The heading reads: "The Reich Fuehrer SS Personal Staff, Field Command Post, 24 August, 1942. To: Chief of SS Main Office, SS Gruppenfuehrer Berger. Dear Gruppenfuehrer: SS Hauptsturmfuehrer Professor Dr. A. Hirt, Strassburg, who had a great part in the finding of the institute for military scientific research; you are urgently needed in our medical section. Oberzrst Karl Wimmer is at present on this medical section seven to work at the Anatomischen Institute at the University of Strassburg." The rest of the letter does not interest us; only the signature. SS- Obersturmfuehrer -it is to be assumed that that is Rudolf Brandt, the defendant.
A Let me correct one thing. This is the Luftwaffe Medical Training Section.
Q Yes. The second letter I want to discuss with you us in Document Book No. 13, on page 30; it is submitted by the Prosecution as NO 193, Exhibit No. 264. I shall quote from this too. First the heading: "Das Ahnenerbe, the Reich Business Manager, Berlin-Dahle.22.4.43, Secret; to: SS Obersturmbannfuehr Rudolf Brandt, Personal Staff Reich Fuehrer SS, Berlin SW 11, subject: Dr. Med. Habil Karl Himmer Stabsarzt der Luftwaffe, commandad by Luftgauarzt Muenchen, physician, for service with the Anatomischen Institute of the University of Strassburg. Dear Comrade Brandt: Effectively immediately Dr. Wimmer has been transferred to the XX Air Corps; according to information given by Mitteilung in Berlin." The rest of the letter is of no interest. Now, I should like to ask you this question on the basis of your knowledge of matters concerning officers? can you say whether the medical inspectorate of the Luftwaff was informed of this service of Dr. Wimmer to the Institute in Strassburg, or whether this assignment was ordered by the medical inspectorate?
A That happened in 1942? for that reason I can answer only on the basis of my general knowledge. Luftgausanitaetsbteilung 7 can transfer a physician under his command from one point to another. There was no difficulty in that, transferring a physician to Strassburg.
Q Strassburg was under Luftgau 7, wasn't it?
A Yes. That is something which the medical inspectorate no doubt never learned about. It is possible that the Air Fleet Physician, I think it was Zenter at that time, was information about that; probably nobody else.
Q Then the medical inspectorate probably didn't learn about that?
A No.
Q That is, from the first letter; what would you conclude from the second letter that he is to be transferred effective immediately; what does that mean? Let me put it like this. Who had to order this transfer?
A The personnel office.
Then, the Reich Aviation Ministry?
A Yes.
Q And can we assume that a transfer of a medical officer from such a detail would have taken place suddenly if the Reich Aviation Ministry had know about it?
A No, I wouldn't think so. One must conclude that the personnel office transferred him, without reporting to the inspectorate; out, that is not necessary. There were about seven thousand medical officers in the Luftwaffe.
Q Then you conclude the medical inspectorate know about the transfer to Strassburg?
A Yes, that is my conclusion.
Q. Now, Witness, another document with a similar effect. You have it, too. It is again in Book XIII on page 33, Document NO-195, Exhibit 266.
It reads:
"The Reichsfuehrer SS, Personal Staff, Field Command Post, 9 July 1943. Top Secret."
It is addressed to the Personal Referent of the Reich Marshal, Ministerial Counselor, Dr. Goerner.
"Dear Party Member Goerner: Referring to our telephone conversation of the 3rd of June 1943, I request your support for a very quick re-transfer of Stabsarzt Dr. Med, Habil Karl Wimmer, who was transferred to the Eleventh Air Corps from the Luftgau Medical Training Department 7 to the Anatomical Institute of the University of Strassburg." The letter is signed SS Obersturmbannfuehrer Brandt. In view of the question just discussed, what do you conclude from this document, witness?
A. I must conclude that here again this took place without the knowledge of the Inspectorate. If the Inspectorate had participated in this action, one telephone conversation would have been sufficient to have the case managed as desired and all these letters - I have seen three letters about Dr. Wimmer already - all these letters would not have been necessary.
Q. Then you say, if the Medical Inspectorate had ordered this transfer to Strassburg, then a telephone call to the Anatomical Institute would have been enough? All this ...
