PROCEEDINGS - DAY TEN
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Day 10. Wednesday,
26th January 2000.
MR JUSTICE GRAY: Mr Irving?
MR IRVING: My Lord, may it please the court. Two minor housekeeping
matters: first of all, I have postponed my two witnesses until later because,
obviously, we are in the middle of Professor van Pelt's cross-examination, and
that is the witnesses Fox and Peter Millar.
MR JUSTICE GRAY: I hope that does not cause problems.
MR IRVING: Not at all, no. I dealt with them last night about this. So
one of the things I gave to you in the bundle yesterday morning referred to the
Millar. It is a section of the 1992 diary. It will presumably be in your ----
MR JUSTICE GRAY: I have it loose and I will keep it loose.
MR IRVING: Keep it loose or put it in J. My Lord, the other minor matter
concerns once again the press.
MR JUSTICE GRAY: Yes.
MR IRVING: From today's press coverage -- particularly I am referring to
the Times -- one gets the impression they are relying more on hand outs than on
their personal experiences in the courtroom.
MR JUSTICE GRAY: I saw the report. I did not read it. What about it are
you concerned?
MR IRVING: Purely, that there were things in the article which were not
in the testimony yesterday, and I am not in any way pointing a finger at the
Defendants on this. It may
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well be there are third
parties who are doing this and providing copies of the Professor's report or
something like that to the press. This clearly disadvantages me. I am aware of
the fact that your Lordship is sitting without a jury, so this is of less
moment, but if it in any way gradually affects or put wrong guidelines on
public opinion and skews public opinion in some way, then this may indirectly
be seen to be affecting the outcome of this decision.
MR JUSTICE GRAY: Well, I am afraid that really is a sort of fact of life
that you just have to put up with. Really, what matters here for my purposes is
whether I am going to be influenced by it and, as I have not read it, I will
not be.
MR IRVING: Very well, my Lord. Clearly, it would be improper for any of
the parties in this case to start putting hand outs to the press in the way I
appreciate the law is on contempt which would disadvantage the other party.
MR JUSTICE GRAY: If anything that really does disturb you comes up,
mention it, but at the moment I do not think there is anything that can
usefully be done about what appeared or, indeed, should be done. So I think we
might as well get on.
MR IRVING: Very well, my Lord. It will probably assist your Lordship if
I now just in one topic paragraph, so to say, outline what I intend doing ----
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MR JUSTICE GRAY: I would find that very helpful.
MR IRVING: --- for the next hour, shall we say? Firstly, there will be
no more traps being sprung. I am sure that the Professor will appreciate advance
notification. There are no more hidden booby-traps or mines, but I am going to
be dwelling briefly on crematorium No. (ii) still for a while because I believe
the Professor wishes to make certain comments on what I said yesterday.
I then want to have a look at the quality of the eyewitness evidence that the
Professor was relying upon, in particular the witnesses Tauber and Bimko and
Broad. Then we will move to Auschwitz, the main camp, and have a look at the
alleged gassing facilities there.
MR JUSTICE GRAY: Yes. Thank you for that.
MR IRVING: If I can just recapitulate where we were when we ended
yesterday and invite the Professor to state what comments he had on that. This
was the fact that we had established, I believe (and I am sure the Professor
will correct me when the time comes if I am wrong) that the evidence on which
he based his contention that crematorium No. (ii), the mortuary No. 1 in that
crematorium, the underground mortuary, was, in fact, a gas chamber, was
entirely eyewitness evidence, what we would call anecdotal evidence from
certain named eyewitnesses.
MR JUSTICE GRAY: I do not think he would, accept but that may be what
you are putting to him.
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MR IRVING: He may wish to tell the court what
other evidence he is relying upon. I shall certainly invite him to do so. If I
may continue? The evidence then is that the roof has pancaked downwards, has
remained relatively intact, sufficiently in tact that one can draw certain
conclusions from its present condition, and that in its present condition it
certainly shows no signs of the holes through which allegedly the murderers
poured the cyanide capsules into the chamber below. They should certainly have
been visible, in my submission.
MR JUSTICE GRAY: Yes, that is the point we were on yesterday evening.
MR IRVING: This is where we left it yesterday evening, my Lord.
MR JUSTICE GRAY: Yes, absolutely.
PROFESSOR VAN PELT, Recalled Cross-examined by MR IRVING,
continued.
Q: Professor van Pelt, do you disagree
with any part of that brief summary?
A: My Lord, I do.
Q: Right. With which part do you disagree? Shall we take it stage by
stage? My contention that your belief that this building was a homicidal gas
chamber rests solely on the eyewitness evidence of those named eyewitnesses?
A: I disagree with that statement, and I can bring in some other
evidence, if you would like to consider it?
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Q: Was this other evidence contained
in any of your reports or in your published book?
A: It is contained in a report. It is also contained -- it is basically a
number of images I would like to introduce right now.
MR JUSTICE GRAY: Can I just be clear? Are we talking about crematorium
(ii) or generally?
MR IRVING: We are still talking about crematorium No. (ii), my Lord, the
one of which we had these large photographs.
MR JUSTICE GRAY: Yes, I just wanted to be clear.
MR IRVING: We are talking specifically about the Leichenkeller No. 1.
A: Or, even more specifically, we are talking about the way Zyklon-B was
introduced in that Leichenkeller by means of wire mesh columns which above
ground were capped with a kind of introduction device, a chimney like
introduction device.
Q: Rather like a funnel of some kind?
A: Some kind of little chimney.
Q: Was this introduction device made of wire mesh or was it made of
concrete or do you have any evidence?
A: Tauber describes it as a chimney with a concrete lid, but I would
like at the moment, with your permission, just to introduce the evidence and
maybe we can consider the evidence.
Q: This is the eyewitness Tauber you are referring to?
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A: Yes. My Lord, I would like to go to
core file Auschwitz 2, the trial bundle,.
MR JUSTICE GRAY: K2 we are talking about?
A: No. 2, K2, and I would like to go to tab 1 where it is called
"Plans and blueprints", and I would like to go to page No. 10 and No.
10A.
MR IRVING: Handwritten 10?
A: Yes.
MR JUSTICE GRAY: Yes, I think it must be a handwritten 10.
A: Yes. It is 22 printed and 45 printed, but it is 10 and 10A. That is
how the numbers of the sequence in which these images are in the file.
MR JUSTICE GRAY: These are photographs?
A: These are photographs, and what we see here is we have an image of
the back of crematorium (ii) in February 1942. You see it is winter. The photo
is very clear. There is snow on the ground. We are looking at the foreground is
actually the construction site of the Klaranlage, the sewage waste, the sewage
treatment plant. We look at the back of the crematorium, and we see there the
main building with the roof and the chimney and then, jutting out from that
building and it is clearer on the next page, we see the gas chamber, or the
morgue No. 1 as a kind of box, a low box like structure, and on top of that we
see four boxes. It is certainly three of them are very clear and maybe the
fourth one to the left right under the
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window. This would be
the third double window from the left of the building. We see these box like,
chimney like, structures which jut up from this low, this low box like
structure, which is morgue No. 1.
This is a picture of the building as it was on the construction. Shortly after
this photo was taken the gas chamber itself, or the morgue No. 1 itself, was
covered with dirt, and so that the projection of the little chimneys above the
level of the roof of the morgue in the final result would probably have been
less, but we do not, of course, know if we look at the finished chimneys right
now or if these were in some way still capped with another kind of structure.
So this is, I think, a very important piece of evidence because this is a photo
taken by a member of the SS Bauleitung, Schaffuhrer Kaman. He was the only one
allowed with a camera in the camp and this photo very clearly shows the
structures.
MR IRVING: Can I interrupt you at this point?
MR JUSTICE GRAY: Yes, of course.
MR IRVING: Right. I am anxious to let the witness have his say, but you
refer to them as "chimneys"; of course, they are not. They are
objects on this photograph. We do not know what the objects are. Professor,
have you, presumably, in your life visited a building site?
A: Yes.
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Q: And have you seen flat roofs on
building sites under construction?
A: Yes.
Q: Have you seen these roofs when they are being treated with some kind
of substance to water proof them?
A: Yes.
Q: What does the substance come in? Would I be right in saying it comes
in 40 gallons drums or something like that?
A: I would not be able to comment on that. I mean, if you want to assert
it comes in 40 gallon drums, I will accept that.
Q: But it comes in drums, does it not? These drums stand around the roof
while the men brush it up and down on the roof. This kind of thing happens?
A: That is quite possible.
Q: And this photograph was taken in the winter of 1942?
A: Yes.
Q: At this time this particular building was under construction, was it
not? They were stilling completing ----
A: It was under construction.
Q: It was under construction. Of course, if we cut straight to the
bottom line in this, if we are to accept your hypothesis or theory that these
were rather irregularly spaced openings in the roof, and these were some kind
of
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pipe on top of that, as
I understand you are putting to the court, with some kind of cover on top, then
we would expect to find the openings in the roof, would we not, or some trace
of those openings in the roof even today? Here is the roof now, that is the
very roof we are talking about, is it not? That has pancaked downwards. The
underside of the roof is largely intact. You can see just where those columns
would have been then, these openings would have been, and there is not the
slightest trace of them, is there?
A: I have said, it is in my report that one cannot observe these things,
but I have also said before that when the gas chamber was dismantled before the
destruction of this building, two months before the destruction of this
building, it would have been a very likely, I mean, the obvious solution would
have been to actually close these holes. Now, I have also mentioned yesterday
----
Q: I am going to question you on that in a minute.
A: I wonder if I should go back to the discussion of yesterday or
address straight the issue of the boxes with material, the alleged boxes with
the material on the roof.
Q: Well, we will come back to the alleged boxes with material on the
roof, but I must hold up your statement to the court where you said that just
before demolition of the building, workers were sent in with the instructions
to fill the holes with cement or concrete or something?
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A: This is an inference on my side
because you do not want these holes in the roof of a space to remain. When you
have taken out the columns, it is an obvious conclusion that you would close
these holes.
Q: I can see his Lordship frowning and I think the whole court is
inwardly frowning about this rather improbable story, implausible idea.
MR JUSTICE GRAY: Well, just for the record and for the transcript, I did
not frown.
MR IRVING: I am sorry, my Lord.
MR JUSTICE GRAY: Let us get on with the question.
MR IRVING: Yes. The implausibility of the story, that before putting in
packs of dynamite beneath the building to blow everything up so that the Red
Army does not find any criminal traces, they send in workmen with buckets of
cement and trowels and tell them to make good the holes in the roof. This
sounds, I must say, totally implausible to me, and we know now that it never
happened because the roof is there and there is not the slightest trace of such
patchwork having been done on the concrete?
A: My Lord, it is at the moment impossible to see because of the state
of the roof if there was patchwork or not. The roof is fragmented. The roof has
weathered very, very badly over 50 years, and the colour of concrete in the
roof is of a motley quality, to say, and there is a lot of growth has been on
the roof. It is impossible to tell one
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way or another.
Q: We are talking about the underside of the roof, of course, and we
have any number of photographs of the underside of that roof where you can
actually see the original wood grain in the formwork on the concrete that
survives, and that shows not the slightest displacement or interference or
tampering with. This is the implausible part of your story. I appreciate that
you are anxious to move on to other topics because, frankly, this blows holes
in the whole of the gas chamber story. If there are no holes in that roof, no
holes in that roof, there are no holes now and there were no holes then, and
that totally demolishes the evidence of your so-called eyewitnesses?
A: My Lord, I have already yesterday pointed out that the column which
remains and over which the room has been folded is the second column which was
not the column where the column, the Zyklon-B introduction column was attached
to, there were four of them, attached to column 1, 3, 5 and 7. May I address
----
MR JUSTICE GRAY: I wanted to ask you -- may I do it now -- about the
columns because I understood your evidence yesterday to be that jutting out, as
it were, from the roof of the alleged gas chamber there were the columns as
well as the metal apertures through which the Zyklon-B, you say, was poured?
A: The columns -- it is unlikely, my Lord, that the ----
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Q: Did I misunderstand that?
A: --- columns would be going through the roof completely because the
columns themselves were wider. They had these three concentric layers, but what
would have happened is that there were a hole through the roof, and then on the
top of it you get a kind if chimney like structure, and as long as the hole is
connected to the innermost, to the innermost kind of column inside and of the
same width so that this little thing can be brought up and down which
ultimately allowed people to retrieve the earth in which the Zyklon was absurd
during transport. As long as that hole was the same as the diameter of the
inner column, then whatever you do above the roof is irrelevant.
I mean, you can have a box or you can have just a lid there.
MR JUSTICE GRAY: I follow. But the question I am really trying to get at
is this. If your evidence is that the pillars were protruding above the level
of the roof ----
A: You said the Zyklon-B introduction pillars?
Q: Well, that is what I am asking you. I thought you said that the
pillars, the structural pillars, were protruding ----
A: No, the structural pillars did not and do not.
Q: Well, that was my misunderstanding of your evidence.
A: We have a blue print which shows those pillars and we can look at if
you want.
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Q: Whilst I am asking you questions, I
am not sure you have really responded to the suggestion that was implicitly
being put to you by Mr Irving which is that these objects that one can see on
the roof of the gas chamber, alleged gas chamber, are, in fact, drums
containing some sort of sealant. You have not actually dealt with that
suggestion.
A: No, and I would like to deal with that, if it is possible?
MR IRVING: Are you saying that all four of those objects were the pipes,
as you call them?
A: No, these would be, this would be the chimney. There would be some
structure around the pipe, because if you just have a pipe coming up, you want
to have probably some kind of insertion mechanism. If you take a tin of
Zyklon-B, that probably there is a little funnel attached to, and also you want
probably not the pipe to run straight through the earth, you probably want to
have some kind of protection around that pipe.
Q: My Lord, can I draw your attention to picture 10A in K2?
MR JUSTICE GRAY: Yes. I still do not think, Professor van Pelt, you have
really dealt with the suggestion that these are drums containing sealant. Could
that be so?
A: I would like to deal with it.
Q: Deal with it now.
A: First of all, we are coming, of course, in a -- the
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problem is the exact
dating of this image. If this image had been taken, let us say, in November,
December, let us say December 1942, I think it could have been a plausible
suggestion. I mean, we would have to look then in what shape of tins sealant is
coming, but let us assume that this is, this is December, at that moment we
know that there was construction activity on the roof. We also know that by the
end of January, I mean, in fact, by the middle of January already, from
correspondence, that the roof of morgue No. 1 had been completed, and one of
the reasons for that we know that is the notorious Fergantung's letter of
January 29, 1943. So, what is the reason that we know that this is not December
1942, but that this is or that we are already talking about probably February
1943.
MR JUSTICE GRAY: I thought you said '42, I am bound to say.
MR IRVING: November '42?
A: My argument is that Mr Irving's argument could be taken seriously at
least for a moment until we have established what shape these containers come
if this photo had been taken in December 1942. My argument is that the roof was
already completed by January 1943.
My second argument is that one can, if one looks carefully at this photo, see
that there is some kind of black line on the top of the chimney. There seems to
be some soot on the top of the chimney which means that the chimney, as it is
depicted in this photo, has had some
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kind of activity
already.
We know that there were trials, the first trial firing of the incinerators was,
in fact, in late January 1943. That was the first trial firing of the
incinerators. On the basis of that, it is very clear that this photo must be
taken after the first trial firing of the incinerators. That is again the
letter of 19, 29 talks about the trial firing of the incinerators, otherwise
there would be no soot on the top of the chimney.
On the basis of that, it is possible to date this photo at least after the end
of January 1943 when the roof was completed and, therefore, would be no reason
at that moment for any other kind of boxes with sealant to be on the roof.
MR JUSTICE GRAY: Can I just ask one question and then I will stop? How
do you date this photograph as February '43?
A: Because we know that by early March '43, the whole building was
completed and, by implication, the gas chamber would have been covered with
dirt. We know also -- so that is the last date that is possible. I mean, these
photos are not dated.
We also know that the first experimental firing of the incinerators happened in
end of January 1943. So it must have been, this photo must have been taken
after the end of January 1943 and before the official completion
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of the building in early
March 1943. This is why I say February.
MR IRVING: Professor van Pelt, have you seen a photograph of that roof
with just snow on it and no kind of protruberances at all, that flat roof?
A: Yes, I think there is a photograph of that, yes.
Q: What conclusions do you draw from examining that photograph? Those
protruberances were moveable?
A: If you present me to the photograph, I will draw conclusions from it.
Q: You say you have seen the photograph. If there is a photograph of
that roof with flat snow on it, a pure sheet of white snow, and no
protruberances on it, and that implies that the protruberances were mobile and
could be carried around like drums of tar, for example?
A: Mr Irving, I am not going to speculate upon a photograph I do not
have in front of me. If you present the photo, I am very happy to explain that
photo and I have an explanation for that photo.
MR JUSTICE GRAY: Professor, actually I think you are wrong on this point
because you have accepted there is such a photograph. You have seen it. Can you
not help Mr Irving -- he obviously has not got the photograph -- by giving the
explanation that you obviously have?
MR IRVING: I have the photograph but not immediately available, my Lord.
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A: OK. Then the explanation is simple.
What happens is that after the dirt was brought on top of the roof of the gas
chamber or morgue No. 1, the protection of these chimneys would have been less.
If we then had snow on top of that, it is very unlikely we would have seen much
of these little chimneys.
MR IRVING: I only have one more question going to these protruberances
on the roof. You say the Germans are basically a very methodical and orderly
kind of people when they design their buildings; they are not arty crafty. They
do not put a pillar here and a pillar there and "Let us have two over
there". They will put them in a straight line down the middle, as, indeed,
we know they did in that very building, in the gas chamber, as you call it?
A: They are construction pillars we are talking about?
Q: Yes, the construction pillars that go down the centre of the room, do
they not, with one single reinforced concrete beam down the centre of the room?
A: Yes.
Q: So these pillars go down the centre of the room.
A: Not only Germans. I presume even English architecture and Canadian
architecture do the same.
Q: I am sure they do. Therefore, the wire mesh columns that you talked
about which went up the side of the pillars would also be running down the
centre of the roof, would
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they not?
A: No, not necessarily. I mean, you can put them either on the left or
on the right side of the columns.
Q: Can we have another look at that photograph, in particular the one on
page 10A? Is it your impression that those four objects are evenly spaced?
A: It seems that the second object is slightly more, the second object
from the right, seems to be slightly more to the left -- it seems to be at a
different line than the first and the third.
Q: Very well. Do they appear to you to be running down the centre line
of that roof?
A: No.
Q: Or anywhere near the centre line of that roof?
A: I do not know, near. It is very difficult to say in this photograph
exactly where they are, but it seems to be in this perspective that the
interpretation is that No. 1 and No. 3 maybe would be in line, but certainly
No. 2 would not be on the same line as No. 1 and 3, going from the right, and
No. 4 it is very difficult to determine exactly what that thing is.
Q: Professor van Pelt, have you received just now a copy of this
photograph of the underside of the roof?
A: Yes. I have it right in front of me.
Q: You accept that the underside of that slab we are looking at there in
the colour photograph, which is Leichenkeller
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No. 1 of crematorium No.
2, is the room you identified as the room where 500,000 people were gassed to
death?
A: Yes.
Q: Will you accept that we can indeed see a very large amount of the
space of that underside of that roof?
A: It is very difficult from this photograph to say how much space it
is. I have been under the roof and it is a very tight space when you go there,
when you actually film it or photograph it, the scale becomes very difficult to
determine. What we certainly see here is that, if indeed what we see in the
front of this photograph is the bricks, and pieces of bricks, then actually we
are looking in a very, very narrow space, because these bricks are this size
more or less, so we are talking about a space here, a crawl space right now.
Q: Like speediology, is it not, like cave hunting? It would be like
going down into a very narrow cave, but all the same the people manage to get
down there and take the photograph of that large area of roof space and you can
see the lines of the formwork, the wooden lines where the concrete has been
moulded into the wet concrete as running between the boards of the formwork?
A: Yes.
Q: You would expect therefore to find that interrupted in some way if
there were these holes in the roof?
A: I would like to point out to you that in fact, if we see
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the kind of converging
parallel lines of the formwork going from the top of the photo, then passing
over at least two big kind of stains, which shows it is not very smooth, and
then suddenly that formwork stops because there is actually a diagonal line
going more or less from the top left of the picture to the middle of the right
hand side, so the form work certainly not very regular, which it is very easy
to see on this photo.
Q: You do accept, do you not, that the whole of the story of the 500,000
people killed in that chamber rises or falls, rests or falls on the existence
of those holes in that roof?
A: No.
Q: We only have the eyewitness evidence.
A: I disagree with that. The whole story rises and falls on the evidence
that this room was a gas chamber, which is a slightly different issue.
Q: Well, setting that aside for a moment and we will come back to that
other evidence in a moment, we still have not heard any other evidence than the
eyewitness evidence we have heard about.
MR JUSTICE GRAY: Mr Irving, before you leave the photograph, took this
photograph?
MR IRVING: A number of, shall we say, revisionist researchers have gone
down there and taken these photographs.
MR JUSTICE GRAY: The professionals say it is revisionist
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research.
MR IRVING: It is revisionist research, my Lord, but the point I was
about to make was, as your Lordship may apprehend it was, as it is now accepted
and has been accepted for some years that the whole story rises and falls on
the existence of holes, one would have expected the researchers at the other
end of the spectrum to have been down frantically looking for those holes to
prove us wrong and they have not. They have not bothered to scrape off the
rubble on the top to look for the evidence on top of the holes. They have not
bothered to make any kind of survey clearing aside this brick mess underneath,
digging deeper in, looking for evidence that those holes exist and frankly, my
Lord, I cannot accept the notion that the Nazis, in the last frantic days when
we heard yesterday they were in a blue funk, blowing up buildings, taking out
the equipment, dismantling everything nut and bolt, that they would have gone
round with a bucket of cement filling in the holes of the buildings they were
about to dynamite.
MR JUSTICE GRAY: That is in the nature of a small speech and obviously
you will be making that point later on, but for the time being press on with
your questions.
A: My Lord, may I respond to this? Can I take the speech as a question?
MR JUSTICE GRAY: Let us deal with it slightly more evidentially. You are
being asked for the evidence you
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rely on apart from the
eyewitnesses.
MR IRVING: My Lord ----
MR JUSTICE GRAY: Just pause. You have your shout and I am going to have
mine. You have identified the photographs which we have just been looking at,
and I think we are going to want to know what other evidence you rely on. Mr
Irving, that is not an inconvenient moment to ask that question, is it?
MR IRVING: I was just going to ask one supplementary question, which is
to your knowledge, Professor, have any investigations of the underside of that
roof been made by the Auschwitz museum authorities or the Polish authorities?
A: I do not know, my Lord.
Q: Do you believe that, if there was any doubt as to the existence of
those holes, or if there was any belief that those holes really existed, is it
not likely that they would have made the most strenuous attempts to establish
that fact?
A: I cannot second guess the way the Auschwitz museum or the Polish
authorities operate. What I do know is that they do not generally allow their
research agenda to be set by revisionists.
Q: Very well.
A: My Lord, may I introduce a second piece of evidence?
MR JUSTICE GRAY: Yes. I would find it helpful, Mr Irving, to
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know what other
evidence. You started by asking what other evidence is there.
MR IRVING: This is the question I asked earlier on and I did say that we
would come back to that.
MR JUSTICE GRAY: We have the answer now.
MR IRVING: We have the eyewitnesses to whose integrity I shall be coming
back later on this morning, but let us hear what else you have?
A: The second piece of evidence I would like to introduce is in tab No.
2, and it is circled photo No. 6, which is an air photo taken by Americans in
the summer of 1944, which shows, if we look at that --, I do not know exactly
how to turn it. If one looks at the photo from the side, we see crematorium
(ii) to the right and crematorium 3 to the left. Now, one sees in this photo
very clearly jutting out the undressing room. It is actually the entry at the
end. It is like a little tab attached to it, and the morgue No. 1, and on
morgue No. 1 there are four dots. In the same morgue No. 1 at crematorium 3 one
sees those three dots.
MR IRVING: You describe them as dots, Professor. Would you like to
estimate how long those dots actually are?
MR JUSTICE GRAY: The dots are going, as it were, in a line up to the top
of the page. Are these the dots there?
A: Yes.
MR JUSTICE GRAY: I see.
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MR IRVING: If I may point them out on this
large colour map, my Lord, they go along this roof here, do they not, which is
the alleged gas chamber? Right?
A: Yes.
Q: OK.
A: So that is a second piece of evidence, and I will leave it to this
for the movement. I presume Mr Irving will challenge this and I will respond to
his challenge.
Q: I did ask you a question if you remember. This was, would you
estimate on the evidence in front of you approximately how big those dots are?
A: I find it very difficult. I do not know exactly how the shadow runs.
Q: Is that a shadow or an object?
MR RAMPTON: My Lord, can I intervene to be helpful? There is an even
clearer photograph, a medium enlargement, on the previous page in the bundle on
the right-hand side.
MR JUSTICE GRAY: Yes, that is a better photograph. I think that is
helpful.
MR RAMPTON: It is even clearer.
MR JUSTICE GRAY: Is it the same photograph?
MR RAMPTON: I do not know. The witness will know that.
MR JUSTICE GRAY: More overexposed, as it were, than the other one.
A: Yes. It is not exactly. It was not taken from the same thing because
you can see near crematorium 3, on the one
P-25
photograph you can see
these lines going in, which actually were used for labels, attach labels to it,
and when they were published in 1979 or so, and you do not see those lines
pointing to crematorium 3, the morgue No. 1 and the fence in the image on page
No. 5, printed No. 4.
MR JUSTICE GRAY: On page 5 crematorium (ii) is on the left. Correct?
A: Yes. Crematorium (ii) is on the left.
MR IRVING: Are these the same photographs, Professor?
A: No, they do not seem to be. I think they are the same photograph but
they come from a different source.
Q: I do not think they can be the same photographs Professor, because of
course the shadow of the chimney is going in the different direction, unless I
am wrong..
A: The shadow of the chimney goes in the same direction. We see the
shadow of the chimney going north west in both photos.
MR JUSTICE GRAY: I think one may be the mirror image of the other but I
am not sure it matters very much whether they are the same photographs?
A: So the question posed to me was the size of the objects.
It is very difficult to determine the size of the objects, because of the way
the shadow works. If one looks at the shadow of the chimney, one sees that the
chimney really projects considerably out of the building, the shadow of the
chimney. So it seems to be the sun is coming in this
P-26
case from the southeast.
I do not know exactly what time, maybe it comes from the east more.
MR JUSTICE GRAY: I would not build too much on that, because I think it
could be the same photograph which has been put in the wrong way round, as it
were.
A: No, they are exactly the same.
MR IRVING: I accept they are the same photographs. Would you agree that
both the chimney of the crematorium and whatever these pipe like objects you
say are would all be vertical? They would not be leaning in any one direction?
A: The object, you mean?
Q: Yes?
A: The chimney itself and the ----
Q: Both the crematorium chimney and the protruberances on the roof which
you think these dots are, would they all be vertical?
A: Yes.
Q: So they would all cast shadows in the same direction, at the same
angle, would they not, if that were so?
A: Yes, that is quite likely.
Q: On this photograph they clearly do not cast shadows in the same
direction. The smudges or dots appear to be first one way and then another?
A: Yes, that is the indeed true.
Q: Are these dots visible on any of the other air photographs taken of
that building?
P-27
A: Yes they are.
Q: Either before or after?
A: Yes.
Q: Are you going to show these photographs to us?
A: No. I just selected one.
