with you. How did that come about, and what generally was the subject of such conferences? A. Himmler originally want [ ... ]
A. Yes. Q. And now my last question: do you know the case of the several hundred Norweg [ ... ]
A. I have no knowledge, and in this case, too, this is an assumption on the basis of the document material submitted t [ ... ]
Q. Then it is really true to say that you neither know that experiments were carried out nor that they were not carrie [ ... ]
A. I saw him once at Himmler's headquarters. Q. Did you see him for any length of time? [ ... ]
submitted by the Prosecution. It is an affidavit made by you dated the 24th of October, 1946. Won't you please turn to paragraph 5 on the second pag [ ... ]
Q. Now, to your knowledge, did Meine have knowledge as to whether or not Professor Hirth was working on LOST? [ ... ]
signed by the defendant. I am requesting him to identify it. The defendant will read it. Defense counsel should have due notice thereby. [ ... ]
are formulations which I make retrospectively. Q. Well, at that particular time did you think it permissible to exper [ ... ]
A. I transmitted this directive, according to my orders, to Munich Agencies. That is not my own decision. [ ... ]