A. Yes.
Q. .... correspondence would not have been necessary?
A. Yes, that is right.
Q. So that we can say with considerable certainty that this assignment was given without the knowledge of the Medical Inspectorate and according to the document was instigated by Luftgau Physician 7 in Munich?
A. Yes, that is my assumption.
Q. Now, witness, in the discussion of cold experiments yesterday Professor Holzloehner played a special role. You, no doubt, know the name?
A. Yes.
Q. And it was said that in 1940 Professor Holzloehner had a sea rescue station at the Channel coast. Do you know anything about that?
A. Yes.
Q. Very well, and it was said that the purpose of this station was to rescue fliers who had crashed in the Channel, is that right?
A. Yes.
Q. Now, can you say briefly how this station was organized and say what observation opportunities they had?
A. Yes. The rescue station was at Vissant near Cap Gris Nez. From there one could see a large part of the Channel. That was why the station was put there in order to be able to rescue quickly because crashes of planes could actually be seen. That is why this station was set up there.
Q. And did this rescue station have the opportunity or the possibility of rescuing those fliers immediately?
A. Yes.
Q. What facilities did they have?
A. They had a motor cutter.
Q. And this boat was ready to start out when the planes went over?
A. Yes.
Q. Then in favorable cases between the time of the crash and rescue there might be only a few minutes, a quarter of an hour perhaps?
A. But that is exaggerated. One has to get there first. The Channel is thirty-one kilometers wide.
Q. Yes, I know, witness. I am speaking of especially favorable cases.
A. Yes.
Q. Then you say these rescue stations had such facilities, that there was only a short time between the crash and the rescue?
A. Yes.
Q. Now, do you know how long Professor Holzloehner was there?
A. No, I don't know that.
Q. Do you know whether this rescue station had carried out frequent rescues?
A. There were eight or twelve persons rescued.
Q. During your time?
A. Yes, During my time.
Q. And Holzloehner remained there later?
A. That I cannot say. I do not know.
Q. But you will be able to say this: Professor Holzloehner gained great experience with the treatment of cold?
A. Yes, one must admit that.
Q. And Schroeder knew that, too?
A. Yes.
Q. Schroeder was there with you once? Was he ever there?
A. Not with me. I know this station independently.
Q. But you know that Schroeder was there?
A. Yes.
DR. TIPP: I have no further questions.
DR. KRAUSS: Dr. Krauss for the defendant Professor Rostock. Mr. President, I ask permission to ask a single question for your orientation and to avoid misunderstandings.
CROSS EXAMINATION BY DR. KRAUSS:
Q. There is a German university city with the name "Rostock". Witness, if you testified that Professor Anthony was deferred for the Medical Polyclinic Rostock, then you meant, did you not, the medical polyclinic at the University of Rostock?
A. Yes, of course.
Q. Not the clinic of Professor Rostock?
A. No. It was the Medical university clinic of the city of Rostock.
DR. KRAUSS: I thank you. I have no further questions.
THE PRESIDENT: Are there any further questions of this witness by the defense counsel? There being none, the prosecution nay cross-examine.
MR. HARDY: May it please Your Honor, I have no questions to put to this Witness for cross-examination.
DR. MARX: I have no further questions to the witness Augustinick.
The PRESIDENT: The witness may be excused.
DR. MARX: Mr. President, I now have another witness, but before I begin with the fitness Witt, I might suggest a recess so that I do not have to out the examination in two.
THE PRESIDENT: The Tribunal will be in recess.
THE MARSHAL: The Tribunal is again in session.
DR. McHANEY: May it please the tribunal,Dr. Marx, I understand, has called the witness Dr. Fritz Witt to testify on behalf of Schroeder. Dr. Marx has heretofore called Pastor Jentsch and Dr. Augustinick, both whom have testified considerable length with respect to the character of the defendant Schroeder. The witness linked as Dr. Fritz Witt is also called, as I understand it, to testify as to character, which will make the third character witness. Additionally, we are noticed with an intention to call Frau Karin ******, what will also testify as to character.
The Prosecution feels that time is a very essential element in this case and that it is not necessary for a defendant to call as many as four character witnesses. We therefore ask the Tribunal to limit character witnesses to two for each defendant, which have already been called on behalf of the defendant Schroeder.