Q: Well, might I suggest that it would have been helpful to the court if
you had produced the other photographs that you allege exist containing these
dots?
A: I thought that this was sufficient, but I presume the court can obtain
them if they want it. But I think that these dots show very clearly that there
are four introduction devices in morgue No. 1, or four something on top of that
roof.
Q: Professor, I strongly suggest that is a major quantum leap to suggest
that a dot which on the face of it is about 15 feet long on the roof of this
crematorium building can have anything at all to do with the protruberances
that you were talking about earlier, which at its largest extent in the
eyewitness evidence that I have seen is of the order of 36 inches.
A: Mr Irving, the whole of the width of what you call the alleged gas
chamber I think is something like, what is it, a little less than 20 feet. So,
if you look at the width of this room and you look then at the dots, we are
certainly not talking about dots which are 15 feet wide. We are more looking at
dots which are probably 3 feet
P-28
wide.
Q: I strongly disagree. They are over one quarter of the width of that
roof in all their versions and manifestations on these various photographs.
A: I am not going to argue at moment about the width.
Q: Moreover, they cast no shadow.
A: It is impossible to say what kind of shadow they cast.
Q: They cast no shadow.
A: Mr Irving, we are looking at an immensely enlarged image from a small
negative. These negatives, by the way, my Lord, have been preserved. They are
sitting all on a roll and they have been preserved. These photos have been
analysed by two different parties.
Q: Would you name those two different parties please?
A: Mr John Ball in Canada and in British Columbia was the first one who
analysed these photos in the early 1990s.
Q: Is it not correct they were first analysed by a man called Mr
Brigioni?
A: Yes, the CIA. I am sorry, indeed the CIA published these photos in
1979.
Q: About 1974, I believe?
A: Whatever, 1974, 1979.
Q: Are you aware of the fact that Mr Brigioni, the author of that
publication of photographs, the CIA operative who, with a fellow author, first
published these photographs, has recently published a book called Photo Fakery?
P-29
A: I am not.
Q: In which he sets out chapter by chapter how easy it is to forge
photographs, as we all know. Using modern computers and this kind of thing you
can take people out of photographs and move people around. This same Mr
Brigioni is an expert on photo forgery. Are you aware of that fact?
A: I was not. I presume that, with today's computer technology, he
indeed would be able to do this.
MR JUSTICE GRAY: Are you suggesting, Mr Irving, that these photographs
are forgeries?
MR IRVING: I am not suggesting that per se, my Lord, but what I am
suggesting is that one has to be alert to the possibility that somebody, for
whatever reason, has put a smudge on these photographs. The National Archives
of the United States, where the original photographs were housed in the
cartographic division, at the time they were issued by the CIA, the National
Archives issued a disclaimer saying these photographs, as they are housed in
the National Archives Cartographic Branch, do not contain the labelling which
the CIA has attached. They made no references to these actual dots or anything.
They just dissociated themselves from the kind of treatment.
A: My Lord, may I continue? Because I was asked ----
MR JUSTICE GRAY: Yes. What question do you think you are answering?
P-30
MR IRVING: Do you have any opinion as to the
integrity of these photographs?
A: I have an opinion on the integrity of the photographs which is based
on an analysis by Dr. Neville Bryant at the NASA Jet Propulsion Laboratory in
Pasodena done in 1996, and I actually was present in the room with him when he
got his job. I was not present when he actually handed in the report.
Q: Professor van Pelt, is this report of the Pasodena Jet Propulsion
Laboratory in evidence before us?
A: It is not, but I have testimony of Mr Michael Schurmer, who
commissioned the report, of the results and I just want do explain the position
of Dr Bryant. He is the supervisor of cartographic applications and image
processing applications at the Jet Propulsion Laboratory and he seems to be the
most experienced analyst of air photos in the United States.
Q: Is Mr Schurmer a friend of yours?
A: No, he is not. We have met a couple of times.
Q: Is there any reason why he would not have provided any written
version of that testimony to you for the purposes you needed it for?
A: I do not think that at the moment it is necessary to have a testimony
by Dr Bryant in court. You will have to prove this is a fakery, Mr Irving.
These photos are at the moment evidence as photos. If you want to say that this
P-31
is a fake, I would say
prove it and then we can get the report of Dr Bryant.
Q: Professor van Pelt, I think that his Lordship will educate you as to
the burden of proof in an English defamation action.
MR JUSTICE GRAY: I am not sure that is really quite right. If you are
not saying that these are fakes, and I think you just told me that you were not
putting forward that positive case, then it does not seem to me that it is
necessary for this witness to refer to the expert analysis at all. But, if you
are saying it is a forgery or has been tampered with in some way, then it may
be that we do need to see what the expert said.
MR IRVING: In that case, my Lord, I think we ought to ask the witness as
to the nature of the expertise given by the Jet Propulsion Laboratory, which
did not go to the forgery aspect, as I understand it, but to the aspect of what
those objects were and how large they were. Am I right, Professor?
MR JUSTICE GRAY: Is that right?
A: No. The question which was asked to Dr Bryant was very simple. The
first question was: Had these negatives been tampered with? It was partly based
on a suggestion by Mr Ball who had analysed them in 1990, using analogue
machines, which means he did not use computer enhancement but he used analogue
machine, in which Mr Ball
P-32
had said that in the CIA
report things had been added to the photo, and this went very specifically to
groups of prisoners being marched around the camp where at a certain moment one
could see something like a little ----
MR IRVING: Brush marks?
A: Brush marks which had been drawn in.
MR JUSTICE GRAY: That is not these photographs, anyway, is it?
A: It is actually in these photographs, but it is too small.
But that was one of the"proofs". It was that group of prisoners which
is not seen in this enlargement. They are walking around in the camp.
Q: Can we remain with these photographs, please?
A: They are in these photographs but not visual. I am just trying to
explain the brief which Mr Bryant got.
Q: Was he given the original negatives to look at or copies of the
negatives?
A: The negatives are in Jerusalem.
Q: The original negatives are in Jerusalem?
A: Yes, there is a roll of negatives in Jerusalem.
Q: How did the American government negatives come into the possession of
the Jerusalem authorities?
A: I have no idea. They are in the Abfashen(?)
Q: Are you sure this is not just a duplicate made by the National
Archives of the United States?
A: I am not sure. I know there is a
roll of negatives in the Abfashen and I have been always under the impression
that
P-33
it is the original roll
of negatives given to Israel because of the importance of this material.
MR JUSTICE GRAY: What I think we are really looking for is what was the
was conclusion at which Mr Bryant arrived?
A: What Dr Bryant did was analyse these images by using computer
technology, and he said that the problem which occurred in marching these
prisoners which were marching around is that the size of a head of a person is
the same as the size of a grain in the negative, and that the result of that
was that a morey effect which occurs when also in the newspaper when you
photograph a picture which has been screened twice. This is one of the
problems. When you go to the very small scale, it becomes very difficult to
exactly understand the behaviour of these individual grains at that level.
MR IRVING: Can we remain with the dots on the roof, please? Is there any
morey effect visible on them?
A: We are basically talking about very small objects, and I do not know
if there is morey effect on them. But the issue which Bryant had to address was
that the so-called proof Ball had for the tampering with these photos were
these lines of prisoners. Once Bryant showed that these had not been tampered
with, that there had been absolutely no tampering with this image, then the
issue of if they had been tampered with, the dots on top of the Leichenkeller
No. 1, became in some way irrelevant,
P-34
because the issue which
Ball had brought to him was based on those groups of prisoners.
MR JUSTICE GRAY: Yes. So Bryant did not actually address the question
whether these dots that we see on the enlargements were added, forged
additions?
A: No. He looked if there was any proof of addition to it and he had
said no.
Q: Generally speaking?
A: Yes, generally speaking. There is a second one and this is quite an
interesting one. Again, the big problem with all of this of course is that
nothing of this has been published. It would have been published by Schurmer if
it was not for this libel case. People are waiting to see what the outcome of
this libel case is. That is that these photos were taken in sequence, which
means that it is a mechanical camera which starts running, and photos were
taken for bombing raids on the Bunaplatz in Monowitz. So what happened is that,
as the bomber starts to approach, this was probably taken by a Mosquito, the
camera starts to run 10 to 15 minutes ahead of time, and starts taking
photographs as it is approaching the bombing site.
MR IRVING: It takes stereoscopic pairs, does it not? In other words,
each photograph was a certain distance away from the next one in terms of
seconds, so, when viewed through a stereoscopic viewer, you would get a
stereoscopic effect
P-35
so that you could see if
these objects were in fact just smudges on the roof of some kind, or plant
growths, or if they were what you would call chimneys?
A: I do not think that they were taken with the intention to be looked
through a stereoscopic viewer. It was simply that the camera was running with a
certain speed and, as a result of that, you can look at them with a
stereoscopic viewer, which is a slightly different issue.
Q: This was the system. They did not take two photographs
simultaneously. They would take them at five second intervals to produce a
stereoscopic effect?
MR JUSTICE GRAY: Mr Irving, I think we are straying a rather long way
down a possibly unprofitable side alley.
MR IRVING: In view of the fact that apparently, unless I am wrong, this
is his only other evidence apart from the eyewitnesses.
MR JUSTICE GRAY: We have not asked him that yet. I have the point. You
are alert to the possibility that these may be forgeries. Dr Bryant apparently
concluded they were not.
MR IRVING: I have one more question to ask about the smudges on the roof
as visible in the air photographs. What have you to say about the spacing of
those smudges when you compare them with what I call the tar barrels on the
roof in the other photograph? They are differently spaced, are they not?
A: I cannot judge that. In the one photo we looking from
P-36
more or less ground
level at these boxes, and now we look more or less straight from above and it
is impossible to come to any conclusion one way or another.
Q: I disagree with you. Would it not be correct to say that in fact
there is a very uneven spacing in the four tar barrels visible from the ground,
whereas the smudges on the roof appear to be admittedly irregularly spaced but
in a totally different way. Therefore, they have no connection whatsoever with
the protruberances that are visible from ground level.
A: I have no comment on that.
Q: Can we hear what other evidence you have that this building here, the
Leichenkeller No. 1, of crematorium No. (ii) was a homicidal gas chamber, apart
from the eyewitnesses and apart from the smudges on the roof?
A: These are the two images which confirm the eyewitness report, and
then there are a number of drawings made by a survivor.
Q: Mr Olaire?
A: Mr Olaire, which are in tab No. 3. There are three drawings I would
like to refer to. The first drawing is No. 1 printed 3.
MR JUSTICE GRAY: Can you just remind me? Olaire was an inmate. Was he a
sonderkommando?
A: He was a sonderkommando.
MR JUSTICE GRAY: Drawing No. 3?
P-37
A: It is circled in my horrible
handwriting No. 1.
MR IRVING: What tab are we under, please?
MR JUSTICE GRAY: Tab 3?
A: It is a plan of crematorium No. (iii) which is the mirror image of
crematorium No. (ii), so we have in some way to start to switch the left and
right halves of our brain to understand this. What he has drawn in the room No.
3, which is, according to him, the gas chamber, are in fact four little blocks,
four little squares, which are spaced from left to right, from left to right.
They are labelled here, and of course they were not labelled at the time, as
the Zyklon-B introduction openings.
MR JUSTICE GRAY: Who did the labelling?
A: In the final publication of Olaire's drawings I think they were done
by Klarsfelt or somebody who was working with Klarsfelt.
MR JUSTICE GRAY: Did Olaire survive?
A: Olaire survived, yes. He survived and he was very far from Poland
when Tauber gave his testimony. He was liberated in Germany and then he went
back to Paris immediately. So the chance of cross pollination, as Mr Irving
calls it, is very little. There is a second drawing which is in 46, so we are
now one year later. It could be a little bit more problematic except the fact
that at that moment images of the crematoria were not yet published. I just
would like to draw your attention to
P-38
drawing No. 5 which is an
image of crematorium No. (iii) as people are coming in, and this was drawn in
1945 and at that moment ----
MR IRVING: Is that 1945 or 1946?
A: 1945.
Q: I do not have a date on mine.
A: OK, it says 1945.
MR JUSTICE GRAY: Well, it would not be 1946, would it?
MR IRVING: These have been drawn from memory, am I correct?
A: These are drawn from memory.
MR JUSTICE GRAY: I see. I thought he was drawing them whilst -- no, I
see.
MR IRVING: My Lord, this is very important you should appreciate these
are drawn after the war.
MR JUSTICE GRAY: I am afraid I had not, yes.
A: These are drawn from memory. What I would like to say that he seems
to have a very good memory because the first time actually that either the
plans or images of crematorium (ii) or (iii) was published was in 1946 in the
book by Kraus und Kulgar. That is a very crude image which Kraus und Kulgar,
they made a little model. The plans were not published by the Polish Commission
in 1946. So we have here in 1945 someone who has been in that building, who
lived in that building, who was a sonderkommando, who is a very, very
experienced draftsman and painter, had a career before the war as a painter
and,
P-39
obviously, has a good
visual memory and who draws this building; and when one compares this building
with the images of crematorium No. (iii), then in general one must say that,
indeed, he remembered quite well. So I would say that this building suggests at
least that he is at least knows what he sees and he is a credible witness as
even when he works from memory.
Q: What is it that you derive from photograph No. 5?
A: Nothing, except that I want to show that it is remarkable that he is
able to remember this building as well as he does without any visual aids.
Then we come to No. 6 which is a drawing he made in 1946 of the same building
which is crematorium No. (iii).
MR IRVING: Which is a mirror image of No. (ii), is that correct?
A: Yes. What he does there, there is one problem with this drawing
because he has to try to represent something which is hidden, but we where see
in the middle level, to say, that is the incineration hole with the ovens, the
ovens which are labelled as No. H in this case, and we see No. I, we see the
coke to the right, we see the little officers, the SS man sitting there with the
window through which he looks at the incineration room, you see upstairs.
Q: Which is the gas chamber in this building?
MR JUSTICE GRAY: Bottom level, is it?
P-40
A: At the bottom level, No. D. Of
course, the gas chamber, taken from this perspective, would have been hidden
by, when we see the soldier standing at No. C in the corridor, the gas chamber
would have basically been running to the back out of the plain of the ----
MR JUSTICE GRAY: Towards the ----
A: Not towards, that would have been crematorium (ii). It runs away from
us, if we go back to the original plan I showed you which was No. (i). So the
problem he had of how to represent that gas chamber. So he drew it as if it is
under the incineration room because there was no other way to really represent
it, because he also wants to represent the undressing room which is No. A. You
see there are basically two stairs, one stair to the left for people that are
going down and we see the second stair is at No. B.
MR IRVING: In other words, his memory was wrong; he drew it in a way it
actually was not?
A: No, his memory is absolutely right.
Q: But you said that he drew it in a way that it is not because he
wanted to represent it -- he could not do it otherwise?
A: No, I mean, he had to represent the location of the gas chamber which
is because the gas chamber jots out from the plain of the drawing. He now draws
it under the incineration room, but, in fact, it goes, you know, it
P-41
goes to the back. I can
do it, I mean, if this is the plain of the drawing, then the gas chamber would
have gone like this, to the back. So he has to represent it one way or another
and he does it a little bit in the way as probably somebody in ancient Egypt
would have done it.
Q: Was Mr Olaire ever interrogated or questioned? Did he provide
eyewitness statements?
A: No, I am happy to answer that he was not, but I would like to finish
the drawing.
MR JUSTICE GRAY: Yes, make your point on this because I have not
understood it yet.
A: The major point is seen at No. E, one sees here in the drawing, and
the photocopy is not very good, but E points at some shadow -- it is almost
seems like a shadow going down from the roof of the gas chamber to the bottom,
and then you see three others, and the most right one is the clearest one in this
photocopy and these are the four wire mesh introduction columns.
MR IRVING: This is in 1946?
A: This is in 1946.
Q: You are saying that he has not heard any stories at all of what
allegedly went on?
A: I do not know exactly about the state of communication in 1945 and
'46, but the eyewitness testimony about these introduction columns was given in
May 1945 to Jan Sehn, but it was only published somewhere in 1946 and it was
P-42
actually the actual
Kuhler document, and the actual, I mean, I mean the results were only published
but the statements themselves were never published.
Q: Am I not right in saying that Mr Tauber, when he gave his statements
to Jan Sehn, there were many photo opportunities and his photographs were
splashed all over the press with stories, the other eyewitness, and that would
have been early 1946 or 1945?
A: I do not know of any photo opportunities for Mr Tauber having been
published in the press. If you can bring this, you know, I would be very happy
to consider it.
MR JUSTICE GRAY: Professor van Pelt, can I just make sure I have
understood it, that when you say that these show the projections, whatever they
may have been, you are talking about -- can you see -- that smudge there, that
smudge there, that smudge there?
A: No, that is actually, that is the installation which brings forced
air into the ovens which actually, so that other little -- no, the smudges are
going down. I tried to interpret what your finger is doing.
Q: There?
A: No, that is the door. That is the door. You are pointing now to the
door.
Q: Hold up your plan and tell me where I am supposed to see evidence of
these projections?
A: Do you see the arrow with No. E?
P-43
Q: Yes.
A: There you see where it just goes
down, the arrow just points at a first line going down, but the most clearest
one is the one ----
Q: Oh, I see.
A: --- the clearest one is the one which is half a centimetre away from
D Olaire, for his name. There are four of these columns quite literally drawn
into this gas chamber going down.
MR IRVING: But, in fact, he has it on the wrong side of the building.
You accept that?
MR JUSTICE GRAY: Well, he has turned it 90 degrees on its axis, that is
your evidence?
A: Yes. Then we have a third piece by Olaire which again is a drawing
from 1946 which is No. 7. There we see two sonderkommandos who are collecting,
as it says, gold teeth and hair in the gas chamber. Then we see in the
background, we see one of those columns.
MR IRVING: The cross-hatching, you mean?
A: The cross-hatching, yes. It is drawn in the same way ----
Q: Are you saying they actually did this job of removing the gold teeth
and the hair actually inside the gas chamber?
A: No. In general, they did it outside the gas chamber, but you must
remember ----
Q: The picture says it is happening in the gas chamber, according to
you?
P-44
A: But you must remember that by the
end of 1943 the gas chamber of crematorium (ii) was divided into two. There was
a back gas chamber and there was a gas chamber in front.
Q: Here is the wire mesh in the back of this picture?
A: No, but there were two wire mesh columns in the back gas chamber and
there were two wire mesh columns in the front gas chamber.
Q: Coming out of these non-existent holes in the roof, is that correct?
A: Whatever. What happened was that when the transports were smaller,
one of the big problems in the gassing the Germans had was that normally they
had to fill up the whole gas chamber for the gassing really to go efficient. So
by actually dividing the gas chamber up into two, they could gas a group in the
small gas chamber at the back, and then they could use the front room after the
gassing for work which otherwise would be done in the much more tight
confinement of actually the little porch or up at the exit of the elevator in
the incineration room.
Q: Can I ask what your source is for that statement?
A: The source for the statement that there were two gas chambers?
MR JUSTICE GRAY: That they divided the gas chamber into two and used one
half only for gassing?
MR IRVING: Is this eyewitnesses again or do you have documents
P-45
that support that?
A: No, there are eyewitnesses for that.
Q: Yes. In other words, you do not have a document apart from these
sketches from memory ----
A: I mean, at a certain moment if eyewitnesses say that the gas chamber
was divided in two at the end of 1943, and Mr Bacon, for example, testifies to
it that there has been a gassing in the Eichmann trial, that he came into the
gas chamber to warm up, and that there has been a gassing in the second gas
chamber right at the back, Mr Bacon did not need to prove one way or another
about what was happening where. I mean, he was a kid who came into that gas,
into that gas chamber.
Q: Can we linger on No. 7 because I am very puzzled on this business of
people extracting the teeth and cutting the hair inside the gas chamber with
the bodies still piled where they lay?
A: No, the bodies -- we do not know exactly ----
Q: He is telling us here in this picture, is he not? You yourself drew
attention to what otherwise we might not have noticed -- thanks very much --
the wire mesh in the background?
MR JUSTICE GRAY: Mr Irving, I think the evidence is, and you may not
accept it, that these bodies had been moved from the half of the gas chamber
where they had been gassed into the other half where the removal of the hair
and the
P-46
teeth took place.
MR IRVING: And they just left this wire mesh column for no reason -- it
was kind of left over from ----
MR JUSTICE GRAY: It was historical. I think that is the evidence.
A: The second gas chamber -- there were two gas chambers, they were
right one behind the other -- the second one was used also when there were
transports. We have a small one at the back. I mean, basically, half of the
original gas chamber is used for small transports and the two are used for big
transports. Of course, all the Zyklon-B introduction devices remain in that
first room because the room is on occasions also used.
Q: And you notice that none of these people are wearing gas masks of any
kind, although they are handling bodies that have clearly been contaminated
with hydrogen cyanide?
A: I do not want at the moment to go into exactly ----
Q: Well, I do because this is an important point.
A: The testimony is that people were wearing gas masks when they went
into the gas chamber itself to take the bodies out; that when these bodies were
out, the dentists, the so-called dentists, did not need any gas masks any more
to handle the bodies.
Q: They had been subjected to doses of hydrogen cyanide, hundreds of
bodies, and yet these people are just handling them like this?
P-47
A: And the hydrogen cyanide by that
time had been taken out of the gas chamber by ventilators.
Q: How long did that procedure last then? I mean, we are trying to get
some idea of the time scale of the operation involved.
A: Around half an hour.
Q: For all the hydrogen cyanide to evaporate off these bodies so these
people could work on them quite harmlessly?
A: The ventilators, again eyewitness testimony says that the ventilators
after the gassing that took around 20, 30 minutes to take the gas out of the
gas chamber.
Q: Professor van Pelt, are you aware of a news item in the newspapers
about two years ago, an American student had committed suicide with cyanide and
when the rescue workers went in, the paramedics went in, nine of them were
overcome by the fumes and were hospitalized afterwards?
A: I did not read the Canadian papers, I am sorry to say.
Q: This was an American newspaper and reported in the European press as
well. I have the press clipping if you are interested. Nine of them were
overcome by fumes from one body of a man who had committed suicide with
cyanide, and they had to be hospitalized. So, on the face of it, this is quite
an improbable picture we are looking at, if that is true?
A: I think eyewitnesses will say that this is, indeed, what happened.
People with gas masks go in the gas chamber to
P-48
remove the bodies and
people without gas masks work on the bodies after they have been removed from
the gas chamber.
Q: Have you also read the testimony of some of the eyewitnesses, that
they went in there smoking cigarettes and they went in there eating sandwiches,
despite the gas masks?
A: My Lord, you will find my discussion on that whole issue in my expert
report. Mr Irving at the moment is referring to an argument which has been made
by Professor Faurisson. It is based on a complete falsification, misreading,
misrepresentation, of the testimony of Mr Hirst.
Q: Of Mr Hirst?
MR JUSTICE GRAY: We can come to that in due course, no doubt ----
MR IRVING: In other words, some eye witnesses we have to discount.
MR JUSTICE GRAY: --- but at the moment, Mr Irving -- just listen to me;
I would like to get some structure into it if we can -- we are taking Professor
van Pelt through the reasons other than eyewitnesses for saying that ----
MR IRVING: This, of course, is clearly an eyewitness again, is it not?
MR JUSTICE GRAY: Mr Irving, will you just listen? We are taking
Professor van Pelt through his evidence for saying that crematorium No. 9ii)
was used as a gas chamber,
P-49
evidence apart from the
eyewitnesses. We have seen the photographs. We have now seen the Olaire
drawings. Can we move on and see whether there is any other evidence he relies
on; if not, you can move on.
MR IRVING: My Lord, I would like just to linger two or three more
minutes with the Olaire drawings because I have not really had my say on them.
MR JUSTICE GRAY: All right.
MR IRVING: First of all, it is not correct that this is just another
form of eyewitness evidence, if I can put it like that, Professor van Pelt?
This is an eyewitness who has the capability of drawing as well as speaking
about what he claims to have seen, is that correct?
A: Yes.
Q: He is an eyewitness. Would you say that he is an eyewitness who is
normally balanced and in command of his faculties or is there anything odd
about him?
A: I am not a psychologist. I think that these drawings, these drawings
certainly seem to suggest, especially when we look at the architectural plans,
when we look at the section of the building, that his powers of observation
were perfectly in tact.
Q: I must say there is a difference between the architectural plan which
he provided in 1946 and the rather more lurid pictures and, of course, you know
what I am talking about, earlier. Would you look at the picture No. 5 which is
the
P-50
exterior of the
crematorium with flames and smoke belching from the chimney. Now, would you
agree that these crematoria, in which the Germans had invested a great deal of
money in building, would have been built to the latest design standards?
A: Design standards of what, Mr Irving?
Q: For crematoria, following all the appropriate technical
specifications?
A: Mr Irving, we know very well that the Auschwitz crematoria did not
follow the usual civilian crematoria design standards.
Q: Is there one single photograph, apart from the forged one put by the
Simon Wiesenthal Centre in their brochure (which they have admitted is a
forgery) showing the chimneys of the Auschwitz crematoria smoking?
A: There is one ----
Q: Even smoking, let alone flaming like this one?
A: There is one photo, as far as I remember, in the images of the
Hungarian action of 1944 which actually shows some smoke coming from a
crematorium chimney.
Q: This is the photograph I am referring to which the Simon Wiesenthal
Centre have admitted now because they have been shown the comparison with the
original, unretouched photograph. Can I describe this photograph to you?
MR JUSTICE GRAY: Do you know about this?
A: No, I do not know about the challenge to this photograph.
P-51
MR IRVING: Well, it is a photograph showing
prisoners arriving from the Hungarian action in the foreground, and in the
background can be seen a chimney of a crematorium. On the original photograph
the chimney is not smoking, but in the version posted by the Simon Wiesenthal
Centre in its publicity smoke has mysteriously appeared?
A: I refer to the published version of the photo and the copy of the
photo, which actually is a copy of the photo, a print of the photo, which I
have seen in Auschwitz. I have never seen the Simon Wiesenthal publication.
MR JUSTICE GRAY: Mr Irving, the position is you will have to prove that
in due course.
MR IRVING: I will bring those photographs to court, my Lord.
(To the witness): One more question about the Olaire pictures. Of course, have
you seen all the Olaire pictures or just the ones you have produced at the
court?
A: I have seen all the Olaire pictures.
Q: Yes, would it be right to say that he has a prurient interest in the
female form?
A: I do not know how this is relevant. I mean...
Q: Concerning his mental balance.
A: I think ----
Q: Or the purpose for which these illustrations were made -- let us put
it like that.
A: I think that if one would judge the ability of someone to bear
witness on the basis of their interest in the female
P-52
form, I think that not
many people would be able to give evidence.
Q: Would you agree that in almost every single one of these pictures he
has drawn, for whatever purpose -- there is another photograph that I have
given there which is not in your collection -- there are naked women full
frontal on to the artist's brush, so to speak, and that there is no reason
whatsoever that he should have made these pictures in that way unless he
intended to sell them. Is that a fair speculation?
A: Mr Irving, I do not want to comment on what I understand your
suggestion is that we are dealing here with a pornographer. I think it is
absolutely not worth me to go into that.
Q: I did not use the word "pornography". I said that his
purpose in drawing these pictures was to produce a marketable item which he
could sell in the media at some time?
A: Mr Irving, you will have prove to me, if you want to me to comment on
it, that he ever tried to sell these things in the media.
Q: Let me put the question this way. Is it likely that nearly all the
females who became victims of the bestialities of the Nazis in Auschwitz were
nubile, young and attractive?
