some four or five officials were
-occupied in sorting out the things, getting them ready.</p>
-
-<p class='pindent'>MR. DODD: And everyone under your supervision was sworn
-to secrecy? They didn’t talk about this business; they were forbidden
-to do so, were they not?</p>
-
-<p class='pindent'>THOMS: There were strict instructions in the bank that secret
-matters must not be discussed, not even with a colleague of one’s
-own department, if that colleague did not himself also work at the
-same job. So that...</p>
-
-<p class='pindent'>MR. DODD: Well, this was a super-secret matter, wasn’t it? It
-wasn’t the ordinary secrecy that attended. Wasn’t there a special
-secrecy surrounding these deliveries?</p>
-
-<p class='pindent'>THOMS: Quite right. It was quite an exceptional affair and it
-had to be kept especially secret. I would say that it went beyond
-<span class='pageno' title='604' id='Page_604'></span>
-the limits of top secrecy. For even I had been strictly forbidden to
-talk to anybody about it; and I said at the time when I left Vice
-President Puhl, after the first conversation, that I would however
-inform the leading officials in the Treasury, because after all my
-superiors must be informed about this business.</p>
-
-<p class='pindent'>MR. DODD: Was there a report made about these “Melmer”
-deposits to the Directorate?</p>
-
-<p class='pindent'>THOMS: No. The matter was treated as a verbal agreement. It
-was after all an exceptional case and only one account was kept of
-the deliveries made, which was called the “Melmer account.” This
-account was transmitted by the head cashier’s office to the foreign
-exchange department which, in turn, had to take further steps with
-the Directorate of the Reichsbank.</p>
-
-<p class='pindent'>MR. DODD: Well, the Directorate had to approve the handling
-of this type of thing, did it not? You weren’t allowed to handle
-materials like this without the approval of the bank Directorate?</p>
-
-<p class='pindent'>THOMS: In matters concerning gold particularly instructions had
-to be given and approved respectively by the Board of Directors.
-I could therefore never act independently. Generally the instructions
-were given to the Treasury in writing and they were signed
-by at least two officials and one member of the Board of Directors.
-So that it was quite unique that in this case instructions were given
-in a verbal form.</p>
-
-<p class='pindent'>MR. DODD: By the way, Herr Thoms, you have seen the film
-this noontime? We have shown you a film, haven’t we?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: After seeing that film, are you able to say whether
-or not that represents a fair representation of the appearance of
-some of the shipments that were received by the Reichsbank from
-the SS?</p>
-
-<p class='pindent'>THOMS: I may say that this film and the pictures which I have
-seen in it were typical of the “Melmer” deliveries. Perhaps I should
-qualify that by saying that the quantities shown in this film were
-in excess of the quantity of dental gold and particularly jewelry
-which came with the first deliveries. Only later did these amounts
-increase, so that the quantities which we have seen in this film had
-actually not yet been seen by the Reichsbank because they were contained
-in boxes or trunks which until then had remained locked.
-But generally the material which I have seen in that film is typical
-of the “Melmer” deliveries.</p>
-
-<p class='pindent'>MR. DODD: All right, sir. Now, approximately—I don’t expect
-a completely accurate answer, but approximately how many shipments
-did you receive of this stuff from the SS?
-<span class='pageno' title='605' id='Page_605'></span></p>
-
-<p class='pindent'>THOMS: As nearly as I can remember at the moment, there
-must have been more than 70 deliveries, possibly 76 or 77. I can’t
-tell you exactly at the moment, but that must be about the right
-figure.</p>
-
-<p class='pindent'>MR. DODD: Very well, I have no further questions.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, what is your occupation?</p>
-
-<p class='pindent'>THOMS: A councillor of the Reichsbank.</p>
-
-<p class='pindent'>DR. SAUTER: Where do you live?</p>
-
-<p class='pindent'>THOMS: Berlin-Steglitz. Then I—after my home was bombed
-I lived at Potsdam, Neu-Fahrland.</p>
-
-<p class='pindent'>DR. SAUTER: Did you volunteer for the examination of the
-Prosecution or how did you happen to be interrogated...</p>
-
-<p class='pindent'>THOMS: I was...</p>
-
-<p class='pindent'>DR. SAUTER: Please, will you wait until I have finished my
-question so that the interpreters can keep up with us? Will you
-please make a pause between question and answer.</p>
-
-<p class='pindent'>THOMS: I was ordered here.</p>
-
-<p class='pindent'>DR. SAUTER: By whom?</p>
-
-<p class='pindent'>THOMS: Probably by the Prosecution.</p>
-
-<p class='pindent'>DR. SAUTER: Are you a free man?</p>
-
-<p class='pindent'>THOMS: Yes, I am free.</p>
-
-<p class='pindent'>DR. SAUTER: Did you receive the summons in writing?</p>
-
-<p class='pindent'>THOMS: No. I was asked orally yesterday in Frankfurt to come
-to Nuremberg.</p>
-
-<p class='pindent'>DR. SAUTER: Frankfurt? Are you living in Frankfurt at the
-moment?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Herr Thoms, where were you living on 8 May?
-That is a week ago today?</p>
-
-<p class='pindent'>THOMS: On 8 May of this year?</p>
-
-<p class='pindent'>DR. SAUTER: You are Herr Thoms, aren’t you?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Yes, on 8 May, a week ago today.</p>
-
-<p class='pindent'>THOMS: In Frankfurt.</p>
-
-<p class='pindent'>DR. SAUTER: You were interrogated there, weren’t you?</p>
-
-<p class='pindent'>THOMS: That is quite right. I was interrogated at Frankfurt.</p>
-
-<p class='pindent'>DR. SAUTER: That is the affidavit which the Prosecutor has
-just put to you?
-<span class='pageno' title='606' id='Page_606'></span></p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: How did you come to make the affidavit? Did
-you volunteer as a witness, or how did this happen?</p>
-
-<p class='pindent'>THOMS: I want to point out to you that already a year ago
-when I was working at Frankfurt, I voluntarily gave the American
-offices the details of the transactions which were known to me in
-the matter of the gold of the Reichsbank.</p>
-
-<p class='pindent'>DR. SAUTER: I see. So last year you already offered yourself
-as a witness?</p>
-
-<p class='pindent'>THOMS: I wouldn’t say as a witness in this matter. I merely
-placed myself at their disposal for the clarification of Reichsbank
-affairs for American purposes.</p>
-
-<p class='pindent'>DR. SAUTER: Yes. Did you ever discuss this matter with the
-President of the Reichsbank, Funk?</p>
-
-<p class='pindent'>THOMS: No. During my term of service, I never had an opportunity
-of talking to Minister Funk.</p>
-
-<p class='pindent'>DR. SAUTER: Have you any positive knowledge, perhaps from
-some other source, as to whether President of the Reichsbank Funk
-had exact knowledge of these things, or is that also unknown to you?</p>
-
-<p class='pindent'>THOMS: I cannot say anything about that either, because these
-matters happened on a higher level, which I could not judge.</p>
-
-<p class='pindent'>DR. SAUTER: Then I would be interested in hearing something
-about this deposit, or whatever you call it, which was under the
-name “Melmer”?</p>
-
-<p class='pindent'>THOMS: I want to point out that this was not a deposit, but
-that these were deliveries which were delivered under the name
-“Melmer.” Insofar as the transactions were those which the Reichsbank
-had to deal with, the Reichsbank took over these articles
-directly, and insofar as it was a question of matters not pertaining
-to the bank, the Reichsbank to a certain extent was the trustee for
-the conversion of these things.</p>
-
-<p class='pindent'>DR. SAUTER: More slowly, more slowly. Why was this matter,
-whether we call it a deposit or anything else, not dealt with under
-the name “SS,” why was it given the name “Melmer”? Did you
-ask anybody about that, Witness?</p>
-
-<p class='pindent'>THOMS: I have already mentioned at the beginning of the
-examination that this was a particularly secret affair in connection
-with which the name of the depositor was not to appear. In this
-case, therefore, it was Vice President Puhl who had to decide the
-way this affair was to be dealt with; and he desired and ordered this.</p>
-
-<p class='pindent'>DR. SAUTER: Did only officials of the Reichsbank come to the
-strong-room where these things were kept, or did other persons also
-<span class='pageno' title='607' id='Page_607'></span>
-have access to it, for instance, people who had a safe in the strong-room?</p>
-
-<p class='pindent'>THOMS: The Reichsbank did not have any private depositors,
-that is to say, we did not have any locked deposits which belonged
-to customers of the Reichsbank—at least not in those vaults. Deposits
-from private customers were in another vault so that there was
-no contact between the deposits of the bank and the deposits of the
-customers.</p>
-
-<p class='pindent'>DR. SAUTER: But quite a number of officials went down there.