The Prosecution, in the other two cases where witnesses have been listed for the purpose of giving character evidence, is willing to stipulate in the record that these witnesses will testify that the defendant Schroeder had a good reputation in his community.
JUDGE SIEBRING: A good reputation for what?
Mr. McHANEY: As to character, Your Honor, as an honorable man. Or, ta make it more specific, if Dr. Marx cares to state what,precisely, the type of character evidence is he expects these two witnesses to give, we will then be able to stipulate more precisely. But we would like to avoid the calling of more than two character witnesses for each defendant because if more than that number is called, it is apt to prolong the case considerably. It also should be noted that the defendant Schroeder has a substantial number of affidavits dealing with character in his document book, and I think that the rights of the defendants will be amply protected by permitting them to call no more that two character witnesses to testify, which, of course, the right to submit as many affidavits as they care to on the same subject.
THE PRESIDENT: What is your view on the matter?
DR. MARX: May it please the Tribunal, the defense is of the opinion that more time would be lost if the Prosecution and the Defense would engage in discussion as to whether or not certain witnesses should be examined. The witness, Dr. Will, has been approved.
THE PRESIDENT: Counsel, the Tribunal will hear witness Fritz Will rather briefly on the character if the witness can testify as to facts. If the witness testifies as to facts, that is a different question. The Tribunal would be inclined to put a limit on the witnesses who testify only to the matter of character. In this case the witness will be heard, but on the matter of character only, and rather briefly.
The Marshal will summon the witness, Dr. Witt.
FRITZ WITT, a witness, took the stand and testiffied as follows:
BY JUDGE SEBRING:
Q Hold up your right hand and be sworn repeating 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 be seated.
DIRECT EXAMINATION BY DR. MARX:
Q Witness, will you please give the Tribunal your full name?
A. My name is Fritz Witt.
Q When and where were you born?
A I was born on the 14th of March, 1887.
Q What is your present address?
A Kohlerstrasse 33, Nuernberg.
Q What is your profession?
A I am a dentist. At present, I am the Chief Consultant of the B avarian Chamber of Dentist.
Q Will you please give the Tribunal a short sketch of your professional history?
A I passed my state medical examination 1910. In 1912, I settled at Darmstadt as a dentist. I represented the interests of my colleagues. In 1922, I received the request to come to Berlin as General Secretary of the Reich League of Dentists. I remained General Secretary until the year 1933. Then this organization was reconverted. I lost my position. I gained the position of expert because I belonged to a free Mason lodge. I had to take care of subordinate work, especially questions portaining to insurance. I also had to take care of the dental treatment in the **cht.
In this capacity, I made the acquaintance of many medical officers, among them was Professor Schroeder. At the outbreak of the war, it had been determined that the dental supply had not been secured to a sufficient extent. I, therefore, furnished the experience which I had gained in practicing my profession and I was conscripted into the Luftwaffe.
In 1942, I was then transferred to the Medical Inspectorate of the Luftwaffe. I worked there until the final collapse.
Q Therefore, you know Professor Schroeder for a long period of time1 officially. Do you know him from private contacts?
A Yes. I have also frequently had private discussions with him. Our relationship was a very friendly one. We had mutual friends, and we also attended certain meetings and conventions together. This relationship was continued during the entire course of the war, although at that time I saw very little of Professor Schroeder, until in 1944, he final * **** Berlin as Inspector.
Q Then, you were in particularly close official contact with him?
A Yes. Professor Schroeder lived at the camp. And I was in constand contact with the individual man.
Q What was the official assignment of Professor Schroeder during the war?
AAt the outbreak of the war, Professor Schroeder, first of all, was Chief of Staff in the Inspectorate. In 1940, he became Air Physician of the Air Fleet II. Then he was in the East, West and Southern Theater of Operations, until 1944; when he became Medical Inspector.
Q During the time Professor Schroeder as physician of Air Fleet, were you in Berlin with the Medical Inspectorate?
A Yes.
Q During this period of time; did Professor Schroeder know Professor Hippke in his capacity as Medical Chief of the Luftwaffe?
Was he Hippke's deputy?
A No. He has never been his deputy. His deputy was Generalstabsarzt Weumueller.