A: No, it is not very likely.
P-53
Q: Not likely. Thank you very much. No
further questions on this particular matter. I want to go back to the testimony
of the witness Bimko, unless Professor van Pelt ----
MR JUSTICE GRAY: Can we just ask, is there any further material that you
rely on, apart from the eyewitnesses, for saying that crematorium (ii) was used
as a gas chamber?
A: We can go through the documents. If you want the construction
documents of the crematoria, this will be quite a long exercise.
MR IRVING: Are they explicit as to the use of the building?
A: We have documents which -- we have a document, for example, about the
Vergasungskeller which you know well. We have a document about the ----
MR JUSTICE GRAY: We need not bother with that. We know about that.
A: --- the construction, the construction where at a certain moment we
get an Auskleiderkellers in the basement. We talk about the introduction of hot
hair into morgue No. 1, the proposition being made which breaks down very
quickly after it has been introduced. I am happy to go in detail through those
letters if you want me to.
MR IRVING: We will deal, if you wish, with the introduction of hot air.
We have dealt with the undressing room, I believe, earlier in this case?
P-54
A: Maybe you have dealt, Mr Irving, I
have not dealt with it and his Lordship asked me if I wanted to introduce other
elements.
MR JUSTICE GRAY: I just want to get the full picture. I do not want you
to spend very long on this, but you deal with this in your report, do you not,
at some length?
A: In detail, yes.
Q: So we could call this corpus of evidence the ----
MR RAMPTON: My Lord, I do think that at some stage Mr Irving has to put
it directly to Professor van Pelt what he says about the -- Mr Irving's thesis
in cross-examination by me was that it was, indeed, a vergasungskeller, but
that it was used for gassing lice or people that were already dead.
MR IRVING: The way I put it was that it had alternative other uses.
MR RAMPTON: I do think at some stage Mr Irving has to allow Professor
van Pelt to deal with that thesis which includes the references to
"Auskliederkeller".
MR JUSTICE GRAY: So no human killing but delousing?
MR RAMPTON: That was Mr Irving's response to my cross-examination and
the evidence about the cyanide in the zinc covers and the word
"Vergasungskeller", yes, indeed. They used it for gassing, clothes,
people.
MR JUSTICE GRAY: And objects.
MR RAMPTON: And objects.
P-55
MR JUSTICE GRAY: I think that is right. I do not
when Mr Irving is going to come to that, but I think Mr Rampton is right in
saying that that has to be put so that Professor van Pelt has the opportunity
of dealing with it.
MR IRVING: I certainly had not overlooked the need to do that, my Lord,
but I was going to do it in a logical, systematic ----
MR JUSTICE GRAY: Yes, you do it when you want to.
MR IRVING: Yes, introducing two or three more documents before we got to
that in which we have the word "vergasung", and so on, of a
relatively harmless nature.
MR JUSTICE GRAY: But what Professor van Pelt has said is that, in
addition to the photographs and the drawings and so on which we have been looking
at this morning so far, he relies also on what one might call the construction
documents.
MR IRVING: Yes, which he has just vaguely summarized as inferences to be
drawn from them. But if we can just now go back to your reliance on the witness
Bimko? Can we, please, have once again the reference in the bundle of
documents, Auschwitz 1 or 2, to the Bimko testimony in the Belsen trial? While
we are looking for it, can I confirm that that testimony is actually drawn in
your version from the book by Raymond Phillips, the trial of Joseph Kramer and
44 others?
A: Yes.
P-56
Q: So at the time you wrote your
report, you had exactly the same pages in front of you that I have here which
are pages 740 to 742 of the Phillips book?
A: Yes, I presume so. I mean ----
Q: Yes.
A: --- I presume it is only one edition.
Q: Your contention is that you left nothing out of the Bimko testimony
which was relevant to his Lordship and myself in evaluating the integrity of
this witness?
A: I have -- Mr Irving, I have said a couple of times yesterday that my
intention in giving, in writing down that section was not to bring in Dr Ada
Bimko as a major witness on whom I rely. The intention of that section, which
contains also other evidence or other descriptions of the gas chambers and
crematoria -- for example, the Polivoy account which was proven to be wrong --
was simply to show the development of knowledge about Auschwitz since 1942. It
is in three sections. I start in 1942. I try to trace exactly how the knowledge
became available and in what way. In that sense, of course, the Lunenberg trial
had some importance, but much more importance because of the admissions of the
people of Kramer and the others who were actually tried in that case.
Q: Can I interrupt you at this point and say so, in other words, you
concede that the Pravda account by Polivoy is totally or largely unreliable?
P-57
A: I have written in my report that is
-- I do not think it everything, but it is a largely unreliable account as far
as the description of the exterminations is concerned.
Q: In other words, it is fanciful; it include things which never existed
in Auschwitz.
A: Oh, yes, I have no problem ----
Q: It is pure propaganda for the Allies or for the Russians?
A: I do not think necessarily, Mr Irving, that this is propaganda for
the Allies. We are dealing here with a writer, a correspondent, a war
correspondent, attached to the Red Army who arrives in the middle of an
offensive in a camp which shows, even of what remains there, it shows clear
traces of a very big crime.
I think that we should remember that in 1945 people had not yet experienced
these kinds of installations; that these installations were in ruins and I
think Mr Polivoy, partly probably on what he heard people say who had remained
there which was largely sick people, and partly on the basis of his own
imaginings, tried to imagine what such a place would have been.
Q: Among the things the Russians found, was there a hospital full of
sick people, including large numbers of sick Jews?
A: There were a number of lazarettes in the camp, yes.
Q: Hospitals, yes.
A: I do not think that a lazarette and a hospital are necessarily the
same thing.
P-58
Q: A lazarette is a military hospital?
A: The lazarettes were barracks in which people were put.
There was no medical equipment. There was nothing really to treat them. There
were many descriptions of the way these lazarettes were operated. There are
also documents relating to them. So I think I would not want to ----
Q: We do not need to go into the problems caused in the medical
conditions in Germany. I am just asking, the Russians did find hospitals or
barracks of a hospital nature in which large numbers of sick and unemployable
people, including large numbers of sick and unemployable Jews, were housed, for
example, the father of Anne Frank was there, is that not right?
A: Mr Irving, when the camp was evacuated in the middle of January 1945,
indeed, prisoners who were sick were men who could not make the march to the
west remained behind.
Q: But you appreciate the point I am making that, surely, the legend has
it that the Nazis liquidated everybody who fell sick or who was unemployable?
A: Mr Irving, in my report I think I have pointed out in response to
things you have said about what happened to the Frank family, that by the end
of 1944 the situation in Auschwitz had changed, that while until the end --
while throughout the history of the camp there were regular selections of sick,
in the lazarettes of sick inmates who when they were considered to be incurable
or too weakened
P-59
that they were taken to
the gas chamber, that this policy had stopped -- first of all, it had been
diminished in late 1944 and at a certain moment stopped. No gas selections were
undertaken any more in the lazarettes in the end of 1944. This is one of the
reasons that there were a relatively large amount of sick prisoners by the time
the camp was evacuated.
Q: So the Nazis are feeding large numbers of useless mouths who were
Jewish and sick and they were in the jaws of death, they were in the heart of
the extermination camp ----
A: Mr Irving ----
Q: --- and they were in hospital?
A: --- I would not want to infer any kind of thing about the regular
procedures in the camp on the basis of what was happening there in December or
January 1944 -- December 1944 or January 1945.
Q: Do you now have in front of you the Bimko testimony?
A: I do not have it right in front of me now.
MR RAMPTON: My Lord, it is H2(ii). It starts at footnote 404 behind the
tab 401 to 420.
MR IRVING: You have conceded, in other words, that the Pravda account as
an eyewitness account is largely unreliable?
A: Yes, I have done that in my report so I have no problem with
that statement.
Q: So systematically we will now continue with the next
P-60
eyewitness.
MR JUSTICE GRAY: Are we on Dr Bimko?
MR IRVING: We are now on Dr Ada Bimko, as she was at that time. Her real
name now, at any rate, Adassa Rosensacht(?)
MR JUSTICE GRAY: She is still alive, is he.
MR IRVING: I believe she is still alive. She is a leading figure, or was
a leading figure, in the United States Holocaust Memorial Museum. She was an
adviser and on their Library Council. (To the witness): Can we look at
paragraph 1?
A: Which footnote?
Q: On page 740. Paragraph 1. This is, of course an eyewitness who is
claiming to testify in a capital trial against captured Nazis who were on trial
for their lives. She has made this deposition. At the end of paragraph 1, did
you read the words when you were doing your research: "I have examined the
records of the numbers cremated and I say that the records show that about 4
million persons were cremated at the camp"?
A: Yes.
Q: Have you any comment to make on the voracity of that statement?
A: It is unlikely that it happened, but I do not exactly know what
record she was looking at.
Q: Could she have looked at any records in Auschwitz and
P-61
found that 4 million people had been cremated?
A: I do not know. I do not know exactly what records there were. The 3
or 4 million is very unlikely.
Q: Yes. The figure of 4 million was, of course, the original propaganda
figure put out by the Polish Government for whatever reason, is that correct?
A: Yes -- it was a figure which was established actually, I do not say
for propaganda reasons, it was a figure which was established by the Russians
after they liberated the camp, the first ----
Q: But, of course, she is not testifying here that she has seen a figure
put about by Russia propaganda; she says "I have seen the records and they
show that 4 million people had been cremated"?
A: So, I mean, if you want to make a point, Mr Irving, that she is wrong
there or that she maybe says something which she did not do, that is fine.
Q: The point, obviously, which his Lordship will appreciate, as I am
working towards this, you have had this document in front of you when you wrote
this report. In the very first paragraph, when she is making this statement on
oath, she has said a statement which, to your knowledge and to mine and to the
court's knowledge now, is quite obviously untrue?
MR JUSTICE GRAY: I think that is not actually right, is it? She is
claiming to have looked at some records. We do not
P-62
know what the records were or what they show. She is not giving, as it
were, false eyewitness evidence at that point in her statement, is she?
MR IRVING: My Lord, I beg to differ. "I have examined the records
of the numbers cremated." "I have examined the records and I say that
the records show that about 4 million persons were cremated at the camp".
What other possible interpretation can you put on that statement?
MR JUSTICE GRAY: Well, I have just suggested one to you. Anyway, carry
on with your questions.
A: My Lord, may I make a remark?
MR JUSTICE GRAY: Yes.
A: I think this would be an interesting exercise, and I do not want to
judge it any further, if I had made use of the Bimko evidence in any way in
relationship to did the gas chamber exist or not? I have never used -- I have
just mentioned Bimko in this one particular context; the emergence of knowledge
of Auschwitz. I have not used her anywhere else ever. I have not brought her
here in as an eyewitness to the gassings, to the existence of Zyklon-B columns.
MR IRVING: You just threw her in as a bit of spice?
A: Sorry?
Q: You threw her into your report as a bit of spice, did you?
A: Not as a spice.
Q: As one more statistic? So, instead of having four
P-63
eyewitnesses, you would have five?
A: Mr Irving, I tried to give an impression of what was happening at the
Lunenberg trial, what was said at the Lunenberg trial.
Q: We know what happened at the Lunenberg trial. A large number of these
unfortunates who were on trial were convicted and hanged on the basis of her
testimony, including the person mentioned in the last paragraph, paragraph 8 on
the next page: "On the day before the British troops arrived at
Belsen", she said, "I saw Karl Flrazich [Francioh], who was a cook,
shoot a man internee dead for stealing vegetables". Were you aware that in
her oral evidence at the Belsen trial she said it was a woman that the man
shot?
A: Mr Irving, I did not know that, to be very honest, the witness Ada
Bimko does not really interest me so much because I have not made use of her in
reconstructing the history of any of the four crematoria.
Q: So we are working towards the point where we do not have to strike
off Mrs Bimko. There is one more thing I want to draw your attention to. At the
beginning of paragraph 6, this woman who has medical knowledge -- she is a
doctor -- writes: "Whilst at Auschwitz I saw SS male nurses Heine and
Stibitz inject petrol into women patients". Are you aware, Professor van
Pelt, that phenol injections are a standard treatment for typhus?
P-64
A: In Auschwitz, I understand that phenol was used as a regular --
sorry, I will answer the question. I am sorry, for this. No, I did not know
that.
Q: Very well. So on top of the evidence we looked at yesterday where
Bimko described cylinders of gas and pipes which you admitted was wrong, but
possibly a misinterpretation of what she was -- you thought she might have seen
the ventilation system -- we have no evidence of that. Bimko is, in other
words, a totally unreliable witness and should not have been relied upon in any
way, notwithstanding the fact that her evidence sent several men to the gallows
in Lemberg?
A: My Lord, I do not want to judge the Lunenberg trial.
MR JUSTICE GRAY: No, but do you accept that she is not a witness on whom
reliance should be placed as to what did or did not take place at Auschwitz?
A: I think that some of her statements are historically defensible and
some of them probably not. This is also, of course, an issue of
cross-examination. I do not think there was much of a cross-examination at the
time. But I think this is with every, you know, with every witness, there
always will be some things which will be wrong or will be mistaken.
MR IRVING: Is there a possibility that with a witness like Bimko and
Pauber who had suffered appalling indignities at the hands of the Nazis, that
when the Allies came, in the
P-65
case of Bimko, it was the British Army who rescued here, that she saw her
moment for revenge had come and she could take out a few of the hated Nazis?
A: Anything is possible, Mr Irving.
Q: I am trying to find some other reason why she should have
deliberately lied in her depositions, sworn on oath in a capital case? You can
suggest no alternative reason than that, that possibly her memory was wrong,
she had a bad memory or she was imaginative?
A: There are many possibilities. It may be she was an habitual liar;
maybe she was an habitual story-teller. Who knows? We cannot second guess the
situation. The only evidence we have is right in front of us.
Q: So of your five eyewitnesses, we have lost the Russians, we have lost
the Pravda account, we have lost Bimko now?
A: But I never introduced Bimko, so I do not know how I can have lost
Bimko.
Q: Well, some bulk larger than others in your report. Mr Tauber you rely
on quite heavily, do you not?
A: Mr Irving, I rely on Tauber for the description of the operation of
the crematorium and the gas chambers. I have never, never introduced Miss Bimko
as a witness for this material. So I cannot see how I lost her because I did
not introduce her as a witness.
MR JUSTICE GRAY: I do not think the idea of "losing" somebody
is a very helpful one, but it would help me if you
P-66
would ----
MR IRVING: Perhaps I should put a row of beans on the counter ----
MR JUSTICE GRAY: Mr Irving, can you just let me complete my sentences
sometimes? Would you for my benefit, Professor van Pelt, just tell me, really
just enumerate, those witnesses, those eyewitnesses, who you say deserve some
attention for what they have said in their accounts?
A: OK. Are we dealing only with crematorium (ii) or are we dealing with
the ----
Q: With gassing, the extermination by gassing?
A: Extermination by gas?
Q: Just the names so that Mr Irving knows who you do rely on.
A: An important one is Slova Dragon(?) who was one of the
sonderkommandos. An important witness is Heinrich Tauber mentioned already
before. An important witness is Pery Broad. An important witness is Hirst. Then
we can take in also, both as a witness and his diary, Dr Kramer.
These are either from the time itself or immediately after the war. Hans
Almayer talks about gassings, but he is rather confused about many things so I
would not want to rely too much one way or the other.
MR IRVING: Explain to the court who Hans Almayer is, please?
A: Hans Almayer was the Lager Fuhrer in Birkenhau in 1942 and early 43,
but he left by the time these crematoria started to be in operation.
P-67
Q: By the time he was acting in effect as the deputy kommandant,
is that right?
A: Yes. Let me just try to get back to my enumeration of witnesses. Then
during the Lunenburg trial Kramer admitted to gassings but did not describe the
procedure in detail. So at the moment I would leave it to basically build up a
general picture, these witnesses I think produce a sufficient evidence to come
to some kind of solid conclusion on that issue.
MR JUSTICE GRAY: Thank you. That is extremely helpful. Mr Irving, do
resume.
MR IRVING: That is a relatively small number of eyewitnesses for a
relatively large proposition, namely that the Nazis killed 500,000 people in
that gas chamber with the collapsed roof. That is the only evidence that we
have, apart from the sketches of Mr Olaire, and there is not a single document
of any credible worth which explicitly bears out your case in all the hundreds
of thousands of pages of paper found in the Auschwitz museum and in the Moscow
archives. I am trying to summarize at this stage what the position is.
A: On which case?
Q: On the case that that was a homicidal gas chamber.
A: No. I think these are the principal -- these are people who basically
give us the texture, who have describe the operation in some detail. One
probably could have found
P-68
----
Q: If we can fault them in any significant way, if we can punch a hole
in their testimony, if I can put it like that, then of course that rather
collapses the entire value of the rest of their testimony.
A: I do not think that is necessarily the case, but I am not a
professional judge. I am an historian. Some of their testimony will be
absolutely correct and there will be always some testimony where they are maybe
confused. But I think that Faurisson's theory that, if you punch one hole in
the testimony, all of testimony becomes irrelevant I think is an irresponsible
way to work with the testimony.
Q: Let Mr Faurisson fight his own battles.
A: But what you said was quite literally a quotation from Mr Faurisson.
It is his thesis, his original thesis.
Q: Yes. It may be his thesis, I am sure. It is such an obvious thesis
that I appreciate that the Holocaust historians had maximum difficulty with it.
If there are no holes in that roof now and we can satisfy the court that there
were never any holes in that roof, then that demolishes the eyewitnesses and
thereby demolishes the story of the homicidal gas chamber, because there is no
other evidence. Even if I am wrong on that, as we say, in the alternative, I
have justifiable reason for maintaining the position I did and it was not
perverse to adopt the
P-69
position I did.
A: I am not fighting this case so I cannot comment on that.
Q: Can we proceed now to Mr Tauber? How big does Mr Tauber rank in your
list of witnesses? Is he near the top in importance?
A: He is a very important witness.
Q: So straight away Mr Tauber of course said that he saw the people
pouring the cyanide in through the imaginary holes in the roof. He did not say
imaginary but ----
A: Let us look at the text.
Q: We read what he said. I think you will find it in your report Part 1
(iv) page 73 of your report.
MR JUSTICE GRAY: I think your pagination is different from everyone
else, Mr Irving.
A: I have it right here. It is page 191.
MR IRVING: Thank you very much. He says here right at the top: "
Through the window of the incineration room, I observed how the Zyklon was
poured into the gas chamber. ... They took the cans of Zyklon from the car and
put them beside the small chimneys [the things that you described on the
roof].... Then he closed the orifice with a concrete cover." Was this the
man who said he needed two hands to lift the concrete cover, that he saw the
people using two hands to lift the concrete cover? This is Tauber, is it
P-70
not?
A: I do not remember that he said it but, if you can point to the
passage ----
Q: We went through the Tauber evidence in some detail yesterday.
A: We did not discuss the thing on top, people manipulating those
covers.
Q: Yes. If he talks of concrete covers with two handles, does this not
rather contradict the story given by other eyewitnesses even of there being
wooden lids on these openings, Holzblenden in German? They have not got their
story straight, these eyewitnesses. They know a bit about the holes in the roof
but they do not know quite what the covers were. They must assume that there
were covers because otherwise the rain would get in. So one says concrete and
another one says wood.
A: If you want to introduce that, I would be happy to comment on that. I
do not even know which eyewitness you are talking about right now.
Q: Tauber.
MR JUSTICE GRAY: No, the ones who say they were wooden, not concrete.
That is what you mean, is it not?
MR IRVING: My Lord, we will probably stumble across them in the course
of time.
MR JUSTICE GRAY: That is not a very good way of cross-examining, if I
may say so. Are you able to refer
P-71
to them now?
MR IRVING: Not at this instant in time, my Lord.
MR JUSTICE GRAY: All right.
MR IRVING: If I was surrounded by research assistants, no doubt I would
be bombarded with copies of that very document. Does Tauber not say --, I refer
you now to Pressac page 483. Do you have a copy of Pressac?
MR JUSTICE GRAY: I do not.
MR RAMPTON: Your Lordship has the tab of Pressac at the back of H 2(vi).
MR JUSTICE GRAY: I do not have H 2(vi).
MR RAMPTON: Then somebody will get it for your Lordship.
MR JUSTICE GRAY: I am sorry, I do not have the supporting documents in
court.
MR RAMPTON: I will find your Lordship the tab. It is tab 5.
It folds out because Pressac is an oblong book. What has been copied here is
just the Tauber chapter, I think.
MR IRVING: Would you agree, reading this very detailed account,
Professor, that it is likely that, when Tauber made this deposition to Jan
Sehn, I believe it was made, they had in front of them the architectural blueprints
to jog his memory?
MR JUSTICE GRAY: We had this yesterday, that point.
MR IRVING: Very well. I am just drawing attention to how detailed it
was. Yet he says that on either side of these pillars, the central support
pillars, there were four
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others, two on each side. Now He is relying on his memory ----
MR JUSTICE GRAY: Where are you now?
A: We are now back in the gas chamber? Where are we at page 483? OK. We
are at the top of 484, the first column to the left.
MR IRVING: Thank you very much.
MR JUSTICE GRAY: I have not got the pagination so there is no way I am
going to find this.
MR IRVING: It is over the page, the page beginning with the words
"middle of its length".
MR JUSTICE GRAY: I just do not have page numbers, that is the problem.
They have all been cut off.
MR IRVING: I will read it out. It says, "On other side of these
pillars there were four others, C1 to C4, two on each side". Mr Pressac,
who is quite an expert on this, says that Mr Tauber is mistaken, this
arrangement is found only in the gas chamber of crematorium (iii). He is
confusing things, is he not?
A: Mr Pressac?
Q: No. Mr Tauber is confusing things.
A: I know that Mr Pressac thinks that. I do not agree with Mr Pressac.
There is no evidence at all that Pressac is right on this issue.
Q: That Pressac is sometimes wrong, in other words?
A: Oh, yes. Pressac is sometimes wrong. I have had my
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quarrels with Pressac in the past.
Q: He says, and I am quoting again, "The gas chamber had no water
supply of its own".
A: Where are we now?
Q: I only have extracts, unfortunately. Further down that same column,
Pressac says that three taps were in fact installed in the room, according to
the drawing?
A: I am just trying to find this thing.
Q: According to the inventory.
A: I see the gas chambers, no water supply and so on, it is around two
inches from the bottom, and the first column, the same column where the pillars
were described.
MR IRVING: Yes.
MR JUSTICE GRAY: I am not following why that is a criticism of Tauber at
the moment.
MR IRVING: Well, he has made another error.
A: There is a little note. It is followed by a little note which says
----
Q: Saying they were later taken out?
A: Yes, so we do not know which day or date Tauber was referring to.
Q: Yes. You yourself have confirmed that at the end of 1943, I believe,
the gas chamber was divided into two by a brick wall?
A: Yes.
Q: So the small transports could be handled. Mr Tauber
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confirmed this. He is the source of that information, is he not?
A: No. There is also a Greek. Actually, in my report I mention a Greek
Jew who was transported from Seloniki, who actually mentions also, he was quite
specific in his description of that division of the gas chamber.
Q: Another eyewitness?
A: Yes, another eyewitness.
Q: Is there any trace of that division in the ruins?
A: You cannot see that. That is the problem because the roof has
collapsed on the floor of the gas chamber.
Q: Yes. It would not make much sense, would it, to all the bodies that
far because this small transports were gassed in the chamber furthest from the
entrance, so the bodies would have been pulled the whole way down. Would that
not have made gassing of large numbers like 2,000 at a time very difficult?
A: If you have the small chamber at the back, you would gas fewer people
and, in fact, as we have seen in the Olaire drawing, it actually provides an
opportunity for the so-called dentists among the sonderkommando and the people
who cut the hair to actually do their work downstairs and not in the
incineration room, as was usually the custom.
Q: He also describes, does he not, the crematorium chimneys smoking?
A: I presume that is crematorium chimney smoke, indeed, yes.
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I would like to see it but I assume on your authority that the
crematorium chimneys do smoke, yes.
Q: From your memory, presumably you have read Mr Tauber's testimony in
detail, is it right that he describes it as being possible to cremate five or
eight bodies simultaneously in one furnace?
A: I think that we can probably go to the passage itself.
Q: Well, he does say that, does he not?
A: Let us go to the passage, because he is very particular in his
description.
MR JUSTICE GRAY: Is this in your report at page 194?
A: 194 yes.
MR JUSTICE GRAY: I cannot see the bit at the moment.
A: 194. We go to 192 and 193. I can read the whole passage, or Mr Irving
can read the passage, starting: "The procedure was to put the first corpse
with the feet towards the muffle, back down and face up". Then he gives a
very detailed description of that procedure.
MR IRVING: So he is the source of the information that five to eight
bodies were cremated simultaneously or quickly?
A: No. I think that Mr Hirst also talks about that, that more bodies are
inserted in the muffles at one time.
Q: Does Mr Tauber also describe the bodies of those gassed as being red
with green spots?
A: I do remember that he gives a quite a longish description of the ----
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Q: If you remember it, there is no need to look it up.
A: I do not any more remember if it is Tauber or any other sonderkommandos.
Q: Do you know what a body that has been gassed with hydrogen cyanide
looks like, what colour it turns?
A: I understand it starts to look slightly reddish.
Q: Like a radish? Red with green spots?
A: No, reddish.
Q: With green spots. Would you think that that is possibly the victim of
some epidemic?
A: I am not an epidemiologist. I do not know how people who have died
from typhus or other epidemics look like.
Q: Cyanide victims do not go red with green spots, not if they have just
been gassed. If they have been left lying around for a few days, perhaps they
might.
A: I have no comment on that. I cannot possibly comment on that.
Q: Does he describe a prisoner being dowsed with naphtha which is a
flammable substance?
MR JUSTICE GRAY: This is Tauber still?
MR IRVING: This is Tauber, yes, and then being burned alive in a
crematorium muffle, and then they let him out and he ran around screaming?
A: He has a particular incident. Again, I do not know where it is.
MR JUSTICE GRAY: Is it in your report?
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A: It is in my report, yes.
MR IRVING: Does he describe another prisoner being chased into a pool of
boiling human fat, which sounds like an almost Talmudic kind of quotation.
MR JUSTICE GRAY: I am not quite sure, Mr Irving, perhaps you can explain
to me. You are putting various things which you say Mr Tauber described.
MR IRVING: Well, my Lord, the inference is ----
MR JUSTICE GRAY: With what object? Are you suggesting all of this is
invention?
MR IRVING: I am not suggesting they are all invention, but they test a
reasonable historian's credulity, and one should therefore be inclined to
subject this particular testimony to closer than normal scrutiny, if I can put
it like that.
MR JUSTICE GRAY: Let us ask Professor van Pelt what he makes of that
suggestion.
MR IRVING: I have two more of these episodes to put to him.
MR JUSTICE GRAY: Put two more and then answer the general question,
would you?
MR IRVING: The prisoner was chased into a pool of boiling human fat --
does he describe that?
A: Mr Irving, if you give me the passage, I will----
Q: He is your principal eyewitness, or one of your principal eye
witnesses.
MR JUSTICE GRAY: He wants the reference, Mr Irving, which is
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not unreasonable. I am trying to find it and I must say I cannot.
MR IRVING: Certainly if I had read the Tauber report, I would be able to
say yes or no to that.
MR JUSTICE GRAY: I am looking in Professor van Pelt's report.
A: Mr Irving, we are in a court of law here and whatever I say does
matter. It means that I need to respond to the exact quotation of what Tauber
says, and then I am prepared to say yes or nay.