-You have already said that.</p>
-
-<p class='pindent'>There is one thing I am not clear about: On the one hand, you
-have told us that these articles were lying about openly on tables
-so that everybody could see them; and on the other hand, you said
-previously towards the end of your statement that these things were
-kept in locked boxes and trunks. How does that tally?</p>
-
-<p class='pindent'>THOMS: I have stated that these things were delivered in closed
-boxes and trunks, and stored in them. When from time to time the
-deliveries were inventoried, the delivery which was to be dealt with
-naturally had to be opened and the contents counted, examined, and
-re-weighed. That, of course, could only be done by spreading out
-the contents, counting them, checking the weight, and then locking
-them in new containers.</p>
-
-<p class='pindent'>DR. SAUTER: Did you perhaps on your own initiative tell Herr
-Puhl—after all, you were a bank councillor, therefore also a senior
-official—that you had misgivings about the whole business? Please
-think over the question and give your answer very carefully, because
-you are under oath.</p>
-
-<p class='pindent'>THOMS: First of all, I have to say that I belonged to the group
-of officials of middle rank, but that is just in passing. Then, of
-course—or let me put it this way—when an official has worked for
-thirty years or longer for a concern and if throughout the long years
-of his career he has always had the feeling that the directors were
-irreproachable, then, I believe, he could have no misgivings if in
-a special case he is instructed to keep silent about a certain transaction.
-He would not object to carrying out this order. I have
-already said that the term “booty” was not unknown to us officials
-in the Reichsbank, because there was the order that all booty goods
-which came in from the Army were to be delivered directly to the
-Treasury, that is the Treasury of the Reich Government; and we in
-the Bank thought, of course, that the booty from the SS troops was
-to go through the Reichsbank. An official of the Reichsbank cannot
-very well oppose such an order. If the Directors of the Bank give
-him instructions, then he has to carry them out, because of the oath
-which he has sworn.
-<span class='pageno' title='608' id='Page_608'></span></p>
-
-<p class='pindent'>DR. SAUTER: So that, Witness, if I understand you correctly,
-you are telling us that at the beginning, at any rate, you considered
-that the matter was in order, and there was nothing wrong with it?</p>
-
-<p class='pindent'>THOMS: At the beginning? As a matter of fact, I considered it
-correct that it should be carried right through.</p>
-
-<p class='pindent'>DR. SAUTER: Did you ever have any doubts that this might be,
-let us say, criminal?</p>
-
-<p class='pindent'>THOMS: Certainly I would have had doubts if I had had the
-knowledge and experience then which I have today.</p>
-
-<p class='pindent'>DR. SAUTER: That is the same with everyone.</p>
-
-<p class='pindent'>THOMS: Yes, quite right. As far as that is concerned, I had to
-suppress any doubts; I would not admit any doubts, because the
-affair was not known only to me, it was known to the Reichsbank
-Directorate and in the administration office of the Main Treasury.
-The valuables in the strong-room were checked every night by a
-deputy director of the Main Treasury, so that I was responsible only
-for the technical carrying out of this business; and the responsibility
-for the correctness of this transaction was not within my competence.</p>
-
-<p class='pindent'>DR. SAUTER: I do not know about the responsibility but, Witness,
-I asked you, did you ever have any doubts, and at what precise
-moment did you consider the whole affair criminal? Did you consider
-it criminal?</p>
-
-<p class='pindent'>THOMS: We assumed that these were goods which the SS—after
-they had partly burned down towns in the East, particularly in the
-battle for Warsaw—we thought that afterwards they captured this
-booty in the houses and then delivered this booty to our Bank.</p>
-
-<p class='pindent'>DR. SAUTER: As booty?</p>
-
-<p class='pindent'>THOMS: Yes. If a military department delivers booty goods it
-does not follow that an official who is entrusted with the handling
-of these things would have to consider these deliveries as being
-criminal.</p>
-
-<p class='pindent'>DR. SAUTER: When taking over these articles, did you think, or
-did Vice President Puhl tell you, or at least hint to you, that these
-gold articles might have been taken from victims in the concentration
-camps?</p>
-
-<p class='pindent'>THOMS: No.</p>
-
-<p class='pindent'>DR. SAUTER: You did not think of that, did you?</p>
-
-<p class='pindent'>THOMS: No.</p>
-
-<p class='pindent'>DR. SAUTER: Not at all?</p>
-
-<p class='pindent'>THOMS: Once we saw the name “Auschwitz,” and another time
-the name “Lublin,” on some slips of paper which we found. I said
-<span class='pageno' title='609' id='Page_609'></span>
-that in connection with Lublin we found this inscription on some
-packets of bank notes which came in to be dealt with and which
-were then returned to the Polish Bank to be cashed. Strangely
-enough, the same packets came back later after they had been dealt
-with by the bank. Consequently, here the explanation was that these
-could not be deliveries from a concentration camp, since they had
-come to us through official bank channels. As regards the camp at
-Auschwitz—well, I cannot say today with what sort of deliveries
-these slips of paper were found, but it is possible that they were
-slips attached to some notes, and perhaps they may have been deliveries
-of foreign bank notes, from the concentration camps. But
-then there were arrangements according to which prisoners of war,
-or prisoners, could exchange their notes for other money in the
-camp, so that such deliveries could have been made through legal
-channels.</p>
-
-<p class='pindent'>DR. SAUTER: If I understand you correctly, Witness, then, the
-meaning of what you have just told us is that you still considered
-the matter legal or lawful even when in 1943 you saw the inscription
-“Auschwitz” and “Lublin” on some items. Even then you considered
-the matter legal, didn’t you?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: Well, then, why did you in your affidavit of 8 May
-1946—it is true it is not a sworn affidavit—tell the story somewhat
-differently? Perhaps I can read the sentence to you...</p>
-
-<p class='pindent'>THOMS: Please, do.</p>
-
-<p class='pindent'>DR. SAUTER: ...and you can then tell me if I misunderstood
-you or whether the official took it down incorrectly. It says there,
-after first of all saying that you considered the matter to be legal:</p>
-
-<p class='pindent'>“One of the first indications of the origin of these articles
-was when it was noticed that a packet of bills, presumably
-bonds...”</p>
-
-<p class='pindent'>THOMS: No, they were bank notes.</p>
-
-<p class='pindent'>DR. SAUTER: “...were stamped ‘Lublin.’ ”</p>
-
-<p class='pindent'>THOMS: This occurred early in 1943.</p>
-
-<p class='pindent'>DR. SAUTER: “Another indication was the fact that some
-articles bore the stamp ‘Auschwitz.’ We all knew these places
-were the sites of concentration camps. In connection with the
-tenth delivery in November 1942”—that is, previously—“gold
-teeth appeared, and the quantity of gold teeth grew to an
-unusual extent.”</p>
-
-<p class='pindent'>So much for the quotation from your unsworn statement of
-8 May 1946. Now, will you please tell us: Does that mean the same
-<span class='pageno' title='610' id='Page_610'></span>
-as you said a little earlier, or does it mean something different in
-your opinion?</p>
-
-<p class='pindent'>THOMS: That in my opinion tallies with my statement. We could
-not assume that deliveries which came through the concentration
-camp had to be absolutely illegal. We only observed that gradually
-these deliveries became larger. A delivery of notes from a concentration
-camp need not be illegal because of this. It might have been
-an official calling-in, especially as we did not know the regulations
-applicable to concentration camps. It would be perfectly possible
-that these people had the right to sell the articles in their possession
-or give them in payment.</p>
-
-<p class='pindent'>DR. SAUTER: The dollars which you have also seen in that film
-would hardly be sold by anybody.</p>
-
-<p class='pindent'>THOMS: May I point out to you that I was not of the opinion
-that these bank notes necessarily came from concentration camps.
-I merely said that the word “Lublin” was on some of the packets
-of bank notes. That might have pointed to their having come from
-a concentration camp; but it did not necessarily mean that these
-particular notes came from that concentration camp, and the same
-applies to “Auschwitz.” The name “Auschwitz” cropped up. There
-may have been a certain suspicion, but we had not any proof, and
-we did not feel that we were in any way called upon to object to
-these deliveries of the SS.</p>
-
-<p class='pindent'>DR. SAUTER: Consequently, Witness, apparently because you
-put this construction on it, you did not use the occasion to make
-a report to Vice President Puhl or the Directorate, or to voice any
-doubts; you did not have any cause for that?</p>
-
-<p class='pindent'>THOMS: I called Vice President Puhl’s attention to the composition
-of these deliveries as early as a few months after the arrival
-of the first delivery. Therefore, the general character of these deliveries
-was known to Herr Puhl. He knew the contents of the
-deliveries.</p>
-
-<p class='pindent'>DR. SAUTER: But you told us earlier that the character of these
-deliveries did not seem peculiar to you. You considered that it was
-booty. And now you want to say that you called Vice President
-Puhl’s attention to it and that he must have noticed something
-peculiar.</p>
-
-<p class='pindent'>THOMS: I did not say that. I did not say that Herr Puhl must
-have noticed something peculiar. I merely said that, if any objections
-were to be raised, then they would have to come from Herr
-Puhl, since he was as well aware of the character of these deliveries
-as I was. And, if there was any suspicion, then Herr Puhl’s suspicion
-would probably have been aroused more strongly than mine.
-<span class='pageno' title='611' id='Page_611'></span></p>
-
-<p class='pindent'>DR. SAUTER: Witness, you told us earlier that special secrecy
-was ordered in this connection, but at the same time you mentioned
-that quite apart from this SS affair, there were also other business
-matters which apparently had to be handled with special secrecy.