Q And did you have the opportunity to observe Professor Schroeder during his assignment as Air Fleet Physician in Berlin, and did you have the opportunity to see him and to talk to him during that period of time?
A Professor Schroeder visited Berlin on very rare occasions only. As far as I can remember, only two or three times. However, I have repeatedly visited him in his various offices because my official duties used me to travel to units at the front in order to obtain information about the extent of dental care and the extent of supplies.
Q Where was that?
A In a part that was in Belgium. And I have also been in Russia, *Smo**** and in Italy and also in Greece.
Q Can you remember approximately if in the year, 1942, you visited him in those areas?
A I had also visited him in 1942, yes.
Q Was he already in Italy at that time?
A Yes, At that time he was already in Italy.
Q Therefore, during a four-year period, Schroeder only visited Berlin two or three times?
A Yes.
Q Because from the beginning of 1940 until the end of '43, he was assigned as Air Fleet Physician?
A Yes.
Q Can you tell us something about the fact whether Professor Schroeder, during this period of time, had any official or private contact with the Medical Inspectorate?
A He definitely did not have any contact because whenever I visited him, he repeatedly asked me what actually was going on at the Inspectorate.
Q And were you able to give him any information about that?
A Only as far as my special field was concerned.
A When Professor Schroeder became chief of the medical service, did you also remain referent for medical supplies under him?
A Yes. I remained in this position until the final collapse.
Q What was the collaboration between the referents, the specialist experts and Mr. Schroeder?
A The relationship of the expert specialists among each other and to the Chief was fundamentally changed when Professes Schroeder began to occupy the position of Medical Inspector. While Professor Hippke only had a few of the expert specialists report to him, Professor Schroeder availed himself of every opportunity in order to have direct contact with the expert specialist. I was never told once to report to Professor Hippke, but Professor Schroeder called me to see him very frequently, especially since he showed a special interest in the dental field.
Q Did Dr. Schroeder have special fields in his capacity as Chief of the Medical service to which he devoted his special interest?
A. Professor Schroeder was particularly interested and had shown previously such interest in the establishment of hospitals. At the time of the one-hundred-thousand men Army he worked on that problem at all times. However, he also had a special interest in the medical training of the new medical officers and students, and, further, he was expecially interested in the development of the care for the nursing system, and also for the people who had been discharged, and he also showed a particular interest in dental questions.
Q. I believe you have already stated that he showed a particular interest in your special field. Now you stated that Professor Schroeder had a specially comradeship added to it, and what was also a confirmed thing, his method of entertainment and his attitude during meals?
A. Yes, we had a constant connection with Professor Schroeder as our chief.
Q. Have regular discussion evenings been established?
A. When he took over the office as Inspector, Professor Schroeder immediately established discussion evenings, in which all expert specialists were able to participate in giving reports in their special field, and, also the attitude between the Referent and us became closer, and there was much more comradeship. This was caused in the least by the fact that Professor Schroeder was living with us at the camp, and he took his meals in the noontime and in the evening together with us.
Q. Therefore, general interesting questions from the individual special fields were discussed, and also questions which exceeded these things which were discussed officially and also privately?
A. Yes.
Q. Now was there a certain relationship of confidence exist ing between the individual participants, between and members of the office, and their Chief?
A. Yes. Professor Schroeder gave us an example of comradeship as we had always wished it, and the relationship of the Referents towards each other was filled with much more comradeship than it had previously been.
Q. Were experiments on human beings discussed on such occasions, which had been carried out at some time or other, or at some place?
A. I can remember a discussion which I had with BeckerFreyseng. At one occasion he tell me, and only very briefly while we were walking, that experiments would be carried out in order to make the sea water drinkable. I can still remember that I asked him who was participating in there experiments, and to which he replied, there were persons who had volunteered for this purpose. That is the only thing which I have heard with regard to experiments on human beings.
Q. Were you not more interested in making sea water drinkable?
A. No, this was not within my specialized field, and I did not occupy myself at all with this question.
Q. What is your opinion that Professor Schroeder would have or would not have told you if he had obtained knowledge of experiments which were conducted on human beings in the concentration camps?