MR IRVING: Very well. We will look up the exact quotation in time for
lunch. Let us proceed then to the final one. Do you agree that Mr Tauber also
attests to the figure of 4 million killed in Auschwitz?
MR RAMPTON: We thought we had found the passage in question. It is page
190 of the report.
MR JUSTICE GRAY: Thank you very much.
MR IRVING: Yes. This is the problem with writing with word processors.
Things tend to go through the finger tips rather than through the memory and
brain. In other words, he does have this rather lurid description of the man
----
A: Mr Irving, I do not deny that I put this in, and I do remember the
incident, but I do not want to comment on a very general description you give
of the incident when I do not have the text in front of me.
Q: Can I read it to you? It is on page 190 of your own report.
"When the shifts were changing over, they had
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found a gold watch and wedding ring on one of the labourers, a man
Wolbrom called Lejb. This Jew, aged about twenty, was dark and had a number of
one hundred thousand and something. All the Sonderkommando working in the
crematorium were assembled, and before their eyes he was hung, with his hands
tied behind his back, from an iron bar above the firing hearths. He remained in
this position for about an hour, then after untying his hands and feet, they
threw him in a cold crematorium furnace. Gasoline was poured into the lower ash
bin... And lit. The flames reached the muffle where this Lejb was imprisoned. A
few minutes later, they opened the door and the condemned man emerged and ran
off, covered in burns. ... This fat was poured over the corpses to accelerate
their combustion. This poor devil was pulled out of the fat still alive and
then shot." Does that sound to like a completely neutral and plausible
account of an atrocity?
MR JUSTICE GRAY: Leave aside "neutral". That is an unhelpful
word. Do you think it is plausible?
A: Yes.
MR IRVING: Very well. The figure of 4 million to which Tauber attested,
do you call that also plausible at the time he testified?
A: The figure of 4 million? Not, because nowadays we have very detailed
information on what actually the figure is
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and it is more likely to have been around a million.
Q: So would you agree that this is an example of what I call cross
pollination? He hits on the figure of 4 million because that was the current
figure at that time?
A: I do think that we should look at how the figure of 4 million
originally arose.
MR JUSTICE GRAY: So do I. Where do we find that, Mr Irving? If we do not
find it in the report perhaps you could just quote in its context where one
gets that estimate.
MR IRVING: My Lord, with respect, if the witness agrees that Tauber
attested to 4 million, we are only concerned with the figure.
MR JUSTICE GRAY: He has made the point, which I think is a fair one,
that he wants to see in what context and on what basis that 4 million figure
was arrived at by Tauber.
That is a reasonable thing for him to want to do, and I am simply asking you to
identify where one finds it.
MR IRVING: My Lord, I will have to adjourn that piece of information,
the page number, until after lunch. If it is substantial, we can come back to
it and retake it.
MR JUSTICE GRAY: Can anyone on the Defendants side find that page?
MR RAMPTON: I am sorry?
A: I can point to the page. It is page 178.
MR JUSTICE GRAY: Of your report?
A: 178 of my report, which goes back to Pressac 501. What he
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says is that he came to this figure on the basis of conversations he had
with various prisoners. Yes? If you allow me, I can probably quote the whole
thing. I give the full quotation now from Pressac on page 501: "I imagine
that during the period in which I worked in the crematorium as a member of the
sondercommando a total of about 2 million people were gassed. During my time in
Auschwitz I was able to talk to various prisoners who had worked in the
crematorium and the bunkers before my arrival. They told me that I was not
among the first to do this work and that before I came another 2 million had
already been gassed in bunkers 1 and 2 and crematorium (i). Adding up the total
number of people gassed in Auschwitz amounted to about 4 million".
That is what he says.
MR JUSTICE GRAY: Half of it comes from other people?
A: Half of it comes from other people.
MR IRVING: This information is being taken by Judge Jan Sehn in whom you
repose great trust?
A: Yes. I think that Sehn did a marvellous investigation.
Q: Can you tell us something about these depositions were taken in
communist countries? Would the man sit down with a pencil and paper and retire
to a room and write it all out himself, or would it be summarized by the
lawyers and he would be asked to sign it.
A: I do not know what happened. I already told you
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yesterday. I do not know what happened in that room where Jan Sehn was
interviewing Mr Tauber. I know there were witnesses there because the original
report mentions other people being present. That is all I know.
Q: If I can just leap sideways to the name of Rudolf Hirst, the
kommandant of Auschwitz, is it right that he was interrogated several times at
Nuremberg?
A: Yes, that is right.
Q: And that, as a result of these interrogations, a deposition was taken
or put before him for signature?
A: Yes, that is right.
Q: And you have now read these interrogations, I believe?
A: I have read a copy of the interrogations, yes.
Q: The verbatim interrogation transcripts?
A: Yes. I do not think I have read every one of them but, I have read
them in general.
Q: Have you managed to form an impression there of how the Americans
obtained depositions from their witnesses?
A: Maybe you can lead me on that, because I do not exactly know where
----
Q: Would I be right in saying that, on the basis of the interrogations,
the Americans would draw up a deposition, confront the witness with it, and
say, "Sign here"?
A: I cannot conclude that on the basis of the interrogations I read.
Q: Very well.
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A: Certainly not.
MR JUSTICE GRAY: Mr Irving, have you left Tauber now.
MR IRVING: I believe we have just one more point on Tauber and that is
to look at page 481 of Pressac, where we do have four photographs of Pressac
posing in various costumes, post war photographs taken by the Polish
authorities who obviously regarded him as a star witness.
A: This is Heinrich Tauber?
MR JUSTICE GRAY: You said Pressac.
MR IRVING: My mistake. There are four photographs of him posing in the
camp costume.
MR JUSTICE GRAY: What is the significance of that?
MR IRVING: That he was a star witness, my Lord, of the Polish
prosecution authorities, he was being subjected to what we call now photo ops,
and they were relying on him very heavily, and that no doubt there was a
certain amount of privilege being granted to him by the Polish authorities in
the way that he was cooperating with them.
MR JUSTICE GRAY: So he was making it up to express his gratitude to the
Polish authorities?
MR IRVING: It is not an unknown phenomenon for witnesses to make things
up. Your Lordship will probably recall that, at the end of World War II, the
whole of Europe was in a very, very sorry state. You did not have food
supplies, there were no consumer goods and this was something with which the
people who were in authority, whether they be
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Poles or Russians or Americans or British, were able to barter.
MR JUSTICE GRAY: May I put the general question to Professor van Pelt
which I invited you to ask a little while ago? That is this. Are there aspects
of Tauber's testimony or account which cause you to doubt his plausibility?
A: I think that Tauber is an absolutely amazingly good witness. I find
his powers of observations very precise in general. I do not have any general
reason to doubt his credibility as a witness.
MR IRVING: May I ask a question on that, my Lord?
MR JUSTICE GRAY: Of course, yes. I was only asking the question that
seemed to me to be need to be asked.
MR IRVING: Would your impression be, or would it not, that, at the time
he was being questioned by the Polish authorities for the purpose of providing
this deposition, he was being confronted or furnished with drawings, documents
and so on to help jog his memory. His apparent precision may have come from
this kind of prompting by the Polish authorities.
A: This is possible indeed but let us now just go back for a moment. Let
us assume this happened, Tauber would have been confronted with blueprints
which, sadly to say, for 40 years after the these blueprints came in the public
realm, most people were unable to interpret. These are very technical documents.
These documents are not easy to
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interpret. It is not so that, if the blueprints had been there, and a man
who is not an architect or even, for that matter an historian who teaches in an
architecture school, when they are confronted with that, it is not that they
immediately are able to make up a story which matches point for point
information in the blueprint of a very technical and specialist nature.
Q: But they would know, for example, the difference of left from right,
would they not? If for example they described a staircase being on one side of
the building, or the rutsche, the slide, being on one side of the building when
the drawing showed it on the other or vice verse, if they showed it on the side
that the drawing showed it when in fact it was not built that way?
A: One of the things we have to remember is that Tauber gives a
description of crematorium (ii). It is a general description. However,
sonderkommandos of crematorium (ii) and (iii) had access to both buildings.
Sonderkommandos have testified to the fact that they lived in these buildings
but they shared facilities. So they would be allowed to actually cross that
little path and go over to the other crematorium and back. So we have two
buildings which are mirror images of each other, which left and right are
completely turned upside-down, which both are used by the same people, but
otherwise are identical. So if at a certain movement he gets left or right
wrong.
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I would not at that moment give such incredible evidentiary value to that,
that he is making it up, or that he is totally confused. It is simply that
these buildings were identical except for the left and the right of everything.
Q: In your original book you made one claim about the position of the
rutsche in a building which you then reversed in your report. Is that correct?
A: No, I do not think so.
Q: You stated that it was on one side of the building on the drawings,
and that in fact it was somewhere else.
A: I am happy to consider this and to discuss it with you, but again
show me the passage in the book and show me the passage in the report. I will
deal with it then.
Q: This has all taken rather longer than I had hoped. I am sure his
Lordship is getting impatient and we should move on. Can we move on now to the
witness Pery Broad? Summing up on Tauber, one point, can I get you to make the
following statement? Tauber described the cyanide being poured into the gas
chamber of crematorium No. (ii) through holes in the roof. That is correct?
A: Yes, that is correct.
Q: If (and this is a hypothetical; it is one of Mr Rampton's if's) it
should turn out there were never any such holes in the roof, then Tauber has
lied, has he not?
A: Then he would have lied, yes.
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Q: Thank you. We now move on to Mr Pery Broad.
P-E-R-Y
Broad. This is, of course, a more general eyewitness because he is also
of relevance to Auschwitz rather than Birkenhau, am I right?
A: Most of his testimony on at least gassings relates to Sturmlager. And
he only observed from a distance what was happening in Birkenhau.
Q: Very briefly we are going to deal with Mr Broad. Pery Broad was
employed by the British as an interrogator in a British camp; is that correct?
A: I would wonder if you can be more precise about what
"employs" means in this case before I can say yes or no.
Q: Would it be reasonable -- your Lordship wished to say something, no
-- to say that, in view of his special position within this prison camp, he was
given special favours by the British, whether they be in the form of payment or
accommodation or clothing or food or money?
A: He was an inmate who was used in the inmate administration of the
camp.
Q: Can you tell me what happened at the end to Pery Broad back in the
1960s?
A: Pery Broad was tried in Frankfurt and he ----
Q: As a war criminal?
A: As a war criminal.
Q: Eventually, he was put on trial by the Germans, is that correct?
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A: He was put on trial by the Germans. I think he was convicted to
two years or two-and-a-half years in prison.
Q: Am I right in saying that he was convicted for the war crime of
having participated in shootings at block 11 in Auschwitz?
A: I do not know exactly what the judgment, what were the reasons for
his conviction, what crime he was convicted for and what crime he was not.
Q: In other words, your eyewitness was a murderer who was going at some
time to be prosecuted for war crimes by the Allies, quite rightly, and he had
bought a certain amount of breathing space -- is this not a reasonable
presumption -- by testifying in various cases that the British were bringing in
Northern Germany?
A: Let us go back to the situation in a British internment or in a
prison of war camp in, I think it was, Meklenberg, Northern Germany, very far
away from Auschwitz in May 1945. If Mr Broad had not come forward to say he had
been in Auschwitz, I think nobody would ever have found out because many SS men
at that time were, basically, sitting in allied prison of war camps and were
sitting there until they were released. So, certainly, Mr Broad, if he had not
volunteered the information about Auschwitz, I think would have had anything to
fear at that time because there were in that camp no surviving inmates from
Auschwitz who could have identified him.
P-89
Q: Well, the British had ways of identifying people. We had lists
of names, we had the code breaking intercepts and so on. We knew who was who.
A: Mr Broad was, as far as we know, a Rottenfuhrer. I do not think his
name was very high on the list of people the British were looking for.
Q: The fact remains that he had a guilty conscious because he had
participated in shootings in Auschwitz concentration camp, and eventually he
was put on trial, not by the British, but by the Germans. The British treated
him in some special way, is this correct?
A: He was, he became an interpreter in the camp and then at a certain
moment when he gave his evidence it was recognized that he was a very important
witness.
Q: Yes. He is one of your eyewitnesses for the existence of the pipes on
the roofs, admittedly at a distance, but he described, if I remember his
testimony in the Tesh case correctly, these pipes on the roof being opened and
people pouring stuff in. He described six of them rather than four, is that
correct?
A: Again I think we should look at the material that is in my report,
but I think at least I can say right now that what I remember that in the Tesh
case he refers to a gassing happened in crematorium (i), that the particular
incident you refer to. But again I think we should, before we have a final
conclusion on that, look at the actual evidence
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given in the Tesh case because I thought it was crematorium No. (i) he
was talking about.
Q: Is it known to you that Pery Broad was a Brazilian national?
A: Yes, I know that.
Q: In other words, he was not a German national, he was a Brazilian
national. Was Brazil fighting on the side of the Allies in World War II?
A: I think that ultimately Brazil joined, yes.
Q: And yet he was wearing the uniform of the SS, of an enemy power and
he was committing these crimes in the uniform of an enemy power?
A: I would like to remind the judge that many people in the SS were
actually Vorstattue who had passports from different countries, from countries
other than Germany.
MR JUSTICE GRAY: The significance of the fact he was Brazilian is
escaping me at the moment, but...
MR IRVING: I was about to say, would not the fact that he was a member
of an allied nation fighting in German uniform have put him in precisely the
same category as William Joyce or John Amery, and have exposed him to being put
on trial in Brazil for treason? Was this not another threat that was hanging
over his head at the time he was in captivity?
A: I cannot possibly comment on that.
Q: But you do agree that he was technically committing
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treason by fighting in the uniform of an enemy power?
A: I think that Mr Broad in May 1945 probably had other things on his
mind than that particular issue of if Brazil was going to ask for his
extradition.
Q: Do you use the statement of a witness called Hans Stark as proof of
the gassings?
A: I have the statement in my report, yes.
Q: Yes. In section 9, the Leuchter report of your report -- I am afraid
again I do not know the page number -- you quoted from it and I will quote the
passage that you have used, in your language: "As early as autumn 1941,
gassings were carried out in a room in the small crematorium which had been
prepared for this purpose. The room held 200 to 250 people"?
MR RAMPTON: 514, my Lord.
MR IRVING: Thank you very much. I am indebted. I will begin again.
A: We are talking about Stark now, the Stark testimony?
Q: The testimony of the eyewitness Hans Stark: "As early as autumn
1941" -- this goes more to the question of your treatment of sources
rather than crematorium No. (ii). "As early as autumn 1941 gassings were
carried out in a room in the small crematorium which had been prepared for this
purpose. The room held 200 to 250 people, had a higher than average ceiling, no
windows only a specially insulated door with bolts like those of an airtight
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door." Is that your translation of that document?
A: Yes, this is my translation -- no, this is actually an existing
translation. If we go to the quote, we see it was done by Deborah Burnstone.
Q: Deborah?
A: Burnstone.
Q: Does it also give the original German of the text?
A: No, it is not.
Q: Did you take any trouble to ascertain the original German of that
text?
A: No, I did not.
Q: If I tell that you the word "airtight", the word translated
as "airtight door", in the original German is Luftschutzer, is that
how you would have translated it?
A: An airtight door as a Luftschutzer door?
Q: In the original German of Hans Stark it is "Luftschutzer"
which has been translated ----
A: If you show me the passage, Mr Irving, I am happy to confirm or not
that, indeed, that is the way ----
Q: I am putting one word to you. The original German says not
"airtight door" in English, but "Luftschutzer" in German.
Would you tell the court what "Luftschutzer" translates into in
English?
MR JUSTICE GRAY: "Airtight door", I would have thought?
A: "Luftschutz" in general, "luft" means "air
raid".
Q: Air protection.
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A: Luftschutz ----
Q: "Luftschutz", yes, I see.
MR IRVING: Is an air raid and air raid [German], my Lord? Now, either
inadvertently or deliberately, somebody and you say it is Burnstone has
mistranslated that word from a totally harmless and, in fact, significant
"air raid door" into the rather more sinister "airtight
door"?
A: In the context of quite a sinister description, I would say.
MR JUSTICE GRAY: Mr Irving, look at the context.
MR IRVING: I beg your pardon?
MR JUSTICE GRAY: Look at the context. As I understand it, she actually
said "like those of an airtight door", but this is in the context of
gassings in 1941 and Zyklon-B being poured through holes in the roof.
MR IRVING: My Lord, there are any number of eyewitness statements like
that which are in the report. I am just looking here at the quality of the
translation which is frequently tilted against or tilted in favour of the
Holocaust definition. Your Lordship will remember that I have been trying to
establish the case that these sinister door scattered around the camps at
Auschwitz and Birkenhau were, in fact, provisions for the coming air raids and
the Germans anticipated there were going to be gas attacks as well, as, indeed,
did we, British, with our air raid shelters.
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MR JUSTICE GRAY: I understand the suggestion, but what you cannot
possibly say, Mr Irving, is that Hans Stark is describing an air raid shelter
on the basis of this passage, can you?
MR IRVING: I am concentrating here only on the door, my Lord.
I have no other means of attacking the integrity of Hans Stark as a witness. I
am looking here at the rather slipshod use of the word "airtight
door" when the original is quite clearly referred to as looking just like
an air raid shelter door of which we will be producing photographs to the court
later on.
This is of significance because the Defence rely on a number of photographs of
doors found scattered around the compound of Auschwitz and Birkenhau, and we
will show that these are standard German air raid shelter doors complete with
peep holes.
I think this is the time I would ask your Lordship to look at the little bundle
of five pages of documents I produced this morning.
MR JUSTICE GRAY: Yes, certainly.
MR IRVING: I have not yet handed it to your Lordship. It is here.
MR JUSTICE GRAY: Where are we going to put this? Shall we put it in ----
MR IRVING: J, I think, my Lord.
MR JUSTICE GRAY: --- J?
P-95
MR IRVING: I have started a new numbering system which will go all
the way through with consistent consecutive numbers from now on.
MR JUSTICE GRAY: I gathered that was being done. That is very helpful.
We got as far, I think, as about 14 maybe.
MR IRVING: We started with 00, unfortunately.
MR JUSTICE GRAY: I am only up to 11, so something has gone wrong.
MR IRVING: The 0 now comes after the 11. The one I have given you should
come after 11, my Lord.
MR JUSTICE GRAY: I am going to put it for the time being -- actually it
is 12. Yes?
MR IRVING: (To the witness): These are three or four Germans
documents. They are significant because they refer to trips made from Auschwitz
to Dessau to pick up Zyklon-B, truck loads of Zyklon-B. Are you familiar with
this kind of signal or radio message?
A: Well, I am not familiar with this particular one.
Q: Not with this particular one?
A: I have seen -- I absolutely do not doubt, I do not doubt the -- you
know, the integrity of the thing.
Q: If you will look at page 1 rather than the first one, page 0, if you
look at page 1 as numbered at the bottom, you will see the signal at the bottom
looks rather sinister, does it not? I have translated it on page 2. It is a
message from Berlin to the Kommandant of Auschwitz,
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effectively, giving driving permission. Every time they made a journey by
truck because of the shortage of fuel, they had to have permission from Berlin.
"Permission herewith given for one five tonne truck with trailer to Dessau
and back for the purpose of fetching materials for the Jew resettlement. This
permit is to be handed to the driver to take with him". It is signed
Levehenshal who is at Berlin still at that time. What interpretation would you
put on that message, October 2nd, 1942?
A: That a truck, a five tonne truck, is sent to Dessau to collect
material for the Jews' settlement. Dessau, as we know from other telegrams and
as we know also from the rest of the record, was the location where the
Zyklon-B was being produced in one of the factories. So, the context of what we
know also of the other messages shows that this is most likely a permission to
collect in a five tonne truck Zyklon-B from the original manufacturer.
Q: In fact, more than five tonnes because they are taking a trailer as
well, are they not?
A: With a trailer, yes.
Q: So they are collecting over five tonnes -- it would be a reasonable
assumption, based on this document, that they are collecting over five tonnes
of some material which is probably Zyklon-B cyanide pellets?
A: Yes. I mean, I do not know exactly the weight, but I think that in
the document I have written (of which you
P-97
have a copy) on your suggestion more or less that I have dealt with this
matter about how much the truck would have, most likely would have carried.
Q: It is specified clearly in this report, in this telegram, that it is
for the Jew resettlement, for the Judenumsiedlung?
A: For the Judenumsiedlung, yes.
Q: That makes it even more sinister, does it not?
A: Given the fact what the word "Judenumsiedlung" had come to
mean in 1942, yes, this would be quite a sinister document.
Q: Will you now turn over the page to page 3 which you can take it is a
translation of the upper telegram on page 1?
A: I am sorry?
Q: Page 3 at the foot of -- you have no page 3?
A: I have page 3, but I look at No. 1.
Q: Yes.
A: At No. 1, the upper telegram.
Q: It is a translation of the upper telegram No. 1?
A: Yes, OK.
Q: This is from Gluks(?). Who is Gluks?
A: Gluks is the Chief of the Inspectorate for concentration camps.
Q: He has the rank of something like a Brigadier General, does he not?
A: Yes.
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Q: This again is a driving permit sent to Auschwitz concentration
camp.
A: Yes.
Q: Answering a request: "Permission herewith given for one
automobile", a car, "to go from Auschwitz to Lischmannstadt and back
on September 16th 1942 for the purpose of inspecting the experimental station
for field kitchens for Operation Reinhard. This permit is to be handed to the
driver to take with him"?
A: I think your translation is wrong there, Mr Irving.
Q: Yes. Tell ----
A: The "Dei Feldofen" in this case are "field ovens",
and we know there is quite a documentation, not only eyewitness testimony, but
quite an extensive documentation on this particular trip which was made by
Kommandant Hirst and which also Mr Dejaco and Mr Hoessler, all were included
and they were inspecting actually, they were going to Lischmannstadt to see the
extermination site there, to actually look at the incineration grid, the
incineration installation created by Studattenfuhrer Bloebel as part of Action
1005, to create a way to get rid of corpses which had been buried as a result
of the killings in Chelmo. So this has nothing to do with kitchens, these
Feldofen, but with incineration ovens to burn, to incinerate, corpse.
Q: "Field kitchens" would be "Feldkuchens", would it
not?
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A: That is more likely, yes.
Q: So your submission is that this is a reference to going there to
visit some kind of improvised grating, fire grating, of some kind ----
A: Yes.
Q: --- on a large scale?
A: They are actually -- we have Mr Dejaco, the chief of design in the
Zentrale Bau, he actually made a sketch also of this incineration installation.
It had been developed by Bloebel who was an architect in order to empty the
mass graves which had been created in Chelmo as a result of the gassings there.
Q: Bloebel had the very distasteful task of emptying out the mass graves
and cremating the ----
A: Yes, he had the -- it was called Action 1005. He was going around
sites where mass graves had been reacted in order to take out the corpses and
to incinerate them so they were going to be no traces.
Q: Why would it include the words an "experimental station"
for the ----
A: Because they were just developing the technology to do this.
Q: Does it take much technology to make a fire in the open on a grating?
A: The Germans had not done this before yet. Bloebel was the person who
developed the technology. Until then, the
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Germans had not yet emptied mass graves and incinerated corpses of people
who had been buried for some time. We know that afterwards this, indeed, is
going to happen in Auschwitz within weeks, the same procedure start to be
applied in Auschwitz to all the people who are buried in the field of ashes
next to bunkers 1 and -- bunker 2 in this case.
Q: When I see the word "Versthutzstation", in my knowledge of
German documents, I usually think of a place like Panamunda or Passodena. I do
not think of somebody mucking around with fire grates in a field?
A: I do not follow you, Mr Irving.
Q: The word "Versthutzstation" does not tend to convey what
you suggest in your evidence. That is all that we can usefully derive from
that.
A: I think that maybe even if I have these documents on the trip to
Chelmo. It is very well documented. Apart from that, Dejaco was questioned on
that in detail during his trial, and he confirmed what you probably would call
the very sinister interpretation of all these documents, that, indeed, yes, he
was there present with Bloebel at the incineration site.
Q: And yet he was, of course, acquitted, as we have heard yesterday.
A: He was acquitted of the murder of one inmate who he was alleged to
have drowned at a building site near
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crematorium (ii).
Q: And not charged with any further crimes after that, not recharged on
any other crime?
A: No, he was not, but then we have discussed already the nature of ----
MR JUSTICE GRAY: Mr Irving, may I just ask you, whilst it occurs to me,
who translated "ofen" as "kitchens"?
MR IRVING: I did, my Lord. Normally, "field kitchens" is the
only interpretation of [German - document not provided]. I am willing to be
lectured by Mr Van Pelt on this alternative meaning. He claims he has these
documents which bear out his meaning, translation, of the word, and, of course,
I put the original German to him so that he can correct it if we are wrong.
If I can just finally carry on on that point, if Dejaco was present on this
trip and no consequences flowed from it in the law courts afterwards, can we
draw any conclusions as to the nature of these pits that were being excavated
or not, these mass graves, what the victims had died of or had been killed by?
I am in your hands here because I know nothing. You have seen the documents and
I do not.
A: OK. I have one of the documents right here in my hand, so, I mean, I
could give it to you, I could quote it, I could read, because we have the
report of the trip of 17th September.
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Q: Very well.
A: I do not want to spring this document on you, but since you raised
the issue of the significance of it, it gives actually a description of the
thing.
Q: While you are looking, I can tell my Lord the translation was
actually done at 2 o'clock this morning, so there is an element of stress.
MR JUSTICE GRAY: Yes. Thank you.
A: I think I have not answered the question yet, so maybe could the
question be repeated because I ----
MR JUSTICE GRAY: Shall I repeat it? Can we draw any conclusion as to the
nature of these pits that were being excavated or not, these mass graves, what
the victims had died of or been killed by? In other words, could you tell
whether they had been gassed or whether they had been shot or whatever?
A: These people had gassed in gas vans.
Q: Why do you say that?
A: We know that on the basis of the report created by the Polish
Commission of investigation in 1945, which itself did a forensic excavation at
the site and also took many testimonies on this. These people who were brought
to Chelmo were Jews from the Lischmannstadt ghetto. They started in very late
1941 when Germany was being emptied of Jews. I just want to remind the court,
for example, Berlin was officially Judenreiden in early 1943. When the
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German Jews were transported to the East, one of the places where they
were concentrated was in the Rusch or Lischmannstadt ghetto. In order to make
place for these people who came in, because it was already terribly
overcrowded, Polish Jews from the Lischmannstadt ghetto were in early '42
brought to a little castle near Chelmo. This castle in Chelmo was a place where
they were brought to this castle and then there were gas vans in that compound
and they were actually walked into gas vans. There was a description of the
actual camouflage way in which they were brought in there, and then these gas
vans drove from that castle to a forest which was a couple of miles away. By
the time the gas vans arrived at the forest, all of the people in the back of
these gas vans had died and then they were buried in that forest. So when the
mass graves really had become very large there, because ultimately the Polish
Commission established that around, I think, 180,000 people were killed in that
way at Chelmno, Bloebel was given the task to start removing the corpses.
MR JUSTICE GRAY: That does not appear to me to have much to do with the
message, the radio message, of 15th September 1942.
MR IRVING: We are rather branching out into other fields there?
A: It has a lot to do with that.
P-104
MR JUSTICE GRAY: This is Auschwitz, not Chelmno?