-Is that true?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: You need not give us any names, but I would
-only like to know what the other affairs were?</p>
-
-<p class='pindent'>THOMS: These are matters which had to do with the conduct
-of the war. There were transactions in gold, and perhaps also in
-foreign currency, <span class='it'>et cetera</span>.</p>
-
-<p class='pindent'>DR. SAUTER: They were not criminal affairs, therefore?</p>
-
-<p class='pindent'>THOMS: No, not criminal.</p>
-
-<p class='pindent'>DR. SAUTER: Then, Witness...</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, the Tribunal thinks that this is
-getting too far away from the point really to ask him about other
-deliveries.</p>
-
-<p class='pindent'>DR. SAUTER: Yes, but the question is already answered, Mr. President.</p>
-
-<p class='pindent'>Witness, because of this secrecy in connection with the SS deliveries
-which reached the Reichsbank, I should be interested in
-knowing, insofar as they were realized by the Reichsbank, whether
-any accounts were rendered, as I assume to be the case from the
-documents before us?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: By your Main Treasury?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: To whom were these accounts sent?</p>
-
-<p class='pindent'>THOMS: They were sent to the Reichsführer-SS office direct;
-that is to say, they were collected by Melmer directly from the bank.</p>
-
-<p class='pindent'>DR. SAUTER: Did they not go to any other office?</p>
-
-<p class='pindent'>THOMS: And then they were officially passed on to the Foreign
-Currency Department.</p>
-
-<p class='pindent'>DR. SAUTER: To the Foreign Currency Department, that is, to
-a State Department?</p>
-
-<p class='pindent'>THOMS: No, that is a department of the Reichsbank which in
-turn is the link with the Directorate.</p>
-
-<p class='pindent'>DR. SAUTER: Were not these accounts also transmitted, or did
-they not go, to the Reich Ministry of Finance?
-<span class='pageno' title='612' id='Page_612'></span></p>
-
-<p class='pindent'>THOMS: The liaison man, Melmer, always received two accounts,
-that is, in duplicate. Whether the Reichsführer’s office sent one copy
-to the Reich Ministry of Finance, I do not know.</p>
-
-<p class='pindent'>DR. SAUTER: Were these accounts really treated confidentially,
-that is, kept secret?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>DR. SAUTER: For instance, the accounts with the Municipal
-Pawn Broker’s Office?</p>
-
-<p class='pindent'>THOMS: In the account with the Municipal Pawn Broker’s Office
-the depositor was not named.</p>
-
-<p class='pindent'>DR. SAUTER: What happened to these gold teeth?</p>
-
-<p class='pindent'>THOMS: They were melted down by the Prussian State Mint.
-The gold was then refined and the fine gold was returned to the
-Reichsbank.</p>
-
-<p class='pindent'>DR. SAUTER: Witness, you said earlier that at the beginning of
-1943 certain articles had arrived stamped “Auschwitz.” I think you
-said at the beginning of 1943.</p>
-
-<p class='pindent'>THOMS: Yes, but I cannot tell you the exact date now.</p>
-
-<p class='pindent'>DR. SAUTER: You said “We all knew that there was a concentration
-camp there.” Did you really know that as early as the
-beginning of 1943, Witness?</p>
-
-<p class='pindent'>THOMS: Naturally, now I can...</p>
-
-<p class='pindent'>DR. SAUTER: Yes, now of course, we all know it. I am talking
-about the time at which this happened.</p>
-
-<p class='pindent'>THOMS: I cannot say that for certain. I made that statement
-on the strength—I beg your pardon, that is, probably—these deliveries
-were probably not handled until as late as 1945 or 1944 in
-the late autumn. It is possible that something about Auschwitz had
-already leaked out.</p>
-
-<p class='pindent'>DR. SAUTER: Now, you said under Number 14 of your statement
-that one of the first clues to the source of these articles—apparently
-meaning the concentration camps—was the fact that
-a parcel of paper was stamped “Lublin.” This was early in 1943.
-And another indication was the fact that some items bore the stamp
-“Auschwitz.” “We all knew”—I’ve already emphasized this before
-for a very good reason—“we all knew that these places were the
-sites of concentration camps.” That’s your statement, and I now
-repeat the question. Of course we all know it now; but did you,
-Herr Reichsbank Councillor, know at the beginning of 1943 that
-there was this huge concentration camp at Auschwitz?</p>
-
-<p class='pindent'>THOMS: No. To that positive type of question I must say no,
-I did not know it, but...
-<span class='pageno' title='613' id='Page_613'></span></p>
-
-<p class='pindent'>THE PRESIDENT: He did not say anything about a huge concentration
-camp at Auschwitz.</p>
-
-<p class='pindent'>DR. SAUTER: No, that was a rhetorical exaggeration of mine. I
-said that we knew from the Trial that there was a huge concentration
-camp there.</p>
-
-<p class='pindent'>THE PRESIDENT: Did he know it? Did he know that there was
-a huge concentration camp in 1943? He has not said so.</p>
-
-<p class='pindent'>THOMS: I can answer “no” to your question, but this is the
-point: I assume that this slip marked “Auschwitz” came from a delivery
-which was probably made in 1943, but was not dealt with until
-much later; and I made that statement when I was already in Frankfurt,
-so that the name “Auschwitz” was familiar to me. I admit
-that there may be an exaggeration insofar as I did retrospectively
-tell myself that that was a concentration camp, you see. But I
-know that at the time, somehow, our attention was drawn to the
-name “Auschwitz,” and I think we even asked a question about the
-connection; but we received no answer and we never asked again.</p>
-
-<p class='pindent'>DR. SAUTER: Well then, Witness, I have one last question. The
-Prosecution has shown us the Document 3947-PS. I repeat, 3947-PS.
-Apparently this is the draft of a memorandum which some department
-in the Reichsbank seems to have prepared for the Directorate
-of the Reichsbank. It is dated 31 March 1944, and it contains the
-sentence on Page 2 which I shall read to you because it refers to
-Defendant Funk and to Defendant Göring. This is the sentence:</p>
-
-<div class='blockquote'>
-
-<p>“The Reich Marshal of the Greater German Reich, the Delegate
-for the Four Year Plan, hereby informs the German
-Reichsbank, in a letter of 19 March 1944, copy of which is
-enclosed,”—incidentally, the copy is not here, at least I have
-not got it—“that the considerable amounts of gold and silver
-objects, jewels, and so forth, at the Main Trustee Office East
-should be delivered to the Reichsbank according to the order
-issued by Reich Minister Funk”—the defendant—“and Graf
-Schwerin-Krosigk, Reich Finance Minister. The conversion of
-these objects should be accomplished in the same way as the
-‘Melmer’ deliveries.”</p>
-
-</div>
-
-<p class='pindent'>That is the end of my quotation.</p>
-
-<p class='pindent'>Defendant Funk tells me, however, that he knew nothing about
-such instructions, and that such an agreement or such a letter was
-entirely unknown to him and that he did not know anything at all
-about the “Melmer” deliveries.</p>
-
-<p class='pindent'>MR. DODD: I must object to the form of the question. I have
-objected before that it is a long story anticipating the answer to the
-question put to the witness. I think it is an unfair way to examine.
-<span class='pageno' title='614' id='Page_614'></span></p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, you know, do you not, that you
-are not entitled to give evidence yourself? You are not entitled to
-say what Funk told you, unless he has given the evidence.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, this is not one of our witnesses.
-This is a witness who has volunteered for the Prosecution.</p>
-
-<p class='pindent'>THE PRESIDENT: Dr. Sauter, it is not a question of whose witness
-he is. You were stating what Funk told you, and you were
-not referring to anything that Funk had said in evidence, and you
-are not entitled to do that.</p>
-
-<p class='pindent'>DR. SAUTER: As you were Reichsbankrat I should be interested
-to know whether you knew anything about these orders which are
-mentioned in the letter of 31 March 1944 from an office of the
-Reichsbank, and whether the Defendant Funk was concerned with
-this?</p>
-
-<p class='pindent'>THOMS: I think I can remember that instructions actually did
-exist which stated that gold from the Main Trustee Office East
-should be delivered to the Reichsbank. I am not absolutely certain
-whether this sentence is from a note written by the Deputy Director
-of the Main Treasury, Herr Kropp, to the Directorate of the Reichsbank
-at the time. I am fairly certain that originally such instructions
-were actually given, but I want to point out that the Main
-Treasury through the Precious Metal Department was against accepting
-these valuables because technically they were not in a position
-permanently to assume responsibility for such considerable
-deliveries of miscellaneous articles. This instruction was cancelled
-later on through Herr Kropp’s intervention. The deliveries from the
-Main Trustee Office East to the Reichsbank, especially to the Main
-Treasury, were not undertaken. I believe, however, I am right in
-saying that originally instructions of the type which you have just
-described did exist.</p>
-
-<p class='pindent'>DR. SAUTER: Did you see that instruction yourself?</p>
-
-<p class='pindent'>THOMS: I think that in the files of the Precious Metals Department,
-which are in the hands of the American Government, there
-will be carbon copies of these instructions.</p>
-
-<p class='pindent'>DR. SAUTER: Was that instruction signed by the Defendant Funk?</p>
-
-<p class='pindent'>THOMS: That I cannot say.</p>
-
-<p class='pindent'>DR. SAUTER: Or by some other office?</p>
-
-<p class='pindent'>THOMS: I really cannot tell you at the moment, but I cannot
-assume that it is the case because if the text reads, “from the
-Finance Minister and Herr Funk,” then some other department
-must have signed.</p>
-
-<p class='pindent'>DR. SAUTER: Mr. President, I have no further questions.
