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27 Nov. 45
I substituted in his hands a carbon copy. I didn't quite understand his statement about documents being introduced which hadn't been furnished to the defendant. We did file the document book. THE PRESIDENT: Is this document in the document book? MR. ALDERMAN: My understanding is that the document book contains all the documents except these interrogations. They did not contain the interrogation. THE PRESIDENT: Then he is right in saying that. MR. ALDERMAN: He is right as to the interrogation, yes. THE PRESIDENT: Are you in agreement with him then, that you can read what you want to read now, and that it is not necessary for you to read the parts to which he objects. MR. ALDERMAN: I think so. I understand he objects to my reading anything other than the part concerned with C-156. I would anticipate that he might be willing for me to read the other parts tomorrow. This deals with the book which I offered in evidence this morning, Document C-156, Exhibit USA-41. The Defendant Raeder identified that book, and explained that the Navy tried to fulfill the letter of the Versailles Treaty and at the same time make progress in naval development. I refer to the interrogation of the Defendant Raeder at the part we had under discussion: "Q. I have here a Document C-156, which is a photostatic copy of a work prepared by the High Command of the Navy and covers the struggle of the Navy against the Versailles Treaty from 1919 to 1935. I ask you initially whether you are familiar with the work. | ||||||||||||||||||||||||||||||||||
Last modified: October 10, 1998
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