A: No, but the people in Auschwitz at that time, what has happened is
that at bunker 2 at that moment, which had been in operation since early July,
they have been burying the people next to bunker No. 2. In the meantime, there
is the Himmler visit to Auschwitz and, while there is no record of it, it is
quite likely probably that he said this burying of people very close to the
camp, because that is actually quite close to Birkenhau, is going to be an
unhealthy business. So what happens then that immediately -- we are talking
again at about the month of August and September when all these big changes are
taking place in Auschwitz. So, in order to take counsel from the only man who
is actually doing the incineration of buried corpses which is happening in
Chelmno with this Studattenfuhrer Bloebel, the Auschwitz Kommandant, and this
is a very high powered trip, the Kommandant, his adjutant Hoessler, and the
chief designer, who ultimately must make sense of it on a practical,
technological scale, all go for a whole day to Lischmannstadt, and it is not a
small trip. They need to get special permission for that (because one always
needs special permissions for these trips) to basically to see what Bloebel is
doing there. Then we have also another German, we have the original request
from Auschwitz to Glucks, we have the permit now being produced and we have the
final result, a
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report of what happened during that trip.
MR JUSTICE GRAY: So Lischmannstadt is close to Chelmno?
A: Yes, Chelmo -- I mean, Lischmannstadt is a very big city.
Chelmno is just a hamlet.
MR JUSTICE GRAY: That is what I was missing.
MR IRVING: Is it your submission, therefore, that this five tonne truck
load of Zyklon-B which was fetched, I think we agree, the materials, from
Dessau to Auschwitz, what was the five tonne truck of Zyklon-B, what were the
materials to be used for? Just for gassing people?
A: OK, so we finished with this document now on the ----
Q: Well, would you answer my question?
A: I just want to know if I still have to take that into consideration
in the answer or not.
Q: No, you do not, no.
A: OK.
Q: We are back on the trucks going back and forth between Auschwitz and
Dessau.
A: The trucks went back and forth to Dessau. They collected Zyklon-B and
Zyklon-B was used in many different ways in the camp.
Q: But five tonnes seems an awful lot. That is the point I am making.
Over five tonnes?
A: But let us remember, just if we talk -- we do not talk about five
tonnes Zyklon-B because when we ultimately talk about the way Zyklon-B is
shipped, it is shipped in
P-106
containers and then the containers themselves contain earth in which the
Zyklon-B is ----
Q: The largest tin was one kilogram, was it not?
A: The largest tin was one kilogram, one kilogram of Zyklon-B, but the
original invoices from the shipping of the Daigash of Zyklon-B always gives the
brutto weight -- I mean the gross weight of what a tin is and then ultimately
also the net wet of Zyklon included in that.
Q: But the Zyklon is the pellets; it is not just the cyanide?
A: The pellets too, so in order to -- basically, if you get five tonnes
weight of tins with contents, the total weight actually inside of Zyklon, of
hydrogen cyanide, will be less than a tonne and I can give you the exact
figure.
Q: You are saying that is the weight of the tin to be taken into
account?
A: The tin and, of the course, pellets in which the Zyklon has been
taken in, and all that information is available and I can give it to you if you
just give me time to look.
Q: Are you suggesting that Zyklon is another word for hydrogen cyanide?
A: Zyklon is a commercial name for a product ----
Q: For the pellet containing the hydrogen cyanide?
A: Containing the hydrogen cyanide.
Q: You are not trying to make out that Zyklon is the hydrogen cyanide
element in the pellets?
P-107
A: No, it is a commercial name.
Q: So if five tonnes of pellets were picked up, then it is five tonnes
of tins containing Zyklon-B pellets?
A: Yes. The truck is not going to carry more than five tonnes, whatever
it is. So, ultimately, the amount of hydrogen cyanide which actually is carried
by this truck will be closer to because it is more or less, I think 1/5th of
the gross weight of a tin is actually hydrogen cyanide will be closer to a
tonne than five tonnes.
MR JUSTICE GRAY: Mr Irving, are you putting forward a positive case as
to what the materials for the Jew resettlement were if they were not Zyklon-B?
MR IRVING: We are just going to move to document 0, my Lord, the first
document in that next clip.
MR JUSTICE GRAY: So that is going to answer the question, is it?
MR IRVING: Which I hope will go a long way towards answering the
question. This comes from exactly the same kind of source. It is the one which
the Holocaust historians never quote. They frequently quote the other two or
three which are in this clip. This is received in Auschwitz on July 22nd 1942,
again from Berlin: "I herewith give permission for one five tonne truck to
drive from Auschwitz to Dessau and back to fetch gas for the gassing of the
camp to combat the epidemic that has broken out". Now you can read that
document whichever way you
P-108
wish, my Lord. It is quite possible, of course, that the Defence will
submit that this is just camouflage.
MR JUSTICE GRAY: Let us ask Professor van Pelt.
A: Absolutely I do not think it is camouflage. I think that in my book
at a certain moment (and Mr Irving picked it up) I said that in the summer 1942
a lot of Zyklon was being used in the camp, to indeed, basically, how you call
it, fumigate clothing and barracks because there was an epidemic.
Q: We will just remain with this for two or three more minutes, my Lord.
A: But it does not mean it was the exclusive use of Zyklon-B.
Q: Just before the adjournment -- this largely ends that matter -- in
your section 5 called "Confession"s, you have reproduced the
testimony of a man called Muka, who was the adjutant of the Kommandant of
Auschwitz at this time.
A: I do. Shall we turn to the particular page?
Q: These permission slips to dispatch the trucks were frequently signed
by Muka, were they not?
A: Let us go to the page. I am happy, I know what you refer to,
statements made in the Frankfurt trial, but I do not exactly know where it is
right now. Do you have a page number.
Q: Only that it is in (v) "Confessions". My pagination,
unfortunately ----
MR JUSTICE GRAY: I think, as we have not got the reference to
P-109
hand, shall we deal with that at 2 o'clock?
MR IRVING: Until 2 o'clock? Very well, my Lord.
(Luncheon adjournment)
MR IRVING: My Lord, might I ask that you remind those present that we
are not sitting tomorrow in case some people make the mistake and come tomorrow
and do not realize that we are not sitting?
MR JUSTICE GRAY: You are quite right that we are not sitting tomorrow,
but also on Friday, what I would like to do is perhaps start an half an hour
earlier than normal and probably finish earlier than normal as well, so sit at
10 on Friday. Yes.
MR IRVING: From Dessau to Auschwitz, my Lord, but before I go on, can I
remark on something in my translation about field kitchens? Firstly, as your
Lordship is aware, I have never denied the killings in Chelmno and, if those
documents are connected in any way, then I fully accept that and that is a
logical interpretation. Secondly, my wartime German medical dictionary says
"ofen" is a stove. That is a translation for it. So it is not
actually in the form of a grating which would be gussen in German, I believe. So
I think, although I am quite prepared to accept Professor van Pelt's
interpretation of that document, not being aware of the surrounding foliage of
the documents which Professor van Pelt has, this, your Lordship will
appreciate, is rather the position I have
P-110
been in. Some of the documents, I have been aware of the surrounding
document foliage which gives colour to particular translations. I am perfectly
prepared to accept the interpretation of that word in any case. We were looking
at section 5 called "confessions" of your report. You quote the
testimony given in a later trial of the man called Mulka, who was on Hess's
staff, who assigned some of these driving permits. I do not know the page
number.
MR JUSTICE GRAY: Perhaps the defendants can help?
MR RAMPTON: We are going to try.
MR IRVING: These permits were provided to the prosecution in the
so-called Auschwitz Frankfurt trial.
A: I have found the thing, by the way. It is page 320 in my edition.
MR JUSTICE GRAY: 514 I was going to offer, but we will try to look at
320 first.
MR IRVING: These were submitted as evidence in the Frankfurt Auschwitz
trial and Mulka was cross-examined. The presiding judge on this occasion asked
him about these slips: "Accused Mulka, have you signed permissions for
trips to Dessau? (Mulka) I only remember one occasion. A permission was signed
by Glucks and at the left bottom countersigned by me. It concerned a
disinfection means. (Question) Here it reads 'For the resettlement of the
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Jews' -- one of documents which I produced, my Lord -- and 'In
confirmation of the copy Mulka'. You knew what the resettlement of the Jews
meant? (Mulka) Yes, that was known to me. (Q) And what were those materials for
the resettlement of the Jews? (Mulka) (silently) -- I am not sure how one can
do that -- Yes, raw materials. (Q) All right then. That was thus Zyklon-B?
(Mulka) (even more silently) Yes, Zyklon-B".
Of course, that is a rather odd kind of examination by the presiding judge, is
it not, Professor van Pelt? You would have expected, certainly if Mr Justice
Gray had been presiding there, he would have asked the obvious follow up
question, what was it going to be used for? Either it was not asked, or it was
not recorded, or you did not tell us?
A: Now. There are no dots in paragraph. The original page is in the
binder so you can check the original page, if I have quoted the thing as a
whole or if I have left something out, but I can assure you, my Lord, that I
quoted the whole passage. So the third kind of option I would reject out of
hand. I think that probably the problem in this court was that people knew too
well what these words meant and what was implied by the question, and that they
did not find it necessary to be very specific about it. If I had been the
judge, I probably would have asked one more extra question, but the judge
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did not do it.
MR JUSTICE GRAY: In other words, there is some force in Mr Irving's
point? I think you are conceding that?
A: Yes.
MR IRVING: I am not for one moment implying, and I want to make it quite
plain, that Professor van Pelt has omitted any response or any subsequent
question which was material to this issue, but it is a rather odd kind of
examination, that the presiding judge did not say, "And what were these
materials to be used for to your certain knowledge", whereupon Mulka could
either say, "Oh, they were going to be used for fumigation or they were
going to be used for killing human beings". It is a negative piece of
evidence and I will now ask Professor van Pelt, of these five tonnes of
Zyklon-B pellets, or over five tonnes, that were picked up on a trip like this,
in your estimation how much would be used for fumigation purposes? In other
words, for innocent life saving purposes as opposed to homicidal purposes? What
kind of percentage?
A: That is very difficult to say. I have submitted to the court a
document in which I calculate, on the basis of the figures for 1943, the likely
use of Zyklon-B in Auschwitz. This is the supplement to the expert's opinion. I
am happy to go through those figures.
MR RAMPTON: My Lord, part I of the blue file.
A: I am happy to go through those figures because, if you
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want me to be very specific, I can be very specific, and I made quite
detailed calculations. Of course the question depends on how large is the camp
at the time, how many prisoners are there at the time, how many delousing
installations are available in the camp at the time, what kind of transports
are coming in, and so on.
MR IRVING: Let us see if you can talk in round figures. If it was being
used for fumigation purposes, it would be used for two fumigation purposes,
would it not, for fumigating barracks and for fumigating clothing and objects,
shall we say?
A: Yes, you are right.
Q: For that purpose they had a purpose built fumigation chamber in Auschwitz,
the one that we have seen with the blue stains on the outside walls?
A: There are a number of them, in fact. There was one building ----
Q: B W 5?
A: Also in Auschwitz I there was a building with two fumigation rooms
but they were probably used consecutively in Auschwitz. Then there was a
fumigation or delousing facility in Canada I which we discussed yesterday,
where the hair was found and we have a fumigation capability in Zyklon, I am
now talking only about Zyklon, in Birkenhau, in the women's camp.
Q: What other kind of fumigation equipment did they have
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apart from Zyklon? Did they have any other equipment at any time in
Auschwitz and Birkenhau?
A: Do you mean toxic equipment?
Q: Any kind of methods of killing pests.
A: The preferred method, if they could do that, they would really
prefer, was either by hot air or hot steam.
Q: Would not hot steam have a bad effect on textiles?
A: That was one of many of the prisoners, inmates. They complained that
always, when their prisoner clothing had been disinfected, had come back from
the so-called Entwesungsanlage as they were called, indeed they had shrunk
considerably. This is a continuous problem in the history of the camp.
Q: So the entwesungsanlage is a familiar concept to you, then, that German
word? It is disinfestation equipment?
A: Yes.
Q: Is it also familiar to you that, at a relatively late stage in the
war years, the Siemens Company were installing an electrical system of pest
killing based on microwave?
A: Yes, kurzwelle Entlausungsanlage.
Q: The short wave disinfestation equipment?
A: Yes.
Q: This was rather like a microwave cooker for cooking the insects
basically?
A: I do not exactly know the technology but I trust your
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description.
Q: This was basically a high voltage system using a lot of electric
power that was going to be installed in Birkenhau?
A: It was going to be installed but, as far as I know, it actually never
was installed.
Q: It arrived. It was delivered.
A: It was actually meant for Auschwitz I. What happened was that in
Auschwitz I a very large Zyklon-B delousing installation was created at the
aufnahmegebaude which is the reception building for prisoners. There were 19
standard delousing cells, each of 10 cubic metres which uses two hundred
grammes of Zyklon-B, the smallest tin, and as this building was being
completed, the SS decided to change the method of disinfection in those cells,
at least in four of those cells. There were 19 so 15 would remain Zyklon-B, and
four of them would be the Siemens.
Q: What word would they use to describe that kind of room or building?
Would it be a Vergasungsraum or a Vergasungskeller?
A: In general these rooms are called Gaskammer.
Q: They are also called Gaskammer?
A: Yes. In 1944, however, I have to go because in 1944 actually the
language changes. They called them normal Gaskammer, which means on the type
sheets which were produced by the SS and, if you allow me, my Lord, I will
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just make ----
Q: Normal means standard, does it not, in that context?
A: Yes. The SS produced standard designs for concentration camps which
were handed out to people who were building in the field. What happens is that
these sheets were produced in 1941 to give a local concentration camp
kommandant some guidelines of where to start when he was ordered to create a
concentration camp. These designs include two designs for delousing facilities
and in those designs these spaces are called Gaskammer, for example.
Q: Would there be very much talk of these gas chambers amongst the
prisoners, do you think? Would there be a lot of gossip about them?
A: May I complete the answer because we were talking about the name of
the thing? They use Gaskammer. Then in 1944 at a certain moment in Auschwitz
they started to use the cells specially in relationship to the building where
these four cells are being adjusted to the Siemens procedure. They start to
call them normal Gaskammer, which means standard or normal gas chambers. So
then the question is in relationship to what? Is it in relationship to an
abnormal one, which is a homicidal one, which some people have concluded, or is
it in relationship to some other gas chamber?
Q: Professor van Pelt, you are familiar with the fact that the German
world "normal" is not translated as "normal",
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it is translated as "standard"?
A: Standard.
Q: "Normalfilm" is 35 millimetre film, for example.
A: I think the first translation I give was "standard".
Q: In other words, you cannot draw adventurous conclusions from the fact
that they called something a standard gas chamber?
A: I said some people have done that. I did not say I did myself.
Q: Would it not be just a standard piece of equipment delivered by
Degesch or by Tesh who actually manufactured gas chambers for precisely this
purpose and they had standard sizes?
A: You interrupted me. My own conclusion was indeed that "normal
Gaskammer" probably referred to the ten cubic metre standard Degesch gas
chambers.
Q: That has nothing to do with the fact that, because we are calling
this one the normal one, therefore there were abnormal ones somewhere else in
the camp. This was misleading for you to state that, was it not?
MR JUSTICE GRAY: No. He said to the contrary. He does not himself
subscribe to the theory that normal Gaskammer implies an abnormal Gaskammer
where homicidal events took place?
A: If I can just finish this in one sentence, then another word is being
used in Auschwitz at the time. We find it
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on many bills and also documents by Degesh at the time in 1944 which
actually is about the Zyklon-B gas chambers in Auschwitz I, and they used the
word Begasungskammer. This is very unusual, but there are a number of documents
which use the word Begasungskammer.
MR IRVING: The sense of that would be the gassing chamber, would it not?
A: Yes. It is almost like adding gas, like applying gas to, the gas
supplying chamber, maybe that would be a translation.
Q: I agree with that, yes.
MR JUSTICE GRAY: I am sorry, I am interrupting as well.
A: I have finished.
MR JUSTICE GRAY: Is there any significance in the V E R at the beginning
of Vergasungskammer as a German speaker?
A: I am not a German. I am not a native German speaker. Dutch is still
----
Q: You seem fairly familiar with it.
A: I would say no. Vergasung seems to be a transitive verb.
I do not attach any particular significance to the fact that it is used like
that.
MR IRVING: My Lord, I will be putting to your Lordship a number of
documents with the word Vergasung in, which obviously are completely innocent,
in an attempt to persuade your Lordship in that direction.
MR JUSTICE GRAY: Good.
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MR IRVING: Professor van Pelt, have you seen invoices or delivery
notes from the Degesch company relating to supplies of Zyklon-B shipments to
the concentration camps at Auschwitz and at Oranienburg?
A: Yes. I think 12 of these invoices were submitted in the Nuremberg
trials.
Q: The original documents are there, are they not?
A: Yes. I have seen a number. All the invoices are for the same one
amount, except one,, which is a slightly higher amount, so I have seen a copy
of the standard amount and one for the higher amount. I have not seen all the
invoices in the original.
Q: Had you seen these at the time you wrote your book, or just between
writing your book and writing your expert report?
A: No. I have seen these earlier.
Q: Before you wrote your book?
A: Yes.
Q: Yes. Did you do any kind of analysis of those invoices to see the
rate at which these supplies were being delivered to Auschwitz as compared with
Oranienburg?
A: No. The invoices themselves, and I have made a particular comment on
it once you raised the issue in your letter of December, I do not think are
particularly important as evidence one way or another about the use of Zyklon-B
in Auschwitz, because there are actually much better sources
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available to us if one wants to raise that issue, which is the Tesh and
Stabanov accounts of total deliveries of Zyklon B to Auschwitz in 1942 and
1943.
Q: Am I right in saying that the chief accountant of the Tesh company
had a pocket notebook in which he entered all the amounts that he supplied to
Auschwitz and to various other armed force branches and so on on a monthly
basis? He kept this notebook and it was introduced in evidence in that trial?
A: It was introduced as evidence. I think there were also supporting
documents for that.
Q: But am I right in suggesting that these invoices to which I refer,
the delivery notes which were introduced in Nuremberg, the 12 delivery notes,
relating to the supply of Zyklon-B quantities to Auschwitz concentration camp
and to Oranienburg concentration camp, they are relatively random? In other
words, first of all, they are sequentially numbered, and the deliveries are
sequentially numbered?
A: Yes, but ----
Q: They are in sequence so there is nothing missing?
A: Yes, but these particular invoices come with a very particular
history.
Q: Are you implying that there is anything suspect about the integrity
of these documents?
A: No, I do not imply that at all, but I think the way they
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were generated -- these were an appendix. They were handed over together
with an account of how they came in the possession of the man who had it.
Q: We will come to the man to whom they are addressed in a minute.
A: This man gives a record of the background of these particular
invoices which had to do with a particular request which came to him from a
certain Sturmanfuhrer Gunter in Berlin.
Q: Who was Eichmann's assistant, am I correct?
A: Yes.
MR JUSTICE GRAY: Mr Irving, can I ask you for my benefit because
remember this is a completely new point to me.
Can you put what you suggest one gets from the Oranienburg invoices in relation
to the quantity of use of Zyklon-B there?
MR IRVING: It is my very next question, my Lord.
MR JUSTICE GRAY: Good. Thank you.
MR IRVING: Am I right in suggesting that identical quantities, broadly
speaking, of Zyklon-B were delivered to Auschwitz and Oranienburg over the time
covered by those 12 invoices?
A: The invoices talk about identical quantities to Oranienburg and
Auschwitz. But the important question is, is this all the deliveries of
Zyklon-B to Auschwitz? Then we have to go back to actually the origin of these
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documents.
Q: We are looking just at these 12 documents to start with?
A: If we only look at these 12 documents.
Q: Can you remember my question, please, Professor van Pelt, where I
said is it correct to say that the deliveries are numbered in sequence and that
there are no missing numbers?
A: I do not remember, but I will take your word for it.
Q: Thank you very much. Am I right in saying that it has never been
suggested that there were mass homicidal killings by gas chambers in
Oranienburg?
A: No, there were some experimental probably, accounts of experimental
gassings of some Russians in Satzenhausen which was in fact a concentration
camp in Oranienburg, but apart from that ----
MR JUSTICE GRAY: In 1944?
A: 1942.
MR JUSTICE GRAY: We are talking about 1944?
A: I just want to be precise. The general question was posed and I do
not want to say that there was never any Zyklon-B gassing. There are reports of
that in that city.
MR IRVING: Am I correct in saying that these invoices to which you are
referring are from the early months of 1944? My memory says that.
A: Yes.
Q: Can you tell the court to whom these invoices were
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personally addressed?
A: They were addressed to a man named Kurt Gerstein.
Q: G E R S T E I N. What is on the next line of the address, can you
remember, at Auschwitz concentration camp?
A: I have a copy somewhere.
Q: It seems important.
MR JUSTICE GRAY: Berlin?
A: I have it in my report after page 11.
MR IRVING: Your Lordship will remember that Professor Evans said that I
had not the slightest reason for saying that these were going for fumigation
purposes in the camp.
What does the next line read?
A: After his name?
Q: Yes. Does it not say that it is going to the Entwesungsabteilung or
words to that effect?
MR JUSTICE GRAY: Not in my copy.
A: No, it is not in the next line. It is actually in the invoice bit
itself.
MR IRVING: Yes?
A: It says we did send at the 8th March from Dessau with a Wehrmacht Vorbrief,
which means an army kind of transportation voucher, of the jedestatt Verwaltung
Dessau.
Q: Administration?
A: At Dessau to the concentration camp in Auschwitz, the department of
disinfestation and anzeufer is a plague.
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Q: It is tortology, really. They are both the same thing are they
not?
A: No they are not exactly.
Q: Disinfecting and disinfestation?
A: Seuche is an epidemic so anti-epidemic department.
Q: Epidemic control?
A: Epidemic control department, yes.
Q: This was in fact Kurt Gerstein's position, was it not?
A: Not in Auschwitz. He was employed at the Hygienic Institute in
Oranienburg.
Q: Is it not significant that these huge quantities of Zyklon pellets
are being sent to the office in charge of epidemic control at Auschwitz? What use
is made of them subsequently of course is another matter. But this deals with
the system again?
A: What is significant is who will receive Zyklon when it arrives in
Auschwitz. Again, from my witness testimony, we know that it was exactly that
department which controlled all Zyklon in Auschwitz, and ultimately that was
one of the reasons also that doctors always had to be present when Zyklon was
applied one way or the other.
Q: Now that we are with the person of Kurt Gerstein, will you tell the
court if he is one of your eyewitnesses in any respect when you write your
report?
A: No. Kurt Gerstein has made no statement whatsoever about Auschwitz or
the gas chambers of crematoria 1, 2, 3, 4 and
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5.
Q: Have you placed any reliance on Kurt Gerstein in your report?
A: I did not need to place any reliance in my work on Auschwitz since he
has never made any testimony about Auschwitz.
Q: Although he made some very detailed allegations about how many people
were killed in the gas chambers elsewhere, and he gave figures for the
quantities killed in the other gas chambers in the other camps, you are not
prepared to draw conclusions about the general reliability of this kind of
eyewitness?
A: No. I do not think that at the moment the statement you made can be
supported. I think that Kurt Gerstein has made a detailed account of a visit to
Treblinka where he came in the summer of 1942. He made a detailed description
of that.
Q: Professor Vananstiel, that is correct?
A: Professor Vananstiel(?) Later Professor Vananstiel after the war
confirmed that indeed he had been with Kurt Gerstein in Treblinka and confirmed
more or less the account, except where it applies to his own role in this trip,
a number of remarks he would have made while looking through the spy hole into the
gas chamber, but apart from Kurt Gerstein has not made any calculations, as far
as I know, I do not think he even made about Treblinka or
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for that matter he never mentioned Auschwitz in any context of
extermination.
Q: I am only deal with the Gerstein report in the context of reliability
of eyewitness evidence in general. This is the only reason I am going to ask
the next few questions. Did Mr Kurt Gerstein, who was an SS officer, make any
statements about the number of people who were packed into the gas chamber that
he witnessed allegedly?
A: I am not going to comment on that without the document in front of
me.
Q: You have not read the Gerstein report?
A: Of course I have read various editions of the Gerstein report, both
the French and the German, but I am not going to comment on what Kurt Gerstein
may have said or may not have said when I do not have the document in front of
me.
Q: Are you aware that there seven different versions of the Gerstein
report?
A: I know there are various different versions. I did not know it was
seven.
Q: Are you aware that each successive version of the report became more
lurid in French captivity and that the numbers grew larger like Topsy?
A: Mr Irving I do not remember ----
Q: I should have asked how many versions of the report have you read?
A: I have read three versions of the report.
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Q: Did you notice any discrepancy between the figures and the
general scale of the atrocity he was describing?
A: No. The reports are longer and shorter, so I have not compared them
on actual figures. In some reports he includes more information, and in other
reports he has less. I have not made a comparative study of all the reports
together because they do not apply to Auschwitz.
Q: Very well.
MR JUSTICE GRAY: Professor van Pelt, this part of the cross-examination
started off, I think, on the topic of how much Zyklon B went to Auschwitz, how
much of it might have been used for delousing and disinfecting and all the rest
of it, therefore how much was left, if any?
A: Yes.
Q: Can you ----
MR IRVING: I was about to come back on to that main line with certain
specific questions.
MR JUSTICE GRAY: May I get the answer to my question, Mr Irving, first?
A: Can you give me in broad terms an answer, so far as your conclusions
on that question go?
A: OK. May I use the document for that?
Q: Of course. I just thought it was a convenient way short circuiting?
A: There are two years on which we know, on the basis of the testimony
of Alfred Sahen, supported by his notebook but
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also other information available at the trial of distributors. They were
not really distributors, people that allocate Zyklon-B. The amounts of
deliveries of Zyklon-B to Auschwitz, that is 1942 and 1943. On page 22 of my
additional report, one can read that in 1942, seven and a half thousand kilos
were delivered to Auschwitz, and in 1943 12,000 kilos were delivered do
Auschwitz.
MR IRVING: That is 12 tonnes?
A: 12 tonnes were delivered to Auschwitz. I have done a calculation. In
1942 this seven and a half thousand kilos to Auschwitz comes out of 9,000 kilos
to the whole concentration camp system. Again, I do not draw the conclusion but
I want to say the conclusion other people have drawn is that, since Auschwitz
received more than three-quarters of all the Zyklon-B, something like 80 per
cent of the Zyklon-B, this meant of course this could only have been caused by
the use of Zyklon-B as a killing agent and I do not agree such a simple jump.
Q: Can we be quite plain that you do not agree with that?
A: Not simply on the basis that there were seven and a half thousand
kilos going to Zyklon-B, and 1,500 to the rest of the concentration camp
system. I would not jump immediately to the conclusion. I think one has to be
more careful when one comes to conclusions.
Q: Can I ask you one question here? How many satellite camps were
dependant on Auschwitz as their central distribution
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headquarters?
A: In 1943 or 1942?
Q: Shall we say 1944?
A: 1944, 34, but many measures were very small. May I continue to answer
the question his Lordship has asked?
Q: This need not necessarily just have been going to Auschwitz itself,
they would have been possibly shovelling it on to other places that needed it?
A: Yes, but only few of those camps had actually delousing
installations. Most of the delousing for the satellite camps were actually done
back in Auschwitz.
Q: When you delouse a barracks or a barrack room like this room here, do
you need installation or do you just close all the doors and windows and do
what the Americans call tenting?
A: My Lord, I am a little confused right now.