-<span class='pageno' title='615' id='Page_615'></span></p>
-
-<p class='pindent'>MR. DODD: May I ask one or two questions on re-direct examination.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes.</p>
-
-<p class='pindent'>MR. DODD: Herr Thoms, there wasn’t any exaggeration about
-the fact that you did find a slip of paper with the word “Auschwitz”
-written on it among one of these shipments, was there?</p>
-
-<p class='pindent'>THOMS: No. I found the note.</p>
-
-<p class='pindent'>MR. DODD: Now, I suppose you found lots of things among these
-shipments with names written on them. There must have been something
-that made you remember “Auschwitz,” isn’t that so?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: Well, what was it?</p>
-
-<p class='pindent'>THOMS: I must assume—I mean that I know from my recollection
-that there was some connection with a concentration camp, but
-I cannot say. I am of the opinion that it must have happened later.
-It is really...</p>
-
-<p class='pindent'>MR. DODD: Well, I don’t care to press it. I just wanted to make
-perfectly clear to the Tribunal that you told us that you did remember
-“Auschwitz” and it had such a meaning for you that you
-remembered it as late as after the surrender of Germany. That is
-so, isn’t it?</p>
-
-<p class='pindent'>THOMS: Yes.</p>
-
-<p class='pindent'>MR. DODD: I have no further questions.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): You said there were about 77 deliveries,
-is that right?</p>
-
-<p class='pindent'>THOMS: Yes, there were over 70.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): How large were the deliveries?
-Were they in trucks?</p>
-
-<p class='pindent'>THOMS: They varied in size. Generally they arrived in ordinary
-cars, but sometimes they arrived in trucks. It depended. When
-there were bank notes, for instance, the bulk was smaller and the
-weight was less. If it was silver or silver articles, then the weight
-was greater and a small lorry would bring it.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): There were several lorries, or
-trucks, in each delivery, usually?</p>
-
-<p class='pindent'>THOMS: No, the deliveries were not so large as that. There
-was at the most one truck.</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): And one other question: Do I
-understand you to say that these articles were transferred to new
-containers?
-<span class='pageno' title='616' id='Page_616'></span></p>
-
-<p class='pindent'>THOMS: Yes, they were put into ordinary bags by the Reichsbank.
-The bags were labeled “Reichsbank.”</p>
-
-<p class='pindent'>THE TRIBUNAL (Mr. Biddle): Bags marked with the Reichsbank’s
-name on the bag?</p>
-
-<p class='pindent'>THOMS: Yes, on which the word “Reichsbank” was written.</p>
-
-<p class='pindent'>THE PRESIDENT: The witness can retire.</p>
-
-<p class='pindent'>[<span class='it'>The witness Puhl took the stand.</span>]</p>
-
-<p class='pindent'>THE PRESIDENT: Now, Dr. Seidl, do you want to ask the
-witness Puhl a few questions?</p>
-
-<p class='pindent'>Witness, you remember that you are still on oath?</p>
-
-<p class='pindent'>PUHL: Yes, Sir.</p>
-
-<p class='pindent'>DR. SEIDL: Witness, in connection with Document 3947-PS,
-USA-850, I have several questions to put to you.</p>
-
-<p class='pindent'>You heard earlier when the witness Thoms was examined that
-this letter contains a paragraph which refers to Reich Marshal
-Göring and which is connected with the Main Trustee Office East.
-Is it true that this Main Trustee Office was an office which had
-been established by a Reich law and that its right to confiscate had
-also been specifically outlined by Reich law?</p>
-
-<p class='pindent'>PUHL: I cannot answer the second part of your question without
-looking it up since I am not a legally trained man. The Main
-Trustee Office East was an officially established office—whether by
-a law or by a decree, is something I cannot tell you at the moment.</p>
-
-<p class='pindent'>DR. SEIDL: To your knowledge, did the Main Trustee Office
-East have any connection with the SS Economic Administration
-headquarters, that is to say, with the office of Pohl?</p>
-
-<p class='pindent'>PUHL: I have never observed that.</p>
-
-<p class='pindent'>DR. SEIDL: Is it obviously out of the question, at least when
-you read the letter, that the Main Trustee Office East and its
-deliveries could in any way be connected with the “Melmer” action?</p>
-
-<p class='pindent'>PUHL: That very probably is so, yes.</p>
-
-<p class='pindent'>DR. SEIDL: You mean there was no connection?</p>
-
-<p class='pindent'>PUHL: That there was no connection.</p>
-
-<p class='pindent'>DR. SEIDL: You mentioned this morning that among the business
-transactions which the Reichsbank handled very unwillingly
-were those with the Customs Investigation and the Currency Control
-Offices. The last part of this paragraph which refers to the
-Defendant Göring contains a sentence which refers to the conversion
-of objects of a similar type which were taken from the
-occupied western territories. Is it true that, particularly in the
-<span class='pageno' title='617' id='Page_617'></span>
-occupied western territories, both the Currency Control Offices and
-the Customs Investigation Offices obtained rich booty?</p>
-
-<p class='pindent'>PUHL: The total of the valuables which were brought in by both
-these offices is unknown to me. I rather doubt that it was extraordinarily
-big. However, they were fairly large sums, mostly, of
-course, in foreign currency.</p>
-
-<p class='pindent'>DR. SEIDL: I have no further questions to the witness.</p>
-
-<p class='pindent'>THE PRESIDENT: Mr. Dodd, do you want to ask him anything?</p>
-
-<p class='pindent'>MR. DODD: After having heard Herr Thoms’ testimony, do you
-wish to change any of your testimony that you gave this morning?</p>
-
-<p class='pindent'>PUHL: No.</p>
-
-<p class='pindent'>MR. DODD: And your affidavit that you gave under oath, do
-you wish to have it remain as it is?</p>
-
-<p class='pindent'>PUHL: Yes.</p>
-
-<p class='pindent'>MR. DODD: That is all I have.</p>
-
-<p class='pindent'>THE PRESIDENT: Do you know who Kropp, who signed under
-the word “Hauptkasse” in the letter of 31 March 1944, Document
-3947-PS, is?</p>
-
-<p class='pindent'>PUHL: Herr Kropp was an official of our Treasury Department.
-He had a comparatively responsible position.</p>
-
-<p class='pindent'>THE PRESIDENT: Of which department?</p>
-
-<p class='pindent'>PUHL: The Treasury Department.</p>
-
-<p class='pindent'>THE PRESIDENT: Thank you. The witness can retire.</p>
-
-<p class='pindent'>[<span class='it'>The witness left the stand.</span>]</p>
-
-<p class='pindent'>Dr. Siemers.</p>
-
-<p class='pindent'>DR. SIEMERS: Admiral Raeder, will you come up to the witness
-stand?</p>
-
-<p class='pindent'>[<span class='it'>The Defendant Raeder took the stand.</span>]</p>
-
-<p class='pindent'>May I remind you that I put the basic question whether the
-construction of the Navy was to serve aggressive or defensive
-purposes.</p>
-
-<p class='pindent'>The witness wishes to answer that question by referring to
-parts of the speech he made in 1928. It is Exhibit Number Raeder-6,
-Document Book 1, Page 5, and the speech itself begins on Page 17.</p>
-
-<p class='pindent'>Please go ahead.</p>
-
-<p class='pindent'>RAEDER: First of all, I want to say that Minister Severing,
-whom I had asked for as one of my witnesses, brought this speech
-along of his own free will, as he still remembers the year 1928.</p>
-
-<p class='pindent'>DR. SIEMERS: Mr. President, this is to be found on Page 16 of
-the document book. It is Raeder’s letter to Minister Severing,
-<span class='pageno' title='618' id='Page_618'></span>
-dated 8 October 1928. Severing gave me this speech when he came
-to Nuremberg to appear as a witness.</p>
-
-<p class='pindent'>RAEDER: I shall quote from Page 17, the fifth line from the
-bottom, to shorten the sentence somewhat for the interpreters:</p>
-
-<div class='blockquote'>
-
-<p>“The Armed Forces—I am speaking of course primarily for
-the Navy, but I know that today it is the same with the Army,
-because since 1919 its inner solidarity and training has been
-perfected with the greatest devotion and loyalty to duty—in
-their present structure, whether officer or soldier, in their
-present form of development and their inner attitude, are
-a firm and reliable support, I might even say, because of
-their inherent military might and in view of conditions
-within the Reich, the firmest and most reliable support of
-our German fatherland, the German Reich, the German
-Republic, and its Constitution; and the Armed Forces are
-proud to be that.”</p>
-
-</div>
-
-<p class='noindent'>I then turn to Page 3, and it is the sixth line:</p>
-
-<div class='blockquote'>
-
-<p>“If, however, the State is to endure, this power must be
-available only to the constitutional authorities. No one else
-may have it; that is, not even the political parties. The
-Wehrmacht must be completely nonpolitical and be composed
-only of servicemen who, in full realization of this
-necessity, refuse to take part in any activity of domestic
-politics. To have realized this from the outset and organized
-the Wehrmacht accordingly is the great and enduring achievement
-of Noske, the former Reichswehrminister, whom the
-meritorious Minister Dr. Gessler followed on this road with
-the deepest conviction.”</p>
-
-</div>
-
-<p class='pindent'>Then I talk about the composition of the Navy, and on the
-fourth page I continue, Line 7. Perhaps this is the most important
-sentence:</p>
-
-<div class='blockquote'>
-
-<p>“In my opinion, one thing is of course a prerequisite for the
-inner attitude of the serviceman, namely, that he is willing
-to put his profession into practice when the fatherland calls
-upon him. People who never again want war cannot possibly
-wish to become soldiers. One cannot take it amiss if the Wehrmacht
-infuses into its servicemen a manly and warlike spirit;
-not the desire for war or even a war of revenge or a war
-of aggression, for to strive after that would certainly in the
-general opinion of all Germans be a crime, but the will to
-take up arms in the defense of the fatherland in its hour of
-need.”</p>
-
-</div>
-
-<p class='pindent'>Then I pass on to the last paragraph on Page 4.