A. I am convinced of the fact that he would have told me about that, because of this field which was so far removed from the large field of tasks of the Luftwaffe, and that this would have caused a greater amount of work. I frequently engaged in discussions with Professor Schroeder. They were also of private nature, and he certainly would have told me if this extraordinary difficult field was to be included in his work.
Q. Did he never told you anything about the freezing, or the high altitude experiments?
A. I have never heard anything about them.
A. What was his knowledge about the concentration camps?
A. I could not tell you that, because we never discussed the subject. That is a field of which very little was generally known. We had heard of Dachau and of Orienburg, because of the fact that we were living in Berlin.
Q. Witness, I would now like to ask you, on the basis of your acquaintance for many years with Professor Schroeder, to give us a description of your judgment of him, Dr. Schroeder, as a human being, as a soldier, and as a physician, and, also, about his attitude towards the church, and his general ideaology. However, I must ask you to be as brief as possible, so that this will not take, too much of the time which is made available by the Tribunal.
a. Professor Schroeder for me is the personification of a scientifically striving, ethical and hightly valuable medical office. He has always used good judgment in dealing with persons, and situations, and the added circumstances that he was never engaged in any disputes or competition. Always carried as a hope that at some time he would became Inspector of the medical --- of the entire medical service. This special characteristic of him is due to his high degree of modesty, and the fact that he was very reserved. This was also indicated by the fact that he refused to have his pictures taken.
Politically, regarding his criticism about methods of education in the Third Reich, he always told he his views on that subject. Then there was a strict lack of harmony between his conception of duty and the basic principles of the party.
There were discussions at some times about he had a high degree of what he occasionally considered his reasoning, it was only his fooling that he had to fulfill his duty, and only his care for the medical students, and his specialized work or that he perhaps was paving the way for some false tendency. It was because of this that he has failed to lay down his office. I can not remember that he has over placed the Nazi Ideaology, or any part of it, in the foreground. That at the end of his speeches, which he had make before the staff, he always asked us to perform clean work, and to strictly fulfill our duty, and, he also required us to be an example for Germany.
He even told me that the best time of his professional life was at the time he spent in the one-hundred-thousand non army, where he was influence by political momentum, and he was not influenced by politics at all. His care for the nursing system was well known, and no inspection of the the medical passed without his engaging in discussions with the medical lists of the non, or of the medical non in the service, without his listening to their desires and requests, and as a result of this he was very popular in these circles.
I would like to summarize that he was noble and ethical human being. He was a physician who was continually striving for the better, and he was a very good superior. He was honest, and he strictly had a fooling of fulfilling his proper duty, and he had a profound sense of justice, and he had a pronounced love for the truth and that for me is a picture of the character of Professor Schroeder.
DR. MARX: May it please the Tribunal, I have reached the end of my examination of this witness.
DR. TIPP (for the defendant Becker-Freyseng):
May it please the Tribunal, the witness has also been approved to testify on behalf of Dr. Becker-Freyseng. First he is to testify as to the character; and, second, he is to testify for his activity as a referent in general; third, he is to testify as to the relationship between Dr. Becker-Freyseng and his next higher superior.
I believe that I can assume his activities as a referent has been clarified to a sufficient extent. This has been done by Professor Schroeder as well as by Dr. Augustinick, and therefore I shall not have more questions on this matter to put to the witness.
In order to comply with the ruling of the Tribunal, that not too many character witnesses should testify here for the individual defendants, I also refrain from asking general questions about the character of Dr. BeckerFreyseng.
I, therefore, confine myself to the questions which refer to the relationship of Dr. Becker-Freyseng with his next higher superior.
A. Witness, when did you make the acquaintance of Dr. Becker-Freyseng?
A. Dr. Becker-Freyseng, I believe it was in 1942. He came into the Nodical Inspectorate as an assistant referent. He came into the Department for Aviation Medicine which was directed by Professor Anthony.
Q. And, you were also working in the Department for Aviation Medicine at that time?
A. Yes.
Q. And, you worked in the same Medical Department, that is, in the 2nd Medical Department?
A. Yes, in the same department.
Q. Very well -
A. (Interposing) And, our superiors were the same.
Q. Now, we have heard today that the referent did not have the authority to make any decisions; that he only could carry out a prepatory activity; that the decisions were reached in each case by the section head or by the chief of staff or by the medical chief, himself; is that correct?