MR JUSTICE GRAY: Yes. Come back to that, Mr Irving. I am getting an
explanation of the total figures that went to Auschwitz. So you do not make the
jump simply from relative quantities?
A: No. I have made the calculation and ultimately what I do is that I am
making the two ways actually to determine what is a normal use for Zyklon-B?
The first is to look at other camps. What would a camp of the same size use
compared to Auschwitz? That is the first exercise I did on pages 25 and 26. For
example, we have information for
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1943 so that is why it is important to look at 1943.
There is Satzenhausen in 1943 at 40,000 inmates, and it almost used 3,000 kilos
of Zyklon-B that year. If Auschwitz would have been the same size as
Satzenhausen because Auschwitz had an average of 60,000 inmates that year, it
would have used four and a half thousand kilo if indeed we could take the
Satzenhausen figure as a point of departure. In fact, Auschwitz uses 12,000.
Then we look at other camps, how much do they get, and we start to basically
priorate population figures.
MR IRVING: These figures are quite meaningless because of course we know
that Auschwitz was at the centre of one of the worst epidemics in history.
A: Not any more in 1943.
MR JUSTICE GRAY: That was summer 1942, was it not?
MR IRVING: There was another epidemic in January 1943?
A: There was a smaller epidemic in January 1943, which was dealt with
rather quickly, and the outbreak of an epidemic in the gypsy camp in the summer
of 1942 almost had no deaths.
Q: The whole point is that you use Zyklon B preemptively.
You do not use it as a mopping up operation. You use it to stop it happening
again.
A: Mostly.
Q: You fumigate barracks again and again and again.
A: Survivors have testified to the fact that these barracks
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were not very often fumigated. I have recently, but I will try to
continue my arguments. But I will just finish this sentence.
MR JUSTICE GRAY: Mr Irving, it would be helpful to me at any rate if he
can complete this answer and then you can of course cross-examine on it.
MR IRVING: I am restraining myself but that was an important point to
make I think.
A: OK. So, my Lord, so at the one side we can look at, kind of, the
figures in other camps, and we then we look at Auschwitz. On page 26, I think
demonstrates that the Auschwitz figure of 12,000 kilos is much higher than you
would expect on the basis of deliveries to other camps if we take the different
sizes into account.
Then the second kind of exercise one can do is to look at the way Zyklon-B
could have been used in Auschwitz. So how much would have used in delousing in
this year? This is, I start to do this on page 27 and it continues. It gets a
very detailed kind of calculation. I start out with -- the question is, where
are the delousing rooms and what is the capacity of these delousing rooms? So
in 1943, the total Zyklon B delousing space was 940 cubic metres. That is from
the bottom of page 27.
Now, then we are going to look of how much, what concentration of hydrogen
cyanide would have been used in
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these rooms, and I refer back to a German war time document by the
[German] which is the Health Institution of the Protectorate of Bohemia and
Moravia in Prague, which instructs that one needs eight grammes of Zyklon-B per
cubic metre for 16 hours to kill vermins, such as bugs, lice, flees, etc..
Now, I assume that these delousing spaces would have, indeed, used that
concentration. It is the only kind of basis I can work on, and that as a result
of that is that if we have one gassing per day in each of these rooms -- now,
this is very unlikely because there were large rooms actually in the Sturmlager
in Auschwitz which eyewitness testimony says were only used irregularly, but
now I am assuming for a moment that these eyewitness are wrong, and that they
were used every day, I come to basically seven-and-a-half kilogrammes of
Zyklon-B per day or 2,730 kilos of Zyklon-B per year if there is a delousing
every day. So I have now in some way accounted at a maximum delousing capacity
in the camp for 2,730 kilos of Zyklon-B.
So now we are going to look at the average size of each barrack which is 12,000
-- and these are the barracks in Birkenhau right now -- 12,000 cubic metres, in
which the barracks in the women's camp are slightly larger and barracks in
building sector 2 are slightly smaller.
They are around 1200. In the women's camp they were
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around 1250 and in Auschwitz they were larger.
So if we take again the same concentration, this would be quite a high
concentration for the delousing of barracks. One needs in Birkenhau six to 10
kilos per barrack, and in Auschwitz one where they are two-storey barracks, 12
to 20 kilos per barrack, which means that the complete delousing of all the 192
dwelling barracks in Birkenhau would take between 1200 and 1900 kilos, and all
the 30 ----
MR IRVING: Each time, right?
A: Each time, and all the 30 dwelling barracks in Auschwitz would take
360 and 600 kilos of Zyklon-B. Then there were also workshop storage barracks,
and they would have taken 240 to 400 kilos, which means that the complete
delousing of the camp (and we are now talking about Auschwitz 1 and Auschwitz
2) would have taken between 1750 and 2,900 kilos.
Now, on the basis of this comparison with these other camps, I had established
that an amount of 9,000 kilos for Zyklon-B for Auschwitz in 1943 would have
been within the kind of range of the possible. It would be the high end, but I
would not have been surprised to see so much.
This means that if we take that 9,000 as a kind of bench mark of what a normal
-- Auschwitz under normal conditions would have used, then we can have at least
two
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complete delousing of all the barracks in the camp in 1943.
Now, I take two eyewitness testimonies which is one from Helen Zipitehau who
was in the women's camp from -- a Slovac Jew -- 1942 until the liberation in
1945. She remembered three our four of these large delousings of the whole
women's camp in her two-and-a-half year stay. Then Dr Ziegsmund Bendel in the
Tesch trial declared that he has only one delousing of the barracks during his
13 month stay in Auschwitz. This is the kind of practical information we have
about how many times. I mean, I do not have any more information on that.
It seems then that the 1750 to 2,000 -- that this let us say two or three,
maybe two delousings in 1943 of the whole camp would still bring us below the
9,000 kilos of Zyklon used after all the gas chambers have been working every
day, the delousing gas chambers, and basically we have had the delousing of the
blocks.
I must make one kind of -- a particular thing must be noted, that if in the
German document sometimes there is talking about the "Entlausung des
Blocks", it means that the people in the block are going to be taken to be
deloused. There is particular things. It says that block 11 was
"entlaust" which means everyone was taken to be BW5A, the delousing
building in the women's camp, or so on.
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This means then when we go to page 29 that I say that 9,000 given these two,
these very infrequent delousings of the whole camp, that those 9,000 kilos of
Zyklon-B which I originally established on the basis of comparison with other
camps seems to be on the high side but within the ball park of what Auschwitz
would have needed for its normal concentration camp purposes.
So then the question is, what are these other 3,000 kilos of Zyklon-B going to
be used for? What other kind of needs did Auschwitz have for Zyklon-B which
were not to be found in other concentration camps?
MR JUSTICE GRAY: That, I think, probably completes your answer. It is a
long answer, but it was very helpful and very clear to me. So back to Mr
Irving.
MR IRVING: My first question is you have, of course, read, have you not,
the testimony and supporting evidence in the trial of Bruno Tesch whose company
was the main distributor East of the Elf for Zyklon-B?
A: I told you before that I have read parts of the trial and part of
testimony. In detail, they are the testimony of Alfred Zamm.
Q: This question is not meant to be the least bit offensive, but you are
not an expert in disinfestation, are you?
A: No, I am not.
Q: The company of Tesch and Stavanacht were, in fact, the leading
disinfestation experts in the whole of Europe
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which is why their Managing Director found himself on the end of a
British rope in 1946?
A: I do not think that is why he found himself on the rope, but they
were the leading firm, yes. They developed the procedure.
Q: The record of the trial shows that both he and his fellow convict, Weinbarer,
repeatedly visited these camps and checked what was going on and trained the
local staff in the proper application and use of these pesticides and
fumigating agents, these materials, is that not right?
A: I remember that in the transcript of what I read that, indeed, there
is a mention of these visits, but I would not comment in detail since I do not
have them in front of me.
Q: Is it not right that during the trial, which is recorded verbatim --
it is in the Public Record Office, in fact -- the accountant of the company was
required to produce the records on which you have partially based your
calculations showing precisely what the deliveries of Zyklon-B to Auschwitz
were during the years concerned for precisely the same exercise that we have been
doing in court today?
A: That exercise has not been done.
Q: In the Tesch trial?
A: At the trial, at the trial they did not do this exercise.
Q: Have you read the letters of clemency that were submitted
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to the court after the death sentences were passed?
A: I have not.
Q: Yes. Well, then we are in a difficulty. Will you take it Bruno Tesch,
the Managing Director, when confronted with the figures of Zyklon-B delivered
to the Auschwitz camp, and doing the calculation of how many sets of clothing
had had to be fumigated on a regular interval, on a regular basis, and how many
barrack buildings had had to be fumigated and disinfested, expressed
astonishment that they managed to do the task with as little as 12 tonnes in
that one year concerned? He said that on these figures they would have had
nothing left whatsoever for any kind of sinister purposes, and that this is
very clearly stated in the trial and in appeals for clemency?
A: I cannot comment on what Mr Tesch said. What I can comment on is the
fact that the amount of Zyklon being delivered to other camps was so much
smaller than Auschwitz that I think this is a more interesting road to pursue.
Q: That was, of course, the point of my interruption which his Lordship
quite properly reproved me for, when I pointed out that Auschwitz was receiving
very large quantities of pesticide for a certain reason which you set out so
admirably in your first book, namely, that Auschwitz had been built in the
middle of an area which had traditionally over the centuries attracted typhus
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plagues, and it was the heart of a terrible typhus plague in 1942?
A: I do remember what is in my book without actually having to consult
it. I never say anywhere in the book that Auschwitz was a place which was
suffering typhus plagues. I only mentioned the issue of climate actually in the
discussion of an introduction of Jan Sehn to his report on Auschwitz where Jan
Sehn makes a very big point of it, and where I say actually I disagree because
Jan Sehn in some way tries to create a context of unhealthiness for the place
as if the Germans had chosen Auschwitz with this in mind. I say this,
obviously, is not supported by historical evidence.
Q: Had Auschwitz ever been used as a disinfestation centre for
transients in previous generations or before the Nazis came? Had they used it
-- it was right on the border of the Austro-Hungarian Empire, was it not?
A: Yes. This is part of my research in the past has been actually on the
origin of the camp, and the Sturmlager was originally created as a labour
exchange.
Q: Yes. It had all the appropriate installations there for fumigating
the transients, did it not?
A: They had no installations whatsoever for the fumigation of
transients.
Q: Not for preparing them in this manner?
A: I mean, one of the big problems was, of course, that
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Zyklon did not exist at the time, at the time that when the camp
functioned there were also no steam installations or hot air installations.
Q: Have I read your book entirely wrongly then when you suggest that the
transients were held in Auschwitz for a while and subjected to appropriate
measures to make sure they were fit for travelling into a cleaner part of
Europe?
A: I have -- I think you are confusing two things. I can see where the
confusion comes from. There is one quote I make a general, in the book, a
general kind of description of the movement of Eastern European Jews who go to
America and who cross the border and at a certain moment are going to be --
their clothing is going to be deloused one way or another. It does not say what
way it is. It is an account of a girl called Mary Anton who panics ----
Q: I remember this, yes?
A: --- at this thing, so that is the one account which is there. The
second account is about the use of ----
Q: Because they are taken off the train and sent in to be washed, am I
right?
A: Yes, and she gets very nervous about that.
Q: She says, "Oh, my God, they are going to gas us"?
A: No, "to kill us", not "gas us"; and those
facilities existed, some of them at the border and also they existed in the
harbours of Bremen and Hamburg.
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Q: When was that? Roughly what year was that?
A: This was 1880s, 1890s.
Q: So it has been a problem over the decades, there has been a problem
in that region?
A: I mean, the German ----
Q: It is a very swampy region, is it?
A: No, I mean, but this was happening all over the East, that people who
were, that Jews, migrants who were leaving the Russian Empire were subjected to
German hygienic measures as they crossed the border or came into the harbours of
Bremen and Hamburg where they were placed in quarantine. There were special
areas of the harbour where these Jews were quarantined. There were these kinds
of installations. However, Auschwitz was slightly different because while
Auschwitz, at the one side, had these transmigrants who went over the border
there, because it was a border town, the camp was not created with that in
mind. The camp was created, the Sturmlager was created to very specifically
house transmigrant workers who all converged on Auschwitz in March and April of
every year looking for seasonal work in Germany. There were only three little
hotels in the town, and the hotels said these people were living on the street,
and there were 10 or 15,000 people living on the street.
So, the Austrian Government decided to create a centre at the border where
these people could be housed
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and where then also German agents for the various employment
opportunities, like the Jungkris(?) in the estates, could come, send people on
and then the most important function there was to actually check if all the
young men had done their military service and were allowed to leave the
country.
Q: And that was Auschwitz, right?
A: That was in Auschwitz.
Q: Yes. Just to round off this topic of the Zyklon consumption figures,
you have done very interesting calculations, and I have to admit they are
admirably done, the calculations. You arrive overall at the end of these very
lengthy and complicated calculations at a probable consumption of nine tonnes?
A: Nine tonnes in the camp in 1943, yes.
Q: As opposed to the 12 tonnes that we know to have been delivered. Is
this a meaningful difference, in your view, in view of the fact that you are
totally inexperienced in pest control?
A: I invite other people to redo the calculations again. I thought that,
as far as an historian, I must say that using the maximum delousing capacity of
the camp and the maximum -- and how much it will take on the basis of German
documents to delouse the whole camp ----
Q: Does it make any allowance for inefficiencies of any measures
anywhere? Does it make your usual engineer's
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allowance for inefficiencies somewhere or mistakes?
A: I think that I have made a very generous assumption in the amount of
Zyklon-B which was being used.
Q: Or for quantities being sent on to the satellite camps? These are
things which you did not -- in my submission, there is no significant
difference statistically over that range of calculations and figures and, given
the uncertainty of the starting points between nine tonnes and 12 tonnes, on
the one hand, is that correct?
A: Nine tonnes can be justified, but it is a very high number because I
am assuming two complete delousings of the camp, of all the buildings in the
camp, per year.
Q: If you had assumed three, of course, you would have come over 12
tonnes, would you not?
A: No, I would come over nine tonnes.
Q: Yes. You said you were just assuming two?
A: Not over 12 tonnes. But at a certain moment the question is how many
delousings of the whole camp were operated.
Q: We just have two eyewitnesses, is this correct, who suggests that --
one of them was one of the eyewitnesses to whom, I have to say, I attach little
credence and the other one I may or may not be correct in saying she only
records three or four, is that correct, in the time ----
A: During her whole time in the camp.
Q: --- during the whole time she was there? But against that, we set the
evidence of Bruno Tesch in his trial, and
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he is the acknowledged leading German expert on disinfestation who says,
having been given the figures, he is astonished that they managed to carry out
the fumigation of all these sets of clothing, given the number of prisoners,
because he knew how many kilograms of Zyklon-B were needed for each 100 sets of
clothing. That is the calculation he did.
MR JUSTICE GRAY: Is that Tesch you are talking about now?
MR IRVING: I am talking about Bruno Tesch, T-E-S-C-H.
MR JUSTICE GRAY: May I ask Professor van Pelt a question about that? The
prosecution against Tesch, presumably, involved the prosecution establishing
that he knew what the Zyklon-B was being supplied to Auschwitz for?
A: Yes.
Q: So he was likely to say that the quantity was the right amount to do
the delousing?
A: The case, the evidence on which Tesch was ultimately convicted was
not the quantity delivered to Auschwitz. It was actually a statement made by
one of his employees who had said that Tesch knew about that what the Zyklon
was being used for.
MR IRVING: He said that he came back and he dictated a travel report on
a trip which had indicated that he knew what was going on?
A: Yes.
Q: This was hotly disputed by other members of Tesch's staff
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who knew the travel reports concerned, but he was hanged on the basis of
that one witness?
A: You know, I do not want to redo the Tesh trial. I mean, it may have
been true that Tesch knew about it or it may not have been true. But the issue
was, the issue at stake in the trial was not the quantity of the deliveries.
Interestingly enough, if you go back to the trial documents, what really made
people very, very upset about it is the profit they got out of the deliveries.
There was constant talk about how many Reichs Marks actually were made out of
his deliveries to Auschwitz.
Q: I appreciate your Lordship's point and, of course, it is absolutely
right, he would have had a motive for trying to minimize it, but against that
is to be set the fact that whereas you and I are, no doubt, astonished to see
nine tonnes of cyanide being delivered to any camp or any place, and you think,
"Well, this can only mean one thing", the drift of my argument has
been it could mean many things and it was by no means out of the ball park when
you are looking at the other uses to which this domestic fumigant was very
properly put.
MR JUSTICE GRAY: Yes, I understand.
MR IRVING: Can I now proceed to a different topic, my Lord?
MR JUSTICE GRAY: Yes, of course.
MR IRVING: We have dealt with the eyewitness in some detail, Professor
van Pelt. I must say I am left unhappy at the
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notion that so far the mass extermination of 500,000 victims in this
building here, krammer No. 2, rests, apparently, on a number of very shaky
eyewitnesses -- I think I have shaken two or three them -- and on certain other
documents that we have not really properly explored.
Can you talk to the court, please, if I say to you what architectural drawings
are there relating to crematorium No. (ii) and, in particular, to the alleged
gas chamber in mortuary No. 1, can you tell the court about which one document
in particular would be the one you would say was something close to a smoking
gun -- if there is such a document, such a blueprint?
MR JUSTICE GRAY: Do you mean Kuhler? Is he included in the question?
MR IRVING: Kuhler we can come to later, my Lord. I am interested in Kuhler,
obviously, because that will bring us back to the holes, and I am going to keep
on driving holes in this case until your Lordship appreciates the significance
of the holes, or their absence. So I want to do that kind of scattered
throughout these two days.
MR JUSTICE GRAY: Yes.
THE WITNESS: So we are talking about blueprints?
MR IRVING: We are talking about drawings, architectural drawings. If
there is anything in any of those drawings which you considered to be very
suspicious?
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A: I have said in my report that the way the materials should be
interpreted is as a convergence of evidence and not in terms of a single
smoking gun. There are in the documents in Auschwitz, of course, documents
which are more difficult to bring into harmony with the thesis that there would
have been no gas chamber, no homicidal gas chamber, in crematorium (ii). For
example, there is a letter, the notorious vergasungs letter, the keller letter
of 29th January 1943; but since I am being asked about blueprints and I will limit
my answer to blueprints, there is not one blueprint which by and in itself is a
smoking gun.
Q: But you have repeatedly talked in radio programmes on the BBC, for
example, the Horizon programme, you said, "We have the blue prints",
have you not? "We have the drawings"? I appreciate ----
A: But we have to -- we have the blueprints as historical evidence and
one can draw conclusions out of the historical evidence.
Q: That is not the way you put it, of course. You were rather more
specific. You said: "We have the drawings of the gas chambers".
A: But it allows us, these drawings allow us to reconstruct the history
of these things, the way these things were constructed, and the history
includes a certain amount the history of the use and the modification of these
buildings as a killing machine.
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Now, there are certain drawings which certainly pop out of the bundle of
drawings which is preserved. For example, a very, very important drawing, but
again only seen in context, would have been the modification of the basement
done by Walter Dejaco in December 1942. But again that drawing by itself does
not say anything. That drawing has to be compared to the drawings that preceded
that drawing.
So, you know, I am happy to go -- the problem is I do not know if everyone has
the drawings -- I am happy to go through a very detailed explication of those
drawings, but given the fact we already have difficulty with Olaire before, I
do not really know to do that because I will have to point at these things
which are not labelled and these are, you know, those blueprints are ----
MR IRVING: We can get the drift of what your arguments are going to be.
I just wanted to establish, though, that when you said these things on this BBC
Horizon programme (of which we have the transcript here) of course, you are not
reading from a script, you are just talking from memory, so to speak? If you
were writing it, you would not have said that?
A: No, there was no script of that. There was no script. I do not
exactly know what I said, so maybe you can read it to the court and I can have
a look at it and, you know,
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I can comment on it.
Q: Yes. But the point I am making is that you are much more careful when
you write than when you speak?
A: There is nothing really in the Horizon programme which at the moment
I feel I would have to take back. I am quite comfortable with what I said in
that programme.
Q: Well, except that you also referred to a document, but I am not on
documents at present in terms which were inappropriate because it turns out
that what you said was not borne out by the document. Do you remember that
document, the one relating to the electric supply not being adequate, and you
reversed the order of killing and cremating?
A: Mr Irving, in that document at a certain moment I transposed the
word, I think, sonderbehantlung(?) and incineration from one to the other.
Q: Yes, these things happen, do they not?
A: But the meaning, the meaning of what I said is exactly the same as
the meaning of the document.
Q: Yes. These things happen. It was not any perverse manipulation of the
evidence in any way; it was just ----
A: Unlike what some people on the web suggest? No, it was no perverse
manipulation.
Q: I have not suggested that, have I ----
A: I do not know if you have suggested it.
Q: --- on my web site, no? That is not the point I am trying
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to make. MR JUSTICE GRAY: If that is not suggested, we can move on, can
we not?
MR IRVING: I am your Lordship appreciates the reason why I put the
question. So what you are saying is there is no one drawing -- we have
established that the eye witness evidence is two legged rather than five
legged. We have now heard that there is no one drawing which supports the
identity of that underground mortuary as being a gas chamber either?
A: No, but we can look now at two or three drawings together and then we
start to look, we start to observe some very weird things and some
modifications made between one drawing and the other drawing which certainly
starts to point out at a use of ----
Q: An unusual use?
A: --- morgue No. 1 which is used which is certainly not suggestive of
either an air raid shelter or that of any other kind of non-genocidal use.
Q: Can you tell us roughly what those discrepancies are on -- shall I
feed clues?
MR RAMPTON: My Lord, I hardly think this is satisfactory. We have the
plans in the folder.
MR IRVING: Indeed, yes.
MR RAMPTON: It is quite a detailed exercise. I have been through it many
times. It may or may not make sense, but
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it is really ridiculous, in my submission, to ask this witness to try to
do it ----
MR JUSTICE GRAY: You mean there is no such -- it is either the whole hog
or nothing?
MR RAMPTON: Yes. You cannot do that from memory.
MR IRVING: I am all for the whole hog in this case. Let us go the whole
hog, but I thought that the Professor was saying it would be rather difficult
to do this exercise in court with things as tricky as detailed drawings.
MR JUSTICE GRAY: Well, he was saying that, but if we have to do it, we
have to do.
MR IRVING: Yes. But if Mr Rampton objects, then by all means let us look
at the individual drawings.
MR JUSTICE GRAY: But let me get this clear, Mr Irving, first: we will go
through the drawings, by all means, but ----
MR IRVING: Well, my Lord, I ----
MR JUSTICE GRAY: --- there is going to be no profit in doing so if, at
the end of the day, you are going to put to Professor van Pelt, "Oh, well,
that is all very well, but it was just a delousing chamber or disinfecting
chamber".
So I do not want to spend a lot of time and in the end for it to be in a sense
purposeless. Do you follow me?
MR IRVING: I agree, but your Lordship has heard the witness say that
there are two or three specific things about the drawings which, when put
together, can only lead to the sinister interpretation. I think I know what he
is
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alluding to.
MR JUSTICE GRAY: Yes, well, I am looking at one, the following page 183
in your report ----
MR IRVING: I do not want to preempt him.
MR JUSTICE GRAY: --- and I suspect that may be one of the ones, with the
small holes along the top and bottom of the side walls.
MR IRVING: If your Lordship feels this is inappropriate that we should
continue on this?
MR JUSTICE GRAY: No, well, I am in the difficulty, Mr Irving, as you
will understand, I do not quite know that I know what the point that is going
to be made is.
MR RAMPTON: My Lord, let me say straight ----
MR RAMPTON: My Lord, may I make an intervention now?
MR JUSTICE GRAY: We had better not all talk at once.
MR RAMPTON: No, I know, but I have foreseen this for sometime. I really
think Mr Irving has to state his position now because otherwise, as your
Lordship has just said, we could spend two hours going through the drawings and
end up with the same conclusion as yesterday in cross-examination, "Yes,
it was a gas chamber, but not for live human beings".
MR JUSTICE GRAY: That is why I said what I said.
MR RAMPTON: If that is all that this examination is going to lead to, Mr
Irving may as well come clean, say, "Yes, I accept it was a gas chamber.
Now, Mr Van Pelt, how do
P-152
you deal with the suggestion that was for gassing corpses and
clothes?"
MR JUSTICE GRAY: Well, I mean, that is the point that I have just put to
you, Mr Irving. Can you tell us what the answer is?
MR IRVING: I appreciate that Mr Rampton would prefer to conduct my
cross-examination for me.
MR JUSTICE GRAY: Just answer my question.
MR IRVING: I will come clean and say precisely what points I am going
for. Professor van Pelt has suggested that, because in one of the drawings
there is a requirement for the vorwarmung or prewarming of the mortuary. This
has a sinister connotation. Am I right, Professor?
A: This is not there was drawing. This is there was letter, so I did not
in any of my discussion, when you asked me about drawings right now, include
that particular document. I said I was specifically talking about drawings.
Q: While we are on that document, can you tell me how important is that
letter and how much reliance would you place on that as being halfway to the
smoking gun?
A: I do not know if I should answer this right now since another
question was posed.
MR JUSTICE GRAY: Is your answer because I am going to go back, that it
is part of the convergent evidence? Is that how you put it?
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A: It is an important part of convergent evidence, yes.
MR JUSTICE GRAY: Let's go back, Mr Irving. I am going to insist that we
get this clear and then we know where we are going.
MR IRVING: May I return to the prewarming later on, my Lord?
MR JUSTICE GRAY: Of course you can return to it later on.
What is your position going to be? Supposing that the evidence satisfies me
that there is reason to believe that this was intended to be there was gas
chamber and not an air raid shelter, is that something you accept or dispute?
MR IRVING: It should be, with respect, my Lord, relatively easy for the
witness to say there are two or three items, as he in fact said, which were to
him, taken in conjunction with each other, adequate evidence that there was a
sinister purpose.
MR JUSTICE GRAY: That is as may be, but I would like an answer to my
question because I think you must come clean as to your position.
MR IRVING: I do not think I am equivocating. My position on this
particular room is that it was never used in there was gas chamber sense, in
the sense described by the eyewitnesses because of course the lack of holes
proves that the eyewitnesses have lied.
MR JUSTICE GRAY: That is getting close to an answer but it is not quite
an answer. Are you accepting it was a gas
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chamber in the sense that it had the facility for gas to be inserted by
whatever means, but contending that humans were never killed by gas in that
chamber?
MR IRVING: Certainly on one occasion it was referred to as a
Vergasungskeller and also referred to as a sonderkeller, a special cellar or
special basement. That I also accept. What I do not accept is that it was going
to be used for the mass killing of human beings by gas. This is a very clear
statement. What I do postulate is that it was also simultaneously being held in
prospect and even converted for use as an underground air raid shelter, being
one of the very few subterranean buildings on the site in the event that mass
attacks in this part of Poland also began, given the proximity of the IG Farben
works.
MR JUSTICE GRAY: I am sure I missed it, but was part of that answer that
yes, you do accept that it was there was gas chamber and that you accept that
it was on occasion used for killing human beings?
MR IRVING: I accepted it was referred to as there was gas chamber, my
Lord, which is not quite the same thing and there are documents ----
MR JUSTICE GRAY: Are you accepting it was in fact there was gas chamber?
MR IRVING: That I have not seen evidence for.
MR JUSTICE GRAY: So you are not accepting that?
MR IRVING: I am not accepting that part of the statement
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because I have not seen any evidence that bears that part of the
statement out. I have seen evidence that it was referred to by the German
authorities as there was Vergasungskeller, there was room for gassing in.