-<span class='pageno' title='619' id='Page_619'></span></p>
-
-<div class='blockquote'>
-
-<p>“One must understand—for it is in accordance with the
-essence of the Wehrmacht—if it strives to be as far as possible
-in a position to fulfil its tasks, even under the conditions
-today, dictated by the limitation of the Versailles Treaty.”</p>
-
-</div>
-
-<p class='pindent'>I then refer to the tasks of the small Navy, and that is on
-Page 5, second paragraph, Line 6.</p>
-
-<div class='blockquote'>
-
-<p>“Consider the extent of the German coast line in the Baltic
-and North Sea, chiefly the Prussian coast line, which would
-be open to invasion and to the ravages of even the smallest
-maritime nation, had we not at our disposal modern mobile
-naval forces at least up to the strength permitted by the provisions
-of the Versailles Treaty. Above all, think of the position
-of East Prussia, which in the event of the closing of the
-Corridor would be wholly dependent on overseas imports,
-imports which would have to be brought past the bases of
-foreign nations and in the event of war would be endangered
-to the utmost, or even be made impossible if we were not in
-possession of fighting ships. I ask you to remember the
-reports about the effect of the visits of our training ships
-and of our fleet to foreign countries, when, already in 1922,
-the model conduct of our ship crews testified to an improvement
-in the internal conditions of the Reich, and increased
-considerably the esteem for the German Reich.”</p>
-
-</div>
-
-<p class='pindent'>So much for this speech.</p>
-
-<p class='pindent'>THE PRESIDENT: Since you are passing from that now, we
-might perhaps adjourn.</p>
-
-<h3>[<span class='it'>A recess was taken.</span>]</h3>
-
-<p class='pindent'>DR. SIEMERS: Admiral, hanging over this Trial are the words:
-“Wars of Aggression are Crimes.”</p>
-
-<p class='pindent'>We have just seen from your speech that, as early as January,
-1928, you used these words, before the Kellogg Pact. In conclusion,
-I should like to ask you, did this principle of January 1928 remain
-your principle during the whole time of your command of the
-Navy?</p>
-
-<p class='pindent'>RAEDER: Of course.</p>
-
-<p class='pindent'>DR. SIEMERS: In connection with the Versailles Treaty, I should
-now like to submit an affidavit, because some figures are necessary
-here which are easier to present in writing than by interrogation.
-I shall submit Affidavit II by Vice Admiral Lohmann, Exhibit
-Number Raeder-8, Document Book 1, Page 39.
-<span class='pageno' title='620' id='Page_620'></span></p>
-
-<p class='pindent'>For the guidance of the Tribunal, so that there may be no misunderstanding,
-I should like to point out that Vice Admiral Lohmann
-has nothing to do with the Captain Lohmann who was well-known,
-almost famous, in the twenties.</p>
-
-<p class='pindent'>The Tribunal may remember that the Lohmann affair was mentioned
-in connection with the breaches of the Versailles Treaty.
-Captain Lohmann died in 1930, and has nothing to do with the
-present author of this affidavit, Vice Admiral Lohmann. I also
-remind the Court that the Lohmann affair took place before Admiral
-Raeder was in charge of the Navy, before 1928.</p>
-
-<p class='pindent'>I quote from the Lohmann affidavit the statement under Numeral I.</p>
-
-<p class='pindent'>THE PRESIDENT: Are you wanting to call this Admiral Lohmann
-as a witness?</p>
-
-<p class='pindent'>DR. SIEMERS: No, I did not name him as a witness; I was satisfied
-with an affidavit, because of the many figures. The British
-Prosecution has already agreed to the affidavit being submitted, but
-asked that Admiral Lohmann might be cross-examined. It was
-arranged between Sir David and myself.</p>
-
-<p class='pindent'>THE PRESIDENT: I see, yes. You do not need to go into all these
-figures of tons, do you? You do not need to read all these, do you?</p>
-
-<p class='pindent'>DR. SIEMERS: No. I did not want to read the individual figures.
-I would point out that this affidavit does not deal with tonnage; it
-concerns Number Raeder-8, Page 39.</p>
-
-<p class='pindent'>THE PRESIDENT: Yes, I have got the one. There are a good
-many tons in it, though.</p>
-
-<p class='pindent'>DR. SIEMERS: I should like to read under Numeral I:</p>
-
-<div class='blockquote'>
-
-<p>“Under the Versailles Treaty, Germany was permitted to
-build eight armored ships. Germany, however, built only
-three armored ships, the <span class='it'>Deutschland</span>, the <span class='it'>Admiral Scheer</span>,
-and the <span class='it'>Graf Spee</span>.”—I will skip the following.</p>
-
-<p>“II. Under the Versailles Treaty, Germany was permitted to
-build eight cruisers. Germany, however, built only six
-cruisers.”</p>
-
-</div>
-
-<p class='noindent'>I shall omit the details according to the wish of the Tribunal.</p>
-
-<div class='blockquote'>
-
-<p>“III. Under the Versailles Treaty, Germany was permitted to
-build 32 destroyers and/or torpedo boats. Germany, however,
-built only 12 destroyers and no torpedo boats.”</p>
-
-</div>
-
-<p class='pindent'>According to this, in building up the Navy, Germany in no way
-took advantage of the possibilities of the Versailles Treaty, and if I
-understand correctly, she specifically omitted the construction of
-offensive weapons, namely, the large ships.</p>
-
-<p class='pindent'>May I ask you to make a statement about this.
-<span class='pageno' title='621' id='Page_621'></span></p>
-
-<p class='pindent'>RAEDER: That is entirely correct. It is astonishing that at this
-period of time so little advantage was taken of the Versailles Treaty.
-I was reproached for this later when the National Socialist government
-came to power. They did not bear in mind, however, that the
-government at that time, and the Reichstag, were not inclined to let
-us have these ships. We had to fight hard for permission. But this
-failure to build up the Navy to the strength permitted has no
-relationship to the small breaches of the Versailles Treaty, which
-we committed mainly in order to build up, one could say, a pitiable
-defense of the coast in the event of extreme emergency.</p>
-
-<p class='pindent'>DR. SIEMERS: I shall come back to Document C-32. It is established
-that during the time of the Versailles Treaty, Germany did
-not take advantage of the provisions of the Treaty, particularly in
-regard to offensive weapons. On the other hand, on the basis of the
-documents submitted by the Prosecution, it has been established
-and it is also historically known, that the Navy in building itself up
-committed breaches of the Versailles Treaty in other directions.
-I should like to discuss with you the individual breaches which were
-presented with great precision by the Prosecution. But first I should
-like to discuss the general accusation, which I have already mentioned,
-that these breaches were committed behind the back of the
-Reichstag and the Government.</p>
-
-<p class='pindent'>Is this accusation justified?</p>
-
-<p class='pindent'>RAEDER: Not at all. I must repeat that I was connected with
-these breaches only when on 1 October 1928, I became Chief of the
-Navy Command in Berlin. I had nothing to do with things which
-had been done previously.</p>
-
-<p class='pindent'>When I came to Berlin, the Lohmann case, which you mentioned
-previously, had already been concluded. It was in the process of
-being liquidated; and the Reich Defense Minister Gröner, when the
-affair was first discovered, ordered the Army as well as the Navy to
-report to him all breaches which were in process; and from then on
-he was going to deal with these things together with Colonel Von
-Schleicher, his political adviser. He liquidated the Lohmann affair,
-and this liquidation was still in progress when I came there.</p>
-
-<p class='pindent'>On 1 October 1928 he had already come to the decision to transfer
-the responsibility for all these evasions and breaches of the Versailles
-Treaty to the Reich Government, as a whole, at that time the
-Müller-Severing-Stresemann Government, since he believed that he
-could no longer bear the responsibility alone.</p>
-
-<p class='pindent'>As a result on 18 October, when I had just become acquainted
-with these matters, he called a cabinet meeting to which the Chief
-of the Army Command, General Heye, and I, as well as some office
-chiefs in both administrations, were called. At this cabinet meeting,
-<span class='pageno' title='622' id='Page_622'></span>
-General Heye and I had to report openly and fully before all the
-Ministers as to what breaches there were on the part of the Army
-and the Navy. The Müller-Severing-Stresemann government took
-full responsibility and exonerated the Reich Defense Minister, who,
-however, continued to be responsible for carrying things through.