A. Yes, that is correct.
Q. And, you know both the section heads?
A. Yes.
Q. The were the superiors of Dr. Becker-Freyseng and yourself?
A. Dr. Martius, and in the end it was Oberstarzt Merz.
Q. Now, can you tell us what specialized training had been given to these gentlemen whom you have just mentioned?
A. First of all Dr. Martius was a Pathologist, formerly in the old Army, and I do not know who his predecessor was Morz was a ENT physician; no, he was an eye physician, and he came from the front where he was also a pilot. He had obtained a large amount of knowledge of aviation problems.
Q. And, therefore, both of these men were in a certain way experts on the questions of aviation medicine?
A. Yes, certainly.
Q. Now, what was your personal attitude? Were you very critical or did you frequently, personally, intervene in the decisions?
A. If you asked me that in such a way, then I must say it was not easy to work together with them. Both of these men were really critical, and they were very exact to the last small details, and they were very hard in their criticism of drafts which had chosen submitted to them.
Q. Were those criticisms and these interferences limited to things of a purely formal nature or did they also intervene in decisions which had been made in certain special work?
A. Both men, I assume, acted in the same way with Dr. Becker-Freyseng as they acted toward me, and they always participated in the work to a high degree.
Q. Well, that can be assumed, because as you have just stated, both men were also experts in the field of aviation medicine, but not on your field?
A. No.
Q Well, I believe that question has been clarified now. You have stated that both these men also included themselves in the decisions which were reached in the special fields?
A Yes, very intensively.
Q Therefore, the referent in your department was not in any way independent?
AA referent in your department was not in any way could only carry out the preliminary work which was finally signed by the section head and was passed on as a draft.
Q And, you also know I Professor Anthony, is that correct?
A Yes.
Q And, you know that Becker-Freyseng was assistant referent under Professor Anthony?
A. Yes.
A Do you knew how long he carried on this activity?
A. I believe that Anthony left in the beginning of 1944.
Q Could it be correct that he left in May 1944?
A Yes, it was around that period of time.
Q Very well, now, how was Professor Anthony? Was he very active?
A I believe that Professor Anthony would have not agreed that Becker-Freyseng should not do anything independently, and as far as I know, Professor Anthony was not willing to hand any of his own authority over to nobody else.
Q Now, my last final question, Witness. It has been stated here by the Prosecution that Dr. Becker-Freyseng in his position as referent had issued orders; that he issued them to Oberstabsarzt Dr. Haagen, the Director of Hygienic Institute of the University of Strassburg. Is it possible that Dr. Becker-Freyseng was able to issue such orders? Can you tell us anything about it?
A That is completely out of the question because a referent does not have the authority to issue orders. He was only able to make pre parations in some field of work but otherwise it would not have been possible for him to cause anybody to comply with his orders.
Q Therefore, it was impossible for Dr. Becker-Freyseng to issue such an order to Haagen?
A Yes, that is completely out of the question.
DR. TIPP: I have no more questions, your Honor.
THE PRESIDENT: The Prosecution may cross examine the witness.
CROSS EXAMINATION BY DR. HARDY:
Q Witness, if I understood you correctly, you stated that the defendant Schroeder told you account the sea-water experiment; is that correct?
A Dr. Becker-Freyseng told me that.
Q When did he tell you that?
A That must have been on the occasion of a visit of Dr. Schaefer at Saalew. I still remember that I inquired on the way to our barracks who was the visitor, the officer who had been here today; and, BeckerFreyseng told me that was a certain Dr. Schaefer who had discovered a new method for rendering sea water drinkable.
Q Where were you when he told you that?
A That was when we were walking between our barracks, from our office barracks to our barracks which we inhabited.
Q At Berlin?
A Yes, at Saalow.
Q What did he tell you about this sea-water experiment?
A He told me that aviators who were adrift at sea, that the possibility was to be given to them to convert sea water drinking water.
Q Who else was there? Was any one else there when he told you this?
A. No.
Q Did he tell you how they were going to conduct the experiment?
A. No. Three minutes later we arrived at our barracks, and at that our conversation ended.