MR JUSTICE GRAY: But you still do not accept that it was in fact there
was gas chamber? Is that the position?
MR IRVING: That is precisely my position, my Lord.
MR JUSTICE GRAY: Then we go through the drawings.
MR IRVING: The drawings, but only in respect to elucidating this point.
You said that you had two or three matters in the drawings which you thought
would bear out this contention?
A: I am just trying to make up my mind how to do this. We are going to
go through there was complex exercise in which I have now to make up my mind
how to work most effectively through this.
MR JUSTICE GRAY: Just think. Do you want to adjourn for five minutes?
MR IRVING: Alternatively, we could come back to this question on Friday,
my Lord, which would give one whole day to look at the drawings and I could
move on to the prewarming question, which is the next one logically. I would
prefer to do that, frankly.
MR JUSTICE GRAY: I think, since we have reached the point of the
drawings and we have just had that exchange, I would slightly prefer to do it
now.
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A: May I ask something? There are some ways this could be helpful
because I am not completely unprepared for this thing. I have two ex students
of mine make on the basis of all the blueprints there was computer model of
crematorium No. (ii). This is only on the basis of the blueprints and whatever
is added is very clear. For example, the only thing which is added are the
Zyklon-B introduction columns which are clearly not in the blueprints, and
there was speculative depiction in one of them of how the hot air system would
have worked. This is all prepared. I have slides of this whole reconstruction
by which we can actually translate the blueprints into something which laymen
in architecture can read. I have them also as pictures that were printed out.
On Friday, with always the blueprint right next to it, I could give there was
complete presentation of this building to show the important things which would
maybe help your Lordship to get quicker into the gist of things. It is
something I am prepared to do. I can do it without it, but it will be more of
there was struggle to do without it.
MR JUSTICE GRAY: Mr Irving, do you have any objection to that being done
as an exercise?
MR RAMPTON: That is what I would have proposed, my Lord. Given what I would
submit is the relative collapse of the eyewitness evidence in relation to this
building ----
P-157
MR JUSTICE GRAY: Just answer the question. Do not worry about the
eyewitness evidence.
MR IRVING: Then the answer is yes I think it would be very fair to
Professor van Pelt.
MR JUSTICE GRAY: We will do that on Friday.
A: In forms of slides or with the pictures?
MR JUSTICE GRAY: Whichever is easier. Mr Irving is happy you should do
it, so you do it in whichever way is the more informative for the court.
A: I would like to do it then in slide form since it is a more public
thing and I can point at things on the screen and it is always clear to what I
am pointing.
MR JUSTICE GRAY: If you are happy with that, Mr Irving?
MR IRVING: Provided it goes strictly to the issues that we have
delineated. The Professor said that there were there was number of points
which, taken in conjunction, substantiate his beliefs and we do not just have a
general cook's tour of the building.
MR JUSTICE GRAY: No. This is designed to show that the blueprints have
pointers within them which suggest the use of that chamber was as there was gas
chamber.
A: Yes.
MR IRVING: That can only be there was useful exercise. So we will leave
the drawings for the moment, Professor, and we will continue just briefly with
the documentary evidence.
MR RAMPTON: My Lord, again, I am puzzled. Mr Irving seems to
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be under the impression that there were only two relevant eyewitness
accounts so far as this witness is concerned.
I am there was bit bothered by that. I could come back to it in re-examination
but I think there may be a misunderstanding -- Mr Irving said it several times
-- between Mr Professor van Pelt and Mr Irving.
MR JUSTICE GRAY: I think Professor van Pelt has identified five camp
officials. I think we all know that there are others.
MR RAMPTON: Yes.
MR IRVING: These are the five principal ones on which he rests his case
as far as the eyewitness are concerned and I do apologise if I gave the
impression that I had only demolished two of them.
MR JUSTICE GRAY: Let us leave the debating points on one side and press
on with the cross-examination croaks.
MR IRVING: Professor van Pelt, prewarming of the mortuary.
You have rightly raised your eyebrows on that and said this surely has there
was sinister purpose. Have I summarized your position correctly?
A: Shall we get the document maybe? It is in the bundle.
Q: Yes.
MR JUSTICE GRAY: K 2.
MR RAMPTON: Yes, tab 4 of K 2.
MR RAMPTON: It is page 39, my Lord, in the handwriting.
MR JUSTICE GRAY: Thank you.
P-159
MR IRVING: This is there was letter from Auschwitz to the Topf
company, is it not?
A: Yes. It is there was letter sent on 6th March 1943, which is a little
over there was week before the building is really taken into use.
Q: Would you like to translate the first paragraph, or shall I? On the
basis of your proposal this agency or this office is in agreement that the
basement No. 1, this is the mortuary No. 1 with the collapsed roof, is that
correct?
A: Yes.
Q: Should be prewarmed with the exhaust air from the spaces of the three
extractor fans. Would that be correct?
A: Yes. Probably it is there was forced draft, yes.
Q: They are going to have some kind of heat exchanger so that they can
take heat from the furnaces in some way?
A: Yes. I can explain very simply what happens is that the ovens are
connected to the chimney -- this was Topf's idea -- in order to get there was
better draft from the ovens to the chimney, they thought to actually -- there
are five ovens and then there is the waste incineration oven which was never
built, to have one ventilator at every two ovens which was going to basically
suck the smoke out of the oven into the chimney to put there was ventilator
there. These ventilators were placed in small rooms. The idea is that of course
there is going to be an
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incredible heat built up in these ventilators because the smoke is very
hot, that you could regenerate, and there were other plans also, that heat.
This particular proposal is to use the heat built up in these little rooms in
which the ventilators are, to bring that back into morgue number 1.
Q: There was lot of the documents in fact do indicate there was desire
to conserve energy, do they not? To extract the energy from the incineration
plant and this kind of thing, use it for boiling water for the showers and so
on? Am I right?
A: Yes. There are there some proposals.
Q: What concerns you about the prewarming? Why should this room not be
prewarmed, the mortuary?
A: What concerns me of course is that one would want to keep the morgue
cool, and that to actually blow hot air into there was morgue does not make
much sense if the space is going to be used as a morgue.
Q: Is this your considered opinion as an architect, or as an historian,
or as an archeologist?
A: As there was person who has common sense.
Q: Bodies are cold, so why bother to warm them? Is that roughly it?
A: This is one of the reasons. You see, the practice in Auschwitz was
that one has these underground gas chambers which are well insulated because
they are covered with
P-161
earth, and that in these spaces there is there was more or less even
temperature, as it was mostly in basements, and you get there was cool
environment in which you store the bodies, and the bodies will not further
deteriorate, or faster than necessary.
MR JUSTICE GRAY: I suppose also one might say what is the point of
warming the room if the people in there are going to be murdered and then they
are going to be burnt?
MR IRVING: My Lord, shortly all will be revealed.
MR JUSTICE GRAY: Let me get the answer first.
A: The reason that this is problematic is that Zyklon-B, sorry hydrogen
cyanide, will evaporate faster the warmer the room is.
MR IRVING: Right.
A: So the killing of people in that room would be faster.
MR IRVING: It is common sense that you would not want to warm a
mortuary?
A: May I add something to this remark? It is not necessary. Even
freezing temperatures you can just spread Zyklon B on the floor of a building
and it will evaporate, but it goes slower. One of the particular elements of
the standard Degesch delousing chamber, the ten cubic metre one, was that they
could also be supplied not necessarily, but could be supplied with there was
particular little heating element which was more or less like there was hair
blow drier, and that the Zyklon-B tin was placed in the kind of
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holder. Then from the outside there was there was tin opener, and then,
as the Zyklon fell, it came down on there was little dish and this hot air was
being blown over that dish. So the evaporation would be faster.
Q: All very interesting, but assuming that the homicidal theory is
correct, you are going to have 2,000 human beings stuffed into this room and,
as we know from the design of the Millennium Dome, human beings heat up spaces.
They does not need heaters, do they?
A: That was the experience in Auschwitz. Throughout the winter of 1942
they were gassing in bunker No. 2 and they did not need any heating.
Q: We are not dealing with that. We are dealing with this particular
bunker at present and the answer is, in other words, if your theory was
correct, they would not need the heating. But that is not the particular path I
am going down.
A: May I comment on this?
Q: Yes of course.
MR JUSTICE GRAY: Briefly.
A: The issue seems to be that we are talking here about making the
process more efficient.
MR IRVING: Speeding it up?
A: Speeding it up.
Q: In and out rapidly?
A: Yes.
P-163
Q: This building was a very expensive building, was it not?
A: Yes, I think the budget around was 280,000/300,000 marks.
Q: It is far more expensive to build underground rooms of any kind, is
it not, than to build the same room above ground?
A: It depends of course what room we are talking about, but you need to
do excavation in general for a building.
Q: It needs special tanking, does it not, and special drainage
provisions and all sorts of special -- it roughly increases the price by four
or five fold to have the same things sunk into the ground. Am I right?
A: Again, it is quite often difficult to build there was room above the
ground than building under the ground, but of course you need to have some
vapour barriers and other things. You need to keep the water out. I presume
that, if one would build that room above the ground without any basement under,
without any normal foundation there, it would probably be cheaper to build it
above the ground.
Q: So the Nazis had some reason for building these two chambers
underground rather than at ground level?
A: The reason that they were built underground is because they were
morgues. You see, the big problem was that, if you built a large crematorium as
crematorium (ii), you get an incredible heat built up in the incineration room.
So one of the things you have to do is to have the morgue at some distance from
that.
Q: And at right angles and so on, yes.
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A: The second thing is that the incinerators are very heavy, which
means you cannot have a basement under the incinerators. So, if you want to
have a morgue and you want to have preferably in a basement because there are
less temperature differences in the basement, it is a more stable temperature
environment, then of course you build them underground and not under the
incineration room. It is the reason that these two morgues jut out from the
building.
Q: Hold it there for a moment, Professor. The building was built to the
best building specifications. Because they were the SS, they were not able to
wangle their way round the local building inspector, were they? They had to
comply with the local building regulations?
A: For crematorium (ii), which was designed in 41 and it was designed in
Berlin, it was there was design which ultimately came down to Auschwitz.
Crematorium (ii) in relationship to the major elements of there was morgue did
follow the rules.
Q: They would not be allowed to start this building up. They would not
be allowed to operate it for whatever purpose it was operated unless it had
passed all the regulations, unless it complied with all the regulations. Even
though they were the SS, and this was Auschwitz, and this was wartime, they
still had to go by the book. They still had to comply with the red tape..
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A: They went by the book. One of the things is that one always can
get exemptions, like in any planning regulation you can always have a variance
to the particular code but you have to apply for it.
Q: Professor van Pelt, we are talking about going by the book. Is this
the book that they would have gone by?
A: This is not a building code of Germany, but this is there was design
guideline which was available in the office, except in an earlier edition. This
is the 1944 edition.
Q: There is book called Neufert, which is still the standard German
building code, is it not?
A: It is not there was building code. It is a guideline to architects of
how to design, which means that, if you start a project and you want to know
how large a minimum kitchen must be in which two people can still pass each
other, you find the dimensions there.
Q: It is very useful indeed and it is going to be useful for the rest
for the rest of the afternoon because, if we look in this guideline book as you
call it to see what the architects at Auschwitz were being told was the correct
way to design, that answers quite there was lot of the questions that have
arisen, does it not?
A: There is going to be something of there was problem because again,
first of all, we are dealing with general guidelines and the general guidelines
in Neufert only deal with there was civilian crematorium to be built in there
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was city and it does not deal with there was crematorium designed either
for specific circumstances outside the civilian context.
Q: But the basic principles of design are going to be same, are they
not?
A: On some elements they will and on some elements they will not. There
are some things which you need in a civilian crematorium which you will not
need in one which ultimately is going to be built and which will not be ruled
by the building code.
Q: But most people who went into SS uniform and worked in these offices
were architects or engineers in civil life like Kammler. He was an engineer and
they just happened to be wearing SS uniform. They knew what the rules were and
they knew the codes.
A: I object to your use of the words, the rules and the codes. Neufert
is not the code. Neufert is a general guideline created by one architect to
help other architects to get going on the job.
Q: Will you tell the court if there was a copy of Neufert in the SS
construction office at Auschwitz?
A: There was a copy of Neufert in the SS construction office.
Q: Why did they have that if they did not feel that it was a good idea
to follow what Neufert's guidelines were?
A: Neufert has a lot of very useful information. I am very happy to go
with you through the diagram which Neufert
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provides for the civilian crematorium.
Q: It is not the diagrams I am looking at. Would you turn to page 271 of
your copy of Neufert, if you have it there?
A: Yes. I do not know if the judge has a copy?
MR JUSTICE GRAY: No, I do not.
MR IRVING: I will translate it or Professor van Pelt can translate the
appropriate paragraph if your Lordship permits. Does your Lordship consider it
to be a useful line?
MR JUSTICE GRAY: I do not know what the points that you are going to
make are.
A: 271.
MR IRVING: Your Lordship will remember we are dealing with the question
whether the warming of a mortuary was appropriate or not, which I have to
confess I, with all my common sense, would have thought completely absurd. If
you look at the part where it comes to friedhurf und crematorium, that is the
right hand page, which means crematoria and graveyards.
A: Graveyards and crematoria. You make the same mistake now as I made in
the horizon movie, Mr Irving.
Q: The third paragraph down begins (German spoken - document not
provided).
A: Yes.
Q: The temperature in the mortuary to be above or equal to two degrees
and below or equal to 12 degrees, never under,
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because frost causes the corpses to expand and burst.
A: Yes.
Q: Then it continues to talk about using the ----
A: Let us go to the next sentence.
Q: -- central heating?
A: Let us go to the next sentence now because the next sentence is also
important. (German spoken - document not provided) which means ----
Q: Central heating?
A: Not the central heating.
Q: Central heating and cooling, air conditioning?
A: And air conditioning, yes. This temperature must be kept ----
Q: Above all in summer.
A: -- must be kept steady with constant ventilation, especially in the
summer.
Q: We are not concerned with summer here. We are talking about Poland, which
gets notoriously cold in the winter.
A: The point which is here is that the next sentence says there should
be at a certain moment in this case some heating and cooling installation in
this building, yes.
Q: Yes.
A: I will leave it to you. You will spring another trap on me right now
and then I will try to answer it.
Q: No. This is not a trap. We are trying to educate the court. I have to
admit that I have learned a lot out of
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Neufert as I went along as well. But I think I have made the point that
the provision of heating in a mortuary is a requirement, at least by the
guidelines which were standard in all German architects' offices at that time,
and no special significance can be read into the fact that they were trying to
it in a cost effective way by using heat from the incinerators.
A: If that were to be the case, the heating installation would have been
included in the original design of the crematorium. It is not. What actually it
says here is why, why do you want to be able to keep the temperature of the
morgue in that range of 2 to 12 degrees? It is because the corpses still have
to be viewed by the people who are basically the family members. If we look at
the diagram, I am very sorry, my Lord. I have a diagram and you do not, but
there is actually a diagram which shows that there is a Leichenshauraum, which
means a room to show or to look at the corpse. So this is a very usual thing in
a crematorium. The body is stored. It happened to us very recently in my
family. You go and before the final cremation you still have an opportunity to
look at the corpse. You do not want to look at the corpse where ultimately
frost has destroyed the corpse. This is the purpose for that particular thing.
It has nothing to do with the mechanics or the physics of incineration. It has
to do with a certain sense of decorum.
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Q: The fact remains, does it not, that the guidelines say
mortuaries have to be warmed and they are going to have the local building
inspector from Kattowitz or Cracow coming round and he is going to say, ' Oy,
you have not got heating in here, cannot switch on until you have the heating
fixed"?
A: The fact of the matter, my Lord, is that these are merely guidelines.
If the guidelines in Neufert had been followed by the Auschwitz central building
office, they would have included the heating for the heating system and also
probably the cooling system for the morgue from the beginning in the design.
This has not been done. For a year and a half this design has been developed
without any ability whatsoever to bring any heat in that morgue so it is
absolutely, I think, nonsense to suggest that, with this Neufert in mind, the
Auschwitz architects were designing their morgues.
MR JUSTICE GRAY: By March 1943 how far advanced was the construction of
crematoria (ii) and (iii)?
A: The building was finished and the design started in October 1941.
MR IRVING: They could not switch it on because they had not made
provision for the heating at this point.
A: They had forgotten it, but the inspector in Kattowitz obviously had
also overlooked this one issue.
Q: But the burden of the letter of course says this is a very
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cost effective way of doing the heating. It is not saying you have
forgotten the heating, it is saying let's do it by this way because that is
going to save the Reich money or fuel or whatever.
A: Please, Mr Irving, show me any other letter. I have never seen one. I
am under oath, I understand, here. I have never seen any other letter talking
about bringing any heating, any hot air, or any other means of heating into the
morgue.
Q: But fact remains that mortuaries have to be warmed, so our common
sense for once is wrong. The audience is wrong in this particular question. The
book gets it right. The book says it has to be kept in a range of temperatures
between 2 degrees and 12 degrees, either by heating or by cooling.
MR JUSTICE GRAY: What about crematoria 4 and 5? Was there any heating
provided for that?
A: There were stoves in crematoria 4 and 5.
Q: That was how they heated them?
A: Yes, no cooling installation.
MR IRVING: Would you now turn to page 255, please? We have now left the
heating element.
A: Sorry, my Lord, I would like to come back to this answer because I
have made a mistake. The "them" you refer to were probably morgues. I
refer to the gas chambers of crematoria 4 and 5.
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MR JUSTICE GRAY: I was referring to the morgues or the mortuaries,
yes. Did they have any heating?
A: There was a mortuary in crematoria 4 and 5 and they did not have any
heating.
MR IRVING: Will you now turn to page 255 of the architects guidelines?
A: Yes.
Q: This shows halfway down on the right things that are needed for air
raid shelters. Does this show a door opening outwards? Can you see the metal
gas tight door with the typical heavy handles?
A: Can you refer me to the particular passage?
Q: Page 255, on the page called Luftshutz air raid protection ARP, and
it has various sketched layouts of air raid shelters and various air raid
protection installations. I am sorry, my Lord, I should have provided you with
a copy.
MR JUSTICE GRAY: I am following.
MR IRVING: Do you agree that that shows a steel door or a door of some
heavy substance designed to open outwards with handles on the outside?
A: I do not see any steel door. That is the problem. Oh there is a door.
Q: Yes. Two of them?
A: Yes. That is one.
Q: (German spoken - document not provided) 4104. They
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actually had a German standard, the equivalent of British standard, what
a standard gas tight door looked like. I will make an enlargement of this and
provide it to your Lordship because it is exactly like the doors that I believe
the other side will produce pictures of.
A: OK. It is unclear to see what is in and out in this drawing. To be
very honest, if this door is hung on the inside -- again it is a very technical
matter and I am uncomfortable discussing this without you actually seeing the
picture.
MR RAMPTON: I am also a bit uncomfortable trying to follow a
cross-examination when I do not have the document.
MR JUSTICE GRAY: I know, but let us try and do the best we can?
A: Shall I draw what actually the picture shows and then I think we have
a very quick answer.
MR JUSTICE GRAY: You are saying that the drawing is equivocal about
whether it opens inwards or outwards?
A: No. It shows that this door actually turns towards the inside and
there is a very easy way to substantiate that.
MR IRVING: Do you wish to explain why.
MR JUSTICE GRAY: Yes. If you want to, yes, do.
A: The door is on the inside of the wall, so there is a wall and the
question is where would the door be hung. I am trying to think this through.
MR JUSTICE GRAY: I cannot see that that would affect which way
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it opened, but maybe I am missing something.
A: May I draw it?
MR JUSTICE GRAY: Yes, of course.
A: I have in my bag a lot of air raid shelter designs in Auschwitz. So
there is a wall right here. There is a wall right there, and then the door is
hung sitting right here, and the door is like that. The implication of course
is that the door opens like that.
MR IRVING: It is not going to open any other way.
A: No.
Q: It is going to come up against----
A: I just want to say that I am talking here, just trying to think out
loud. I do not have anything more right now about it.
MR JUSTICE GRAY: I think I know what you are going to say next.
A: I have not seen this door and I have not inspected this particular
shelter, but if indeed the door is fastened right here and right there, it
would make sense to me to think that, if the hinges are right there, the hinges
would be on the inside, not on the outside because, if they are on the outside,
it would be easy to blast them off. That is all I can say right now if you want
to determine what is inside and outside. I do not want to make any more
specific statements on this. But we can look at documentation on doors and air
raid shelter design
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in Auschwitz and I am happy to do that to the court.
MR IRVING: That is the actual copy. I have marked it with an arrow, my
Lord. You will see the door rests on rims on the outside of the wall.
MR JUSTICE GRAY: Yes, I see.
MR IRVING: I did alert the defence to the fact that I was going to take
an interest in Neufert and I enquired whether Professor van Pelt had a copy of
Neufert. I am sorry, I did not alert them to the specific matters that I was going
to raise. Finally, is there anything further you wish to say on the subject?
A: No. I think it is very difficult to come to any conclusion right now
on the basis of that drawing.
Q: But common sense suggests that, if you have 4,000 pound bombs blasting
outside a building, you do not want a door that is going to come flying open
into your face?
A: I do not know. It is common sense that you do not want, if a building
collapses and collapses over the air raid shelter, you do not want all the
brick and rubble to be right in front of the door so you can never open the
door. So you are inside there without able to leave.
Q: Can I now in general ask you by what means the corpses were taken out
of the gas chamber upstairs to the level where the furnaces were?
A: In crematorium (ii)?
Q: In crematorium (ii) I am only interested in crematorium
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(ii).
A: I just have to redirect my mind.
Q: I am only interested in crematorium (ii) because that is where you
said this was where the 500,000 people were killed. You called this the centre
of the atrocity.
A: They were brought up by elevator.
Q: They were carried up by elevator. It is difficult to say where it
was, I suppose, is it not?
A: No it is actually quite easy. The elevator is right here. Actually
the pit is still there.
Q: The pit is still there? Do you know anything about the dimensions of
the elevator shaft?
A: It would be a little over, I would say, 2 metres 30, one side, maybe
1 metre 40, 50 in the other.
Q: In our language how many feet is that? Six or seven feet?
A: Yes, eight feet by five feet, something like that.
Q: Yes. Well 2 metres 30 is six feet, about seven feet.
A: We can check it on the blueprints, so why do we not do that?
Q: This is quite an important point, my Lord. This is the bottleneck. We
are looking at the bottleneck now.
A: We have actually the dimensions 2 metres 70 by 1 metre 43, so 2
metres 70. In the blueprints this is document 3B, tab 1, of the documents, it
says in the enlargement to the right. So 143 would be 4 feet, 4 feet 10 inches
and 2 metres 70 would be ----
P-177
Q: Eight feet?
A: No, it would be 9 feet, 30 centimetres per foot.
Q: So, what, it is about as big as one of these table tops, is it, the
shaft?
A: No, 9 feet is longer than this table, and certainly it is much wider.
This is less than a metre.
Q: I am just trying to get an idea. Of course, that is not the area of
the floor space in elevator itself, is it?
A: The elevator, we can go back to the blueprint.
Q: Yes.
A: It says -- the dimension is taken, the width is taken on the basis of
the actual width of the platform. In the length I have to admit, at least in
the design, the actual platform would have been slightly less than 2 metres 70.
Q: Because of course you have got to have room for the counter weight to
go up and down?
A: No, the counter weight, there is a space for the counter weight right
-- it is spared out to the side towards morgue No. 1.
Q: Although it is not in any of these designs, in the Neufert designs
the counter weight comes down inside the shaft?
A: Are we referring to the plans of the crematorium or to Neufert?
Q: You are saying there was an extra shaft to the counter weight?
A: There is quite a substantial space, I would say probably
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one foot and a half, at the side of the platforms through which the
counter weight could go.
Q: Very well. So what was put into this? It was like a hospital lift,
was it, in which bodies put or how would it normally be designed if this
operating as a mortuary, what kind of insulation? Would a gurney or stretcher be
wheeled in there carrying the bodies if it was a normal mortuary?
A: I have no idea how lifts in normal mortuaries are. The information
says "auf Zug", I presume that in this case this was designed for
this building. This building obviously deals with mass mortality one way or
another. So I think it is very unlikely that a gurney would have been wheeled
into this thing, because I would not know why you would bring out a gurney into
this morgue, and then load it on a gurney, put the gurney in the elevator and
then immediately burn the body upstairs in a mass incineration facility.
Q: First of all, we will start with the normal mortuary design because
this was presumably a standard mortuary design which has been adapted for
special conditions?
A: No, Mr Irving, this is standard mortuary design. This is a rather
unique mortuary design, probably unique in the world, in the history, no, it is
not a standard.
Q: But it was designed as a mortuary?
A: Sorry, I stated it wrongly. You said "mortuary"
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I meant ----
Q: The entire building was ----
A: --- crematorium.
Q: --- was originally designed for the purpose of acting as a joint
mortuary crematorium?
A: But this crematorium was of a size and a capacity which has
absolutely no precedent at all, or for that matter has never been followed by a
crematorium of this size ever.
There is no civilian crematorium at all of this size. The largest civilian
crematorium so far as I know had three single muffle ovens and never had
something like 15 muffle ovens.
Q: Was that in wartime or in peacetime?
A: In Germany people built in peacetime and destroy in wartime. It is
very unusual to build these kind of buildings in wartime.
Q: Yes. You appreciate, do you not, that that lift shaft was the
bottleneck through which all the victims of the Holocaust had to go, if we
follow the standard version?
A: I think most of the victims in the Holocaust died outside Auschwitz.
So at least ----
Q: These 500,000 you talk about?
A: --- these people who went through that lift, that would have been a
bottleneck between gassing and incineration.
Q: I appreciate your earlier point. Of course far more people died than
those 500,000 and I have never challenged
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that point, let there be no doubt about that. We are looking at this
building where, as you yourself said, more people died in this gas chamber than
in any in other place on earth?
A: But bottleneck, of course, the bottleneck of course -- if there is
going to be a bottleneck, let us say this door is going to be a bottleneck, a
real serious bottleneck, if somebody screams "fire" in this room and
we all try to get out as quickly as possible and some do not notice there is
another room, another exit which says "fire exit" there, but if
people file out, as they do at the end of these sessions, in a relatively
orderly fashion, this is not a bottleneck.
Q: If everyone here is dead, then they have a problem, then things slow
down?
A: But the question is, the issue is, is it a bottleneck, also has to be
considered in relationship to how long it will take to incinerate those bodies.
So if at a certain moment it would take, let us say, 20 hours to incinerate the
bodies of the people who have been gassed in the morgue, you have 20 hours to
move the bodies upstairs. So then question is over that time would there be a
bottleneck, yes or no, because the incineration room upstairs cannot also take
all the 1500 bodies, whatever number of people were gassed downstairs. So only
if you want to get all the bodies up simultaneously is this going
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to be a serious bottleneck.
Q: So they used the mortuary, however the people died, for the time
being as a mortuary then?
A: I mean corpses were removed in small batches from the mortuary to the
incineration room to feed the incinerators.
Q: Yes. Can we get some idea of the speed of the operation, because your
eyewitnesses differ, do they not, as to how frequently this procedure was
repeated?
A: Which procedure?
Q: The liquidation procedure, people being rammed into the gas chamber
2,000 at a time. We are looking at figures basically here. We not concerned
with the "if". We are looking at how many.
A: Again I am happy to discuss these testimonies when I have them in
front of me. I thought we were talking about the elevator right now.