-We had to report to the Reich Defense Minister everything which
-happened in the future and were not allowed to undertake any steps
-alone. The Reich Defense Minister handled matters together with
-the Reich Minister of the Interior, Severing, who showed great
-understanding for the various requirements.</p>
-
-<p class='pindent'>DR. SIEMERS: At this cabinet meeting you and General Heye as
-Chief of the Army Command submitted a list of the individual small
-breaches?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: And thereupon the Government told you, “We
-will take the responsibility”?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Accordingly, in the following years did you
-always act in agreement with the Reich Government?</p>
-
-<p class='pindent'>RAEDER: Yes, the Reich Defense Minister, Gröner, was extremely
-sensitive on this point. He had dissolved all the so-called
-“black” funds which existed and insisted absolutely that he should
-know about everything and should sanction everything. He thought
-that only in this way could he take the responsibility towards the
-Government.</p>
-
-<p class='pindent'>I had nothing whatever to do with the Reichstag. The military
-chiefs were not allowed to have contact with the members of the
-Reichstag in such matters. All negotiations with the Reichstag were
-carried out through the Reich Defense Minister or by Colonel Von
-Schleicher on his behalf. I was therefore in no position to go behind
-the back of the Reichstag in any way. I could discuss budget matters
-with the Reichstag members only in the so-called Budget Committee,
-where I sat next to the Reich Defense Minister and made technical
-explanations to his statements.</p>
-
-<p class='pindent'>DR. SIEMERS: From 1928 on, that is from your time on, there
-were no longer any secret budgets within the construction program
-of the Navy without the approval of the Reich Government?</p>
-
-<p class='pindent'>RAEDER: Without the approval of the Reich Government and,
-above all, of the Reich Defense Minister who allotted the money to
-us exactly as the other budgets were allotted.</p>
-
-<p class='pindent'>DR. SIEMERS: May I ask the Tribunal in this connection to look
-at Document Exhibit Number Raeder-3 which has already been
-<span class='pageno' title='623' id='Page_623'></span>
-submitted, “Constitution of the German Reich,” Document Book 1,
-Page 10, Article 50; it is brief and reads:</p>
-
-<div class='blockquote'>
-
-<p>“In order to be valid, all decrees and orders issued by the
-Reich President, including those pertaining to the Armed
-Forces, must be countersigned by the Reich Chancellor or the
-competent Reich Minister. By the act of countersigning, responsibility
-is accepted by the Reich Chancellor.”</p>
-
-</div>
-
-<p class='pindent'>That is the constitutional principle which the Reich Government
-at that time—Stresemann, Müller, Severing—insisted upon in October
-1928.</p>
-
-<p class='pindent'>An important part of the building up of the Navy consisted in
-renewing the old capital ships and cruisers from the last war. In
-this connection, I take the liberty of submitting to the Tribunal
-Exhibit Number Raeder-7, Document Book 1, Page 23. This document
-deals with the so-called ship replacement construction plan.
-This ship replacement construction plan was, as Page 24 of the
-document book shows, Paragraph 2, Figure 2, submitted by a resolution
-of the Reichstag. I should like to refer you to Page 24, Figure 3,
-of the document which shows that this ship replacement construction
-plan covered three armored ships, and it adds that the construction
-might last until 1938.</p>
-
-<p class='pindent'>May it please the Tribunal, this figure is important. The Prosecution
-desired to construe the chance fact that in 1933 a construction
-plan was drawn up to extend until 1938, to mean that there were
-aggressive intentions.</p>
-
-<p class='pindent'>This ship replacement construction plan of the year 1930 had the
-same goal in 1938 and, as the Prosecution will admit, can have
-nothing to do with a war of aggression.</p>
-
-<p class='pindent'>The plan was submitted then, Witness, through the Reich Government
-and you did only the preparatory work?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Is this only true of the ship replacement plan for
-1930, or was it always handled in the same way in subsequent years?</p>
-
-<p class='pindent'>RAEDER: The plan as submitted was approved in principle by
-the Reichstag. Each individual ship, however, had to be approved
-again in the budget plan of the year in which the construction was
-to begin. The whole construction program was thus always in close
-agreement with the Reich Government and the Reichstag.</p>
-
-<p class='pindent'>DR. SIEMERS: In connection with this ship replacement program
-within the framework of the documentary evidence, I should
-like to refer to two points which will greatly shorten the questioning
-of the witness.</p>
-
-<p class='pindent'>For the time being I do not want to quote from Page 26. I ask
-you to take judicial notice of the rest of the contents, and wish
-<span class='pageno' title='624' id='Page_624'></span>
-merely to point out that this refers to the great age of all capital
-ships, and their replacement which this necessitated.</p>
-
-<p class='pindent'>On Page 27 of the document book it expressly mentions that the
-Reichstag in its 89th session of 18 June 1929 asked the Reich Government
-for an extension of the period for the construction program.
-The general opinion at that time was, as the ship replacement program
-shows, set out in the <span class='it'>Frankfurter Zeitung</span> of 15 August 1928,
-where the <span class='it'>Frankfurter Zeitung</span> points out that an armored cruiser
-gains its full value only when it forms part of a squadron. The
-<span class='it'>Frankfurter Zeitung</span> was, as is well known, the best German newspaper;
-and it was banned only in 1943 during the war by the
-National Socialist dictatorship which was growing ever stronger.</p>
-
-<p class='pindent'>I should like to refer to Page 29 and quote one sentence:</p>
-
-<div class='blockquote'>
-
-<p>“The building of battleships will be extended as far as possible,
-so as to keep the naval yards at Wilhelmshaven occupied
-continuously. The ideal time of construction is about three
-years; and it is then explained that, working on the principle
-of giving as long employment as possible, the building time
-is prolonged as much as possible.”</p>
-
-</div>
-
-<p class='pindent'>I believe this shows there was no aggressive intention, since
-otherwise the building program would have been speeded up.</p>
-
-<p class='pindent'>Then I ask you to take judicial notice of Page 30, the construction
-cost of an armored ship having a tonnage of 10,000 tons, where
-it mentions that it was about 75 million marks. This figure is important
-to me as evidence in view of the further course of the
-testimony, where the cost of the breaches of the Versailles Treaty
-will be shown.</p>
-
-<p class='pindent'>Finally may I quote from Page 30 a few lines which give the
-principle for the employment of the Wehrmacht. I quote:</p>
-
-<div class='blockquote'>
-
-<p>“Since carrying out the disarmament program, which so
-far the German Republic alone among all the Great Powers
-has effected, for the Wehrmacht, which serves to protect the
-borders and peace, the following eventualities for the taking
-up of arms comes into consideration: (a) defense against the
-stealing of territories, (b) defense of neutrality in conflicts
-among third parties.”</p>
-
-</div>
-
-<p class='pindent'>[<span class='it'>Turning to the defendant.</span>] I should like to refer to the individual
-breaches of the Treaty of which the Prosecution has accused
-you. In this connection, I submit Exhibit Raeder-1, in Document
-Book 1, Page 1, and I refer to Page 3, Article 191. It concerns the
-accusation that Germany, contrary to the Versailles Treaty, constructed
-submarines. Article 191 reads, and I quote, “The construction
-and acquisition of all submersible craft, even for commercial
-purposes, is forbidden to Germany.”
-<span class='pageno' title='625' id='Page_625'></span></p>
-
-<p class='pindent'>I will soon put a question to you in regard to the established fact
-that the Navy was interested in a firm which dealt with the designing
-of submarines in Holland and in a general construction program for
-ships and submarines, which was being carried out in Holland; but
-in order to save time, it will be simpler if I read from the Lohmann
-affidavit which I submit as Exhibit Raeder-2, in Document Book 1,
-Page 4. I quote a short paragraph under 1:</p>
-
-<div class='blockquote'>
-
-<p>“According to the Treaty of Versailles, the German Reich was
-neither to build nor to acquire U-boats. When in July, 1922,
-the firm N. V. Ingenieurskantoor Voor Scheepsbouw was
-established in the Hague, the Navy acquired an interest in it
-in order to keep informed on modern U-boat construction. The
-intention was to use the experience gained thereby for the
-German Navy, when later on the conditions of the Treaty of
-Versailles would be annulled by negotiations and Germany
-would be again permitted to build U-boats. Moreover, the
-Navy wanted, for the same purpose, to train a small nucleus
-of skilled personnel. The Dutch firm was strictly a designing
-bureau.”</p>
-
-</div>
-
-<p class='pindent'>May it please the Tribunal, as a precaution I should like to point
-out in this passage that there is a translation mistake in the English
-copy. The word “Konstruktion” has been translated “construction,”
-and construction means “building” in German. It was not a construction
-bureau. As far as I know, “Konstruktion” must be translated
-“design.” Since in view of Article 191 this point is important,
-I want to correct this.</p>
-
-<p class='pindent'>I quote further:</p>
-
-<div class='blockquote'>
-
-<p>“The first German U-boat was commissioned 29 June 1935.
-The procuring of parts to build U-boats had started correspondingly
-earlier.”</p>
-
-</div>
-
-<p class='pindent'>I wish to remind you that, when the first submarine was commissioned,
-the Anglo-German Naval Agreement, according to
-which submarine construction was permitted, was already in existence.
-I will ask if this statement of Admiral Lohmann is correct.</p>
-
-<p class='pindent'>RAEDER: Yes. It entirely corresponds with the facts.</p>
-
-<p class='pindent'>DR. SIEMERS: Then I come to Prosecution Document C-141,
-Exhibit USA-47. This is in the Raeder Document Book Number 10,
-on Page 22, in the compilation of the British Delegation. This is
-your letter of 10 February 1932 in regard to torpedo armament of
-the S-boats, the speed boats.</p>
-
-<p class='pindent'>THE PRESIDENT: Is this in Document Book 10a or 10?</p>
-
-<p class='pindent'>DR. SIEMERS: Document Book 10. The old document book.</p>
-
-<p class='pindent'>THE PRESIDENT: I’ve got my pages wrongly marked somehow.
-It is all right.
-<span class='pageno' title='626' id='Page_626'></span></p>
-
-<p class='pindent'>DR. SIEMERS: Please excuse me. That is how the page numbers
-were given to me.</p>
-
-<p class='pindent'>THE PRESIDENT: It is correct in the other members’ books.</p>
-
-<p class='pindent'>DR. SIEMERS: The torpedo armament of speed boats was not
-expressly permitted in the Versailles Treaty and for that reason you
-are accused in this connection. Did this involve only the five speed
-boats mentioned in this document?</p>
-
-<p class='pindent'>RAEDER: Yes. There were five boats which we had ordered for
-use as patrol boats in the shipbuilding replacement program and
-which in themselves had no armament.</p>
-
-<p class='pindent'>DR. SIEMERS: How big were these boats?</p>
-
-<p class='pindent'>RAEDER: Certainly not bigger than 40 tons, probably considerably
-smaller.</p>
-
-<p class='pindent'>DR. SIEMERS: Were more boats of this type built during the
-Versailles Treaty?</p>
-
-<p class='pindent'>RAEDER: I cannot say with certainty. In any case, we had no
-armed boats in addition.</p>
-
-<p class='pindent'>DR. SIEMERS: Yes, excuse me, that is what I mean—more
-armed boats.</p>
-
-<p class='pindent'>RAEDER: No. We could build 12 plus 4, which makes 16 torpedo
-boats of 200 tons. A torpedo boat of 200 tons could not be produced
-in a practical manner at that time because of the question of the
-motors and the question of seaworthiness. For that reason we did
-not build these torpedo boats for the time being but kept in service
-a number of quite old torpedo boats, built at the beginning of the
-century, in order to be able to train crews with them. We could no
-longer use these boats for fighting. But so that—as long as we could
-not replace these boats—we might have a few boats capable of
-action, however small, which could be of use in blocking the Baltic,
-I ordered that these patrol boats should be equipped to take torpedo
-tubes on board.</p>
-
-<p class='pindent'>However, so that in 1932 we should not make our situation worse
-by open breaches of the Treaty, when we hoped that at the Disarmament
-Conference we might make some progress, I had one boat at a
-time armed in order to fit and test the armament; and I then had
-the armament dismounted again so that there was always only one
-boat available with armament at any one time. We planned to put
-the torpedo tubes on board the speed boats only if the political
-situation, that is, the situation after the Disarmament Conference,
-would permit it. That is what I say in Number 3 in the concluding
-sentence.</p>
-
-<p class='pindent'>DR. SIEMERS: I can take it then that we were allowed to build
-16 torpedo boats making 3,200 tons in all?
-<span class='pageno' title='627' id='Page_627'></span></p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: And instead we built only five speed boats totalling
-200 tons?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Concerning the accusation made by the Prosecution
-that you did not count the speed boats against the torpedo
-boats you actually did not intend to keep anything secret; but you
-wanted to discuss it with the Control Commission when the time
-came?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Now I come to the most extensive document in
-regard to breaches which the Prosecution submitted, Document C-32,
-USA-50. The document is in Document Book 10a, Page 8; in the
-new document book of the British Delegation.</p>
-
-<p class='pindent'>In this list all breaches are included under date 9 September 1933.
-The Prosecution justly points out that this compilation is very
-thorough; and the Prosecution presented it just as thoroughly,
-although, as I believe I can prove, they are, in the last analysis,
-small matters. I am compelled to ask the witness to answer these
-points in detail since they were brought up in detail. Breach Number
-1 concerns the exceeding of the permitted number of mines.
-In Column 2 it states that according to the Versailles Treaty, that is,
-by the Commission, 1,665 mines were permitted; but we owned
-3,675 mines. That is 2,000 too many. Will you please tell the Court
-the significance of this breach; it doubtlessly was a breach.</p>
-
-<p class='pindent'>RAEDER: I should like to say in advance that this list was
-prepared for our Navy representative at the Disarmament Conference,
-so that if these things should be mentioned, he could give
-them an explanation. That is why it was so explicit, even though
-most of the things it contains are of minor importance. I should
-like to add to what I said previously, in regard to the danger of
-attacks by Poland, that in view of the political situation at that
-time we always feared that the Poles, if they should undertake an
-invasion of our country, might receive certain support from the sea
-by France, inasmuch as French ships, which at that time often
-visited the Polish port of Gdynia, could attack our coast through the
-Baltic entrances, the Belt, and the Sound. For this reason the defense
-of the Baltic entrances by mines played an important role.
-Thus, we undertook this breach of the Treaty in order to be able
-to close at least the Baltic entrances at the narrow points, which was
-of course possible only for a certain time. With these mines only a
-stretch of 27 nautical miles could have been closed. Thus, we would
-have been able to close a part of Danzig Bay on which Gdynia was
-situated, or a part of the Belt, by laying several rows of mines.
-<span class='pageno' title='628' id='Page_628'></span>
-This was the only method which could be effective for any length
-of time. This was purely a question of defense, but still they exceeded
-the number of mines permitted from the war supplies still
-available.</p>
-
-<p class='pindent'>DR. SIEMERS: Just now in the calculation of the 27 nautical
-miles you included the total number which Germany had at that
-time.</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Not just the number which exceeded that which
-was permitted?</p>
-
-<p class='pindent'>RAEDER: No, the total.</p>
-
-<p class='pindent'>DR. SIEMERS: So that the number in excess is only half this
-number?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: And then I should like to have an approximate
-comparison. I was told, by way of comparison, that the British in
-the first World War laid about 400,000 to 500,000 mines in the North
-Sea. Do you recall if this number is approximately right?</p>
-
-<p class='pindent'>RAEDER: Approximately it may be right. I cannot say exactly
-from memory.</p>
-
-<p class='pindent'>DR. SIEMERS: I believe the approximation suffices to give a
-picture of the relative values.</p>
-
-<p class='pindent'>A second small question now. Is it true that for mining English
-ports Reich Marshal Göring’s Luftwaffe in one action alone used
-30,000 to 50,000 mines? Do you know of that?</p>
-
-<p class='pindent'>RAEDER: I have heard so.</p>
-
-<p class='pindent'>DR. SIEMERS: Then there is a second point. I quote, “Continuous
-storing of guns from the North Sea area for Baltic artillery
-batteries.”</p>
-
-<p class='pindent'>This involves 96 guns, only 6 of which are of large caliber, the
-others of smaller caliber. May I ask you to explain this breach of
-the Treaty?</p>
-
-<p class='pindent'>RAEDER: This is quite a small breach. We were allowed a comparatively
-large number of guns on the North Sea coast. On the
-other hand, according to plans the Baltic coast was comparatively
-bare of guns, since they wanted to retain free entry to the Baltic,
-whereas we had the greatest interest in closing the Baltic against
-attacks. For this reason we stored the gun barrels, which belonged
-in the North Sea but which had been brought to the Baltic for repairs,
-in sheds in the Baltic area for a long time in order to be
-able to mount these guns on the Baltic coast in case of attack. The
-<span class='pageno' title='629' id='Page_629'></span>
-North Sea coast had many guns; and because of the shallowness, it
-was much easier to defend than the Baltic coast. That was the breach.</p>
-
-<p class='pindent'>DR. SIEMERS: In practice it only involved moving them from
-the North Sea to the Baltic coast. That is, not mounting them, but
-merely storing them.</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Then under Figure 3, another charge, “non-scrapping
-of guns.” A total of 99 guns is mentioned of which the
-ten largest, of 28 centimeters, were actually scrapped. Please
-comment on this.</p>
-
-<p class='pindent'>RAEDER: When we acquired new guns, as for example, for the
-battleship <span class='it'>Deutschland</span>, six 28-centimeter guns were constructed, or
-for the <span class='it'>Deutschland</span> and the cruisers, forty-eight 15-centimeter guns,
-we had to scrap a corresponding number of old guns. Ten of this
-number were actually scrapped. All the guns were turned over to
-the Army for scrapping and we received a receipt for them, saying
-that the guns had been scrapped. We learned, however, that the
-Army in fact had not scrapped the guns, but with the exception of
-the ten 28-centimeter guns, it intended to use them for arming the
-fortifications to be built in case of attack, since the Army had no
-such guns at all.</p>
-
-<p class='pindent'>DR. SIEMERS: I should like to make the time clear. This must
-have been a breach of the Treaty which occurred long before the
-time you took office as Chief of the Navy Command.</p>
-
-<p class='pindent'>RAEDER: This happened between 1919 and 1925 for the most
-part. In any case I had nothing to do with these matters.</p>
-
-<p class='pindent'>DR. SIEMERS: Number 4 is very simple: “Deviation from the
-places settled by the Entente for the disposition of coastal batteries.”</p>
-
-<p class='pindent'>RAEDER: Previously, up to the time of the World War, especially
-the heavy batteries and the medium-sized batteries were placed
-very close to each other, or rather in the batteries the guns were
-placed very close to each other. According to our experience in the
-World War the heavy and medium-sized guns within the batteries
-were placed further apart, so that a single hit would not destroy
-several guns at once. For this reason we re-arranged these heavy
-and medium batteries and moved the guns a little further apart. For
-that reason they were no longer exactly in the places where they
-had been at the time of the Treaty. Otherwise nothing was changed.</p>
-
-<p class='pindent'>DR. SIEMERS: Would not these things have been approved by
-the Control Commission because they were purely technical?</p>
-
-<p class='pindent'>RAEDER: I cannot say, I never took part in these negotiations.</p>
-
-<p class='pindent'>DR. SIEMERS: Number 5 concerns the laying of gun platforms
-for artillery batteries and the storing of A. A. ammunition. In
-<span class='pageno' title='630' id='Page_630'></span>
-Column 2 there is again the question of changing to a different place
-than that allowed by the Entente. Does the same thing apply here
-as to Number 4?</p>
-
-<p class='pindent'>RAEDER: No, not completely. We wanted to put the A. A. batteries
-where they were particularly useful and could be fully utilized,
-whereas the Commission did not want to have them at these places.
-As a result we left the A. A. batteries where they were; but at other
-points we prepared so-called gun platforms, which were improvised
-wooden platforms, so that in case of attack from any enemy we
-could set up the A. A. guns in order to use them most effectively.
-In the same way...</p>
-
-<p class='pindent'>DR. SIEMERS: This is only a question then of platforms for an
-A. A. battery, only the foundations for a defense?</p>
-
-<p class='pindent'>RAEDER: Yes, only foundations.</p>
-
-<p class='pindent'>DR. SIEMERS: Then comes Number 6: “Laying gun platforms
-in the Kiel area.”</p>
-
-<p class='pindent'>RAEDER: The Kiel area was especially bared of guns, because
-the entrance through the Belt to Kiel was to be as little armed and
-as open as possible. For this reason the setting up of guns in the
-Kiel area was especially forbidden; and in order to be able to set
-up some guns in a hurry, in case of necessity, gun platforms were
-prepared there also.</p>
-
-<p class='pindent'>DR. SIEMERS: The next point the Prosecution gives comes
-under Number 7: “Exceeding the caliber permitted for coastal batteries.”
-“Coastal batteries” shows that it is for defense, but nevertheless
-it was brought up as an accusation.</p>
-
-<p class='pindent'>RAEDER: Yes. It says here that instead of six 15-centimeter, three
-17-centimeter guns were built. Of course, it is a deviation, insofar
-as the guns were to stay there; but it is open to doubt whether
-these six 15-centimeter guns might not have been better along the
-coast than the three 17-centimeter guns.</p>
-
-<p class='pindent'>DR. SIEMERS: I see, you mean that they are actually less than
-the number permitted?</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Instead of five 15-centimeter there were only
-three 17-centimeter?</p>
-
-<p class='pindent'>RAEDER: Instead of six.</p>
-
-<p class='pindent'>DR. SIEMERS: Yes, instead of six only three, and the caliber
-was 2 centimeter larger.</p>
-
-<p class='pindent'>RAEDER: Yes.</p>
-
-<p class='pindent'>DR. SIEMERS: Then comes Number 8, the arming of M-boats.
-M-boats are mine sweepers.
-<span class='pageno' title='631' id='Page_631'></span></p>
-
-<p class='pindent'>RAEDER: We had the old mine sweepers which in case of attack
-on the Baltic were to serve the double purpose of finding the mines
-and of guarding the mine barrage which we wanted to lay in the
-exits of the Belt in order to close the Baltic, and of defending it
-against light enemy forces. For this reason we gave each one a
-10.5-centimeter gun and one machine gun C-30.</p>
-
-<p class='pindent'>DR. SIEMERS: Actually a minimum armament?</p>
-
-<p class='pindent'>RAEDER: Yes, quite a minimum armament.</p>
-
-<p class='pindent'>DR. SIEMERS: Number 9 can be quickly settled, I believe:
-“Arming of six S-boats and eight R-boats.”</p>
-
-<p class='pindent'>The six S-boats are those which were discussed in the Document
-C-141?</p>
-
-<p class='pindent'>RAEDER: Yes, it says here boats armed with torpedoes.</p>
-
-<p class='pindent'>DR. SIEMERS: Number 10: “Setting up practice A. A. batteries.”
-Is that a breach of the Treaty?</p>
-
-<p class='pindent'>RAEDER: Yes, it was, after all, an A. A. battery. It was only
-because near the garrisons where there were barracks with our men
-we wanted an opportunity to practice A. A. firing exercise. That
-is why we set up these batteries near the barracks. There was no
-intention of using them in this place for defense. It was only a
-matter of expediency for training.</p>
-
-<p class='pindent'>DR. SIEMERS: Then comes Number 11.</p>
-
-<p class='pindent'>RAEDER: The individual cases are gradually becoming more
-ridiculous. I consider it a waste of time.</p>
-
-<p class='pindent'>DR. SIEMERS: I am sorry, Admiral, that I must put you to this
-trouble; but I believe it is necessary, since the Prosecution read
-almost all these items into the record and wanted to put a construction
-on them which puts you at a disadvantage.</p>
-
-<p class='pindent'>RAEDER: Then there is the “Salute Battery Friedrichsort.”</p>
-
-<p class='pindent'>Friedrichsort is the entrance to Kiel where foreign ships salute
-when they enter, and the salute must be returned. Two 7.7-centimeter
-field guns which had been rendered unserviceable had been
-approved for this purpose. With these guns, sharp-shooting was not
-possible; it was since there was a battery foundation already available
-there, that instead of these two 7.7-centimeter guns we should
-set up four 8.8-centimeter A. A. guns which were ready for full use.
-But this too was long before the time when I was Commander-in-Chief
-of the Navy.</p>
-
-<p class='pindent'>THE PRESIDENT: We will adjourn now.</p>
-
-<h3>[<span class='it'>The Tribunal adjourned until 16 May 1946, at 1000 hours.</span>]</h3>
-
-<hr class='pbk'/>
-
-<p class='line' style='text-align:center;margin-top:4em;margin-bottom:2em;font-size:1.2em;'>TRANSCRIBER NOTES</p>
-
-<p class='pindent'>Punctuation and spelling have been maintained except where obvious
-printer errors have occurred such as missing periods or commas for
-periods. English and American spellings occur throughout the document;
-however, American spellings are the rule, hence, “Defense” versus
-“Defence”. Unlike Blue Series volumes I and II, this volume includes
-French, German, Polish and Russian names and terms with diacriticals:
-hence Führer, Göring, etc. throughout.</p>
-
-<p class='pindent'>Although some sentences may appear to have incorrect spellings or verb
-tenses, the original text has been maintained as it represents what the
-tribunal read into the record and reflects the actual translations
-between the German, English, French, and, most specifically with this
-volume, Russian documents presented in the trial.</p>
-
-<p class='pindent'>An attempt has been made to produce this eBook in a format as close as
-possible to the original document presentation and layout.</p>
-
-<hr class='footnotemark'/>
-
-<div class='footnote'>
-<p class='footnote'>
-<span class='footnote-id' id='fstar_1'><a href='#rstar_1'>*</a></span>
-
-Page 155 in the text has a date correction where the Reich Defense Law
-of 4 September 1939 has been corrected to 4 September 1938.</p>
-
-<div class='blockquote'>
-
-<p class='pindent'>“Under the Reich Defense Law of 4 September <span class='ul'>1938</span> I have
-the direction for the economic preparations for the Reich defense,
-except the armament industry.”</p>
-
-</div>
-
-</div>
-
-<p class='line'>&#160;</p>
-
-<p class='noindent'>[The end of <span class='it'>Trial of the Major War Criminals
-Before the International Military Tribunal Vol. 13</span>,
-by Various.]</p>
-
-<div style='display:block; margin-top:4em'>*** END OF THE PROJECT GUTENBERG EBOOK TRIAL OF THE MAJOR WAR CRIMINALS BEFORE THE INTERNATIONAL MILITARY TRIBUNAL, VOL. 13 ***</div>
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