Q: We are talking about the elevator. If the people are being rammed in
at one time into the gas chamber and they are being liquidated and then they
are being taken out through that one exit, up that relatively small lift shaft,
this is the bottleneck which is going to be like the bottleneck in an hour
glass. You cannot speed up the process?
A: But the bottleneck in an hour glass is only a bottleneck if you want
all the sand to go down simultaneously. If
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you want the sand to go down in an hour it is not a bottleneck.
Q: But it is a controlling factor on the speed of the whole liquidation
programme, is it not?
A: But there are much more important factors like the speed of
incineration in the ovens.
Q: You say it is more important, but let us look at the elevator. To
make it absolutely plain, there was no other way of bringing the bodies from
downstairs up to the furnace stage level?
A: There is another way. You could take the stairs, but that would have
been very, very ----
Q: But that was not used?
A: --- it would be very inefficient and awkward.
Q: Yes.
A: My Lord, I presume that a question is coming.
MR JUSTICE GRAY: I am presuming. I am waiting for it.
MR IRVING: Yes. What do we know about the carrying capacity of that
elevator?
A: There is a document for that. The elevator, this document in March
for that, I think it is March 1943, they carried the original one which was
installed for 750 kilos.
Q: 750 kilos.
A: They immediately asked to increase the carrying capacity of that
elevator by providing extra cables to 1500 kilos.
Q: What do we know about the provision of the motors for
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those elevators?
A: Again I do not want to talk about that right now. I do not have the
document. But I do know, because I actually looked it up this morning, that
they were adapting that particular -- it was a temporary elevator -- to a
weight, to a carrying load of 1500 kilos. So I presume if they do that, that
indeed there is a motor which will be able to hoist 1500 kilos.
Q: This was made by Daemarg, I believe, the company?
A: Yes.
Q: The provisional one. Why was there a provisional one installed,
because the final ones were not ready?
A: Because the SS, despite whatever they were doing in Auschwitz, were
unable to get an elevator in early 1943.
Q: They could not get the priority.
MR JUSTICE GRAY: Anyway, carrying a load of 1500 kilos, that would be
how many corpses?
A: An average one 60 kilos. It seems a little high, by that would be --
the theoretical carrying capacity would be, let us say, 20 corpses, so that
would be 20, 25 corpses.
MR IRVING: The same question of course is how many people you can pack
into a telephone box, but packing them in takes time. It would be difficult to
envisage having a working lift system with people piled four or five or six or
seven high, because quite simply the doors would not close?
A: There were no doors.
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Q: There were no doors?
A: No. It was simply a platform which went up and down.
Q: That would be even worse then. The bodies would presumably get jammed
against the side of the lift shaft if they piled them too high. I am just
looking at practicalities here, that although technically the final version of
the lift, and I emphasise that, was going to have the 1500 kilogram capacity,
in theory, when was that lift actually installed?
A: The 750 kilograms was installed by the time the building was finished
and immediately they asked to double the capacity the oven.
Q: And the 1500 one was not of course installed at this time?
A: It was not immediately, but they asked immediately for the increase
in the carrying capacity. So obviously they wanted, whatever they were bringing
up from the morgue, they probably wanted, they felt they needed more capacity
for this lift.
Q: Yes. It was not in fact installed until the end of 1943, the bigger
the one?
A: The final one, no. This is only a modification to add extra cables.
This is not the final elevator which is put in when finally the factory gets
around to deliver them.
Q: Is it not odd that once again the question arises here, that here is
one of the most important killing centres in
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the Third Reich and they just cannot get the stuff, they are not getting
the priorities?
MR JUSTICE GRAY: Shall we stick to one point at a time? You are on
whether this was a bottleneck.
MR IRVING: Can we now look at how long it took to make one round trip
and load up? Have you any estimate of how many minutes or seconds it would
take?
A: To load up how many corpses?
Q: Well, this is the question. You have told us that it would take a
large number of corpses, but I find this hard to believe if they had no doors
and walls on this lift; it was just a platform going up and down?
A: I think there are too many variables right now to stand here in
court. I am happy to sit down and, like the Zyklon-B, spend a couple of days
considering this question.
Q: I am not asking you to do that. I am just asking you to do a
back-of-an-envelope calculation which will help us to form some idea of how
long it would take to raise 2,000 bodies from this underground morgue to the
furnace level, bring them in, stack them on, raise them up, unload them at the
top level, bring the thing down empty again and repeat the cycle?
A: I do not do a back-of-the-envelope and I would just want to do it as
I am thinking out loud and nothing more. Let us say that it would take three to
four minutes to load
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this platform, that it takes another minute ----
Q: With how many? With how many bodies?
A: Let us 10 bodies, 15 bodies, three to four minutes. Let me just make
a note of it as I am going on. Then let us say it takes one minute and that is
a long time for this platform to go up one storey.
Q: No, because if it is a freight elevator in fact it takes twice as
long. We know that from Neufert, do we not?
A: But we are talking one storey and we talk about a minute and a minute
is a very long time.
Q: A freight elevator does go slower than a passenger elevator?
A: Yes, but we still talk about ----
MR JUSTICE GRAY: Come on much, not much turns on that, does it? We must
keep an eye on realities.
A: We talk about 2 metres 50. We talk about 8 feet going up. Let us say
it is another three, and I am very, very generous, you know, three, whatever,
two, I mean less, one minute to unload the thing.
MR IRVING: One minute to unload ten bodies?
A: Yes. A minute is a long time.
Q: That is being very generous. I would suggest that the round trip,
loading and unloading, would take about ten minutes each time?
A: Ten minutes. So?
Q: Then we have 2,000 bodies to process in this manner.
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A: So in your calculation we have, and I am slightly disgusted
right now by the thing I have to do, but ----
Q: These are very rough calculations, but I am suggesting that we have a
serious bottleneck which indicates that the figures that talk about have been
inflated. I am only looking here at the figures. I am not looking at whether
this happened or not.
A: It is going a little fast for me, my Lord, right now. I am happy to
come back to this on Friday.
MR JUSTICE GRAY: If you prefer to, as it is a new point to you.
A: I am just trying to calculate in my head on the 10-minute basis, and,
let us say we, what did we say, 10, 15 corpses on the thing, it would mean that
in 10 minutes you get ----
Q: 10 to 15.
A: It is one ----
MR IRVING: My Lord, I think it would be useful if he was to return to
this after he has had time to do a calculation.
MR JUSTICE GRAY: If you prefer.
A: Yes, I would prefer to do that, because I think it seems to be a very
important point.
MR IRVING: It is a useful exercise. It is bottleneck in the operation
which does give us a chance of arriving at some kind of concrete results.
A: I would of course be quite pleased if somebody who knows,
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if we got some more specific data about, you know, how long it would take
for this elevator to come up, because obviously if we are 50 per cent wrong,
then we suddenly have the bottleneck and there cease to be a bottleneck or not.
Q: Just as in the calculation you made earlier on the Zyklon use?
A: I took a very generous, very generous I think amounts for delousing.
Q: We have those figures and I will supply them to you within the next
24 hours, the actual carrying capacity of the lifts, the various models, the
size and so on and the actual speed in minutes and seconds that it would take
to lift that distance.
MR JUSTICE GRAY: We are comimg back to that on Friday. So let us leave
that and get on.
MR IRVING: My Lord, I just want to conclude by putting a number of
general questions to the witness, if I may, which is, you will be glad to hear,
off these very, very minute questions in the broadest possible terms now.
You had a colleague working with on your book, did you not, Deborah Dwork?
A: Yes.
Q: She is now a very famous Professor, is she not, at the Clark
University? She has a Chair of Holocaust studies?
A: Holocaust history.
P-189
Q: Holocaust history. Without wanting to sound tasteless about it,
it has become quite an industry, a very well funded industry, has it not, this
Holocaust education business? She writes in her own papers that she has
received $5 million a year for funding her Chair and very enterprises?
A: She has been able to set up this Institute by this money donated by
various donors, yes.
Q: I am only asking these questions because you re one of the world's
leading Holocaust scholars and you are probably in the best position to educate
the court about these matters. It has become big business and it is not just I
who say this; a number of other far more learned people than I myself have said
this. The Chief Rabbi of England said it once.
A: Mr Irving, I think that I am here as an expert on Auschwitz. If you
want to have testimony as a member of the general public, and I am not one of
the chief Holocaust historians, I am actually a cultural historian who was
worked on Auschwitz, as a member of the general public I can answer. I do not
know if the Judge will be very interested in my opinion.
MR JUSTICE GRAY: I am interpreting this question as suggesting that your
co-author was, effectively, delivering the goods on the Holocaust, that is to
say exaggerating it, because she was being paid so well to do so.
P-190
MR IRVING: This is a very tactful way of putting it, my Lord.
MR JUSTICE GRAY: It was not intended to be particularly tactful.
MR IRVING: This was the inference I am trying to draw. I am trying to
find the justification for the word that is frequently used about my own
endeavours as being "dangerous". To what or whom am I being a danger?
The only interpretation I can put on it is the fact that I am endangering
people like Deborah Dwork who have made it quite a lucrative business, if one
can regard being in education as being a business. Certainly she makes $5
million a year for her Holocaust centre out of the Holocaust and the history of
the Holocaust and teaching the Holocaust. There are all sorts of profitable
side lines in publication of books and so on. This is what makes me into a
danger, apparently, that if it turns out that this building here has no holes
in the roof, then a large number of eyewitnesses have lied, and the whole mass
extermination chamber part of the story collapses as securely as that roof has
done.
MR JUSTICE GRAY: Does Professor Dwork manipulate the evidence because
she is making so much money out of her Chair?
A: I will take your guidance on what I should answer and what not.
Q: Answer it shortly.
A: May I point out, first of all, that this is money she
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raises for the Institute.
MR IRVING: It is not for herself personally of course. I made that quite
plain.
A: Yes. This is money which is raised to create Chairs. To provide
students with scholarships, to build up a library. So in that sense I do not
think that Professor Dwork at all profits from this. I also would like to point
out that when Professor Dwork wrote this book with me, Professor Dwork was not
a Professor of Holocaust history at Clark University. That in fact the sum
total of support we got for this project to write the book on Auschwitz was
40,000 Canadian dollars which translates at the moment to £15,000 which I got
from the Canadian Government, and that is all the support that went into writing
that book.
MR IRVING: The obvious question then is would she have been given a
Chair in anything if she had not written the book, let us put it that way
round?
A: My Lord, I do not see it is relevant. If you think it is relevant I
will answer the question.
MR JUSTICE GRAY: It has a sort of a relevance but not in terms of your
evidence.
MR IRVING: Yes. I will abandon that line of argument, my Lord. I just
wanted to establish the fact somehow that I am considered to be danger to
something, and the word danger is what puzzles me. I am not a member of the
IRA.
P-192
I do not go round blowing up cars. So what am I danger to? I tried to put
some flesh on to that particular matter.
MR JUSTICE GRAY: Right. Next general question.
MR IRVING: Next general question, have you had the opportunity to work
in the Moscow archives? I do not know the answer to that.
A: I have worked on the basis of the microfilms which were made at the
same time that I had to work on this.
Q: Yes. Have you worked in the national archives in Washington?
A: I have been once there, but not really. I have not really worked in
the national archives.
Q: That really surprises me. You aware, of course, that the national
archives in Washington have I suppose the largest collection of captured German
records including in relation to the SS and Auschwitz?
A: Yes, I am aware of that, and also I am aware that many of them have
been made available. I am aware of the fact that one uses the archives which
are useful for one's work. It happens to be that the archives, you know, when
one works as an historian there are various particular things one researches
for which one needs to go to the archives, because the documents are not
available and one wants to see those particular archives. You want to see the
documents in situ. In this case these are the
P-193
Auschwitz construction documents. Very important in my book, or in our
book since the name of Deborah Dwork has been mentioned now, was the archive in
Koblenz and to a lesser extent -- this is the German Federal archive in Koblenz
and to a lesser extent, for example, the Berlin Document Centre and the
archives of the court in Vienna. These were the archives where the unpublished
documents were all stored. For other things, more general information, I rely
sometimes on documents as they are produced in facsimile and sometimes even on
documents as they are ----
Q: Can I halt this avalanche just there? We are still at the national
archives in Washington. In May 1997 I believe I wrote you quite a lengthy
letter?
A: You wrote it. I never received it. Yes.
Q: You never received this letter I wrote to you?
MR JUSTICE GRAY: What did it say?
MR IRVING: It is a six-page peon of praise of his book, my Lord, drawing
his attention to certain documents and archives and inviting his comment on
matters of history, in the way that an historian should. I wrote to him -- your
address is and always has been at all relevant times presumably the Head of the
Department of History?
A: No, I am not.
Q: But you have been at the University Waterloo, have you not?
P-194
A: Yes, but I am in the architectural school. I am not in the
Department of History.
Q: If a letter is addressed to you at the University of Waterloo and
properly stamped and posted, then there is every likelihood that it will reach
you, is there not?
A: I can only tell, and I am still under oath, that I never received
this letter.
MR JUSTICE GRAY: This is one question I am not going to decide.
A: I only learned of it a year ago when people pointed it out to me on
the web.
MR IRVING: Are you aware that that letter has been posted on my web site
for the last two years?
A: It happens that I am not very experienced with the web.
Only somebody told me last year when I was already started to get involved in
this case that it was posted on the web, and of course since I was already
engaged on actually starting to work on this there was no way I could respond
to it.
Q: Are you going to make complaints at the University of Waterloo that
letters properly addressed to you, properly addressed to your department, are
not ----
MR JUSTICE GRAY: I think we have all got other things to worry about
than this wretched letter, if I may say so.
MR IRVING: Very well. Is it not a pity that the letter did not reach you
in view of the fact that it contained
P-195
pointers to historical records that would have been of the utmost most
information and assistance to you?
A: The book was published in 1996. So your letter is a year late after
that. I do not know which particular documents you point to. If you want to
provide me with a copy of the letter I will comment on these points.
Q: There is a copy of the letter in the bundle which I gave his Lordship
yesterday. If I can summarize without looking for it, it drew your attention,
for example, to the interrogations of Rudolf Hirst which up to that point you
had made no attempt to read in the national archives in Washington. You had
written the book about Auschwitz but you made no attempt to read the verbatim
interrogations of the commandant of Auschwitz?
A: May I point to your Lordship that these transcripts of the
interrogations Rudolf Hirst were actually published in facsimile I think in
1970 and I did read those facsimile reproductions.
Q: And yet there is not a trace of them in your published volume?
A: But it seems to be that as one would want to use Rudolf Hirst as a
source, and I did not use every single word Rudolf Hirst said. There are much
better sources than the interrogations. For example, his later memoirs and his
essay on the Final Solution which he wrote in Poland are, in fact, places where
he himself tries to put he whole
P-196
thing together. Certainly the Auschwitz book was not a history of what
happened to the formation of knowledge about Auschwitz after the war. I do not
deal with hat in the book. I did deal with it in this book, as you know. So I
do not think that you can draw any conclusion of what is included in the book
of what I consulted or not consulted.
Q: Well, you gave very detailed footnotes indeed, did you not? You are
writing a book about Auschwitz and yet you make no reference at all to having
had in front of you, as you say, the entire transcripts of the integration of
the Commandant?
A: Mr Irving, I just want to ask you, if at a certain moment -- I have
looked in making this book at 10,000 documents and ultimately I used 1,000 of
them in the book. You are not going to write 9,000 footnotes of actually
mentioning the documents which you have not used.
Q: I can sympathise with you because I am frequently in the same
position, but sometimes there are collections of documents that are so
important that I have to say you ought to have used them?
A: Then I am very happy I am not your graduate student.
MR JUSTICE GRAY: Let me try to break into this. My recollection is, I am
probably wrong about, is that when you deal with Rudolf Hirst in your report
you deal with the interrogations as well as what he says?
P-197
A: Yes.
Q: So where is this getting us? He was careless in the old days. That is
the worst that can be said.
MR IRVING: Careless in the old days?
MR JUSTICE GRAY: Before his report. His report takes account of the
integration of Rudolf Hirst.
MR IRVING: But it also addresses the point of what attempts did I make
to get further information. Here I have written a letter to one of the world's
leading historians on Auschwitz and the Holocaust, inviting comments, asking
his assistance, drawing his attention to documents, in the way that colleages
do, and Professor van Pelt says he never received the letter.
MR JUSTICE GRAY: I can see that your sending the letter may have some
limited relevance, but his response to it seems to be me absolutely irrelevant.
MR IRVING: I must admit, my Lord, that in asking these questions I was
totally unprepared for the response that he had not received the letter.
MR JUSTICE GRAY: Even if he said he had I do not think that it really
matters what he did or did not do. Your point is, as I understand it, you wrote
the letter, that shows that you were taking trouble to get your facts right.
MR IRVING: There is one residual point, my Lord, and this that your
Lordship will remember from the expert evidence I think of Professor Evans, or
possibly even from the
P-198
expert evidence of this witness, that I am accused of having concealed
the Altemeyer report until the solicitors for the Defendants went and
investigated, and once I knew that they were on the trail I therefore blurted
out the fact that I had it, which is of course an imputation that I find
repugnant and I wish to try to investigate that allegation in view of the fact
that I drew his attention to the Altemeyer report in this letter back in May
1997.
MR JUSTICE GRAY: Then you ought to produce a copy of it.
MR IRVING: Of the letter? My Lord, it was in the little bundle I gave
your Lordship yesterday or the day before.
MR RAMPTON: I think it is in J11 of your Lordship's bundle.
MR JUSTICE GRAY: J11.
MR RAMPTON: Yes. I do not have a J so I cannot help.
MR IRVING: I think your Lordship is going to have the advantage on me. I
can only rely on the letter as a fact because I do not have a copy here with
me.
MR JUSTICE GRAY: Yes, it is in J11. I am just going to find the
reference to Altemeyer. I have flipped through it and I have missed it.
A: I think Mr Irving is right.
MR JUSTICE GRAY: I am sure he is right.
A: I think he is right. Actually again I will only say after I actually
see it, but I think that indeed I remember him, when I finally read the letter,
since I wrote something of a response to it, I think he actually mentioned
Altemeyer,
P-199
but I do not see it either in this copy.
MR IRVING: Will you now withdrawn the suggestion that I only made it
known to people once it became known that the solicitors to the Defendants were
on the trail. MR GRAY: That contains within it a number of assumptions,
one of which is the assumption they were not on the trail as of May 1997. You
are probably right.
MR IRVING: My Lord, the imputation is that I was going to sit on that
document and look at the wall and whistle until I realized that Mishcon de Reya
had got on the trail of that document.
MR JUSTICE GRAY: Yes, I understand what the allegation is, but when did
they get on the trail of Altemeyer?
MR IRVING: As a result of the evidence they found out about Altemeyer.
MR JUSTICE GRAY: So long after May 1997?
MR IRVING: Presumably, my Lord, yes.
MR JUSTICE GRAY: I cannot find Altemeyer.
A: I found it. It is not numbered, but it is page 1. I do not know if we
have the same format, 8: "Had you after visiting Washington", the
eighth page, second paragraph.
MR JUSTICE GRAY: I think I must have a different version.
MR IRVING: It is the same version.
A: I can read it to you.
MR JUSTICE GRAY: Could you.
A: This is basically about all the things I did not do, but
P-200
it says: "Had you after visiting Washington flown on to London,
England you could have used the many versions of the handwritten written
memoirs of Hirst's erstwhile stand in Deputy Court Altemeyer written under
similar conditions of duress. He too was no doubt deservedly hanged by the
Poles. These pencil papers are held at the Public Record office, but Altemeyer
does not even figure in your history. Is not such an original document written
... (reading to the words) ... rights for payment for profit-driven
publishers."
MR JUSTICE GRAY: Thank you. I want to track this down. I just want to
see what the allegation is. It is in the Defendant's Summary of Case
presumably?
MR IRVING: My Lord, I believe it is in this witness's evidence, am I
right, that you made the allegation that I did not reveal the existence of the
Altemeyer document until I realized that Mishcon de Reya were on the trail?
A: From the discovery, and I think we can ----
Q: That being so, my Lord, it was entirely proper for me to mention this
document.
MR JUSTICE GRAY: Entirely proper. I am just tracking down what the
allegation was so I can see whether you are right in saying that it is
completely unfounded. Altemeyer is dealt with at 657 of your report.
A: 657?
Q: That is one of the places.
P-201
A: This is 1992. What I say here: "The discovery of the Altemeyer
material brought Irving in a very difficult position. While publication of it
would once more demonstrate his ability to find interesting new archival,
publication would discredit him as an analytical historian. Faced with this
dilemma, Irving decided to do nothing. Suppressing his discovery, he buried a
reference to it in a footnote of his book on Nuremberg", which is in 1996.
MR JUSTICE GRAY: Where are you reading from, what page?
A: Page 657.
MR IRVING: There is another reference.
MR JUSTICE GRAY: I have it.
A: So in my report I say that the first time he actually brings this one
out is in 1996.
Q: Which is four years on?
A: Four years on.
MR IRVING: Then is must be in Professor Evans' report, my Lord, that the
allegation is made.
MR JUSTICE GRAY: So far as we have got, let us be clear about it, your
letter in May 1997 to Professor van Pelt does not in any way detract from the
point he makes, I am not saying it is a good point, that you sat on this
Altemeyer evidence between 1992 and 1996.
MR IRVING: That is not true, my Lord. In fact I drew it to the attention
of other people like Professor Gerald
P-202
Fleming.
MR JUSTICE GRAY: That is a different point.
MR IRVING: Yes, but this is not the allegation I am trying to shoot down
here. The allegation I am trying to shoot down here is the allegation that I
did not move until Mishcon de Reya got on the trail and of course they did that
thanks to my discover.
MR JUSTICE GRAY: Let us track that one down.
MR IRVING: My Lord, that would be an appropriate point to stop?
MR JUSTICE GRAY: No, I think we have got to track this one down. If
somebody can give me Altemeyer in Evans.
A: Maybe I should go to ----
Q: You cannot do this, Professor van Pelt, because it is not your
report.
A: No, I am thinking maybe I am looking in my own report right now. If I
come back to this.
Q: It is a point that is made in Evans, but I do not think it makes it
in quite the way that Mr Irving suggests.
A: It could actually have been me, but at a different thing.
MR IRVING: It would not be very difficult for me to track this down at
home, my Lord, because I can do it on my computer.
MR RAMPTON: My Lord, I have read paragraph ----
MR JUSTICE GRAY: We are trying to help you.
MR RAMPTON: My Lord, I have read paragraphs 37 to 40 on pages 160 to 163
of Evans, and it is not what Mr Irving is on
P-203
about, that is for sure.
MR JUSTICE GRAY: It is not what Mr Irving says, no.
MR RAMPTON: No.
MR IRVING: It will be when I bring the chapter and verse, my Lord.
MR JUSTICE GRAY: We have tracked it down as far as we are able. I think
we had better move on to the next general question, Mr Irving.
MR IRVING: I think I have come to the end of my general questions. I
will have a quick look at my cheat sheet. Are you familiar with the evidence of
Kasmir Smolen?
A: Which evidence?
Q: The various statements he has made to the effect that when working in
the administration of the Auschwitz camp deliberate falsification of the
records went on?
A: I find it very difficult to -- deliberate falsification.
I remember something but I do not really know exactly.
I would not want to comment right now, because I do not know what records we
are talking about and what utterance by Kasmir Smolen, but again I am happy to
comment when I have it in front of me.
Q: To your knowledge did prisoners not only arrive at Auschwitz but did
they also leave Auschwitz?
A: There is one particular group of prisoners who left Auschwitz, yes.
Q: But on a regular basis they went on to other camps?
P-204
A: Certainly that, yes. This is why there are survivors.
Most of the Jews who survived Auschwitz who were not in the final evacuation
actually were sent on from Auschwitz in 1944, when the decision was withdrawn
that no Jews could be in the Reich so that they could work in concentration
camps attached to factories in the Reich.
This is one of the reasons, and I have explained that in our book in some
detail, why Hungarian Jews were parked in Auschwitz. They arrived in Auschwitz.
They survived the selection but were not numbered, were not actually admitted
officially to the camp, and they were there for sometime before they were sent
on to concentration camps in the Reich.
Q: But would I be right in saying that to a certain degree Auschwitz was
in fact a transit camp?
A: During the Hungarian action it took one of its many functions. It
took on the function of a transit camp, but it only applied to a relatively
small number of the total people who ever arrived there.
Q: The Hungarian action involved how many people originally? How many
people were deported from Hungary to Auschwitz?
A: About 450,000.
Q: 450,000?
A: Yes. That is a German figure.
Q: What actually happened to those 450,000? Were they all gassed in some
way or did some get sent somewhere else?
P-205
A: No. All these people, not even all the Hungarian Jews arrived
in Auschwitz, the large majority, the great majority of them came to Auschwitz,
I think the number of Hungarian Jews deported is even larger, but at Auschwitz
we are talking about that number. These people were submitted to selection on
arrival in Auschwitz. Then there were really three possibilities at that moment
that could happen. Either one could be selected to die in the gas chambers or
one could be selected to be admitted to the camp and given a number. There was
a new numbering system created at the time to accommodate this and became a
regular inmate of the camp or one of the satellite camps in Auschwitz. Or one
could become durkhanstudent where one was housed temporarily in the camp
without actually being officially admitted to the camp before being sent on to
other concentration camps.
Q: Where large numbers of these Hungarian Jews put to work in Germany?
A: The question is difficult to determine that, because there are
different numbers of how many durkhanstudent there were, and this is in some
way a point which certainly I would like to have seen, you know, more clearly
established. One of the debates about the mortality during the Hungarian action
of course ultimately has to relate, because when we know more or less how many
Hungarian Jews were admitted to the camp and there are
P-206
only two ways to explain what happened, only two ways one can explain
what happened to the people who were not admitted to the camp, either they were
killed or they were sent to the West. So the issue of the mortality of the
Hungarian Jews in Auschwitz ultimately is tied up to the number of
durkhanstudent there were, and the Auschwitz camp, the numbers I remember of
around 25,000 as to the number of durkhanstudent who went from Auschwitz to the
West.
Q: How many remained in the camp and were liquidated, in your opinion?
A: I do not really want to give an opinion right now. I mean I am happy
again to look at the figures. It seems to be that in May and June very high
percentages of these transports were selected for death, but we are talking
about hundreds of thousands of people who were killed in Auschwitz in the month
of May and June.
Q: Let us just for two minutes talk about Sturmlager, Auschwitz one?
A: Yes.
Q: Which is now the big tourist centre, is it not?
A: This is where the reception building is where the film was shown and
where there are exhibitions, yes.
Q: Yes. They have a building there which they describe as the gas
chambers and they show it to tourists as a gas chamber, is that right?
P-207
A: There is a crematorium there and in the crematorium is a room
which is described as a gas chamber.
Q: There is a big chimney behind the building?
A: Yes.
Q: Which is not connected in any way whatsoever to the crematorium?
A: The chimney there which is right next to it is a reconstruction of
the original chimney which was in exactly the same position which was connected
like the chimney in crematoria two and three by underground flue to the
crematorium building. This is a way to increase the draft of the chimney by
leading the gas at basement level.
MR JUSTICE GRAY: I am not quite sure what the point of these questions
is.
MR IRVING: It is very brief, my Lord. The prisoner reception centre at
Auschwitz one is where now the tourists arrive, am I right?
A: That is where the cafeteria is.
Q: I have never been there, so I take your word for it. They are then
taken into a building and at the end of the tour, "This is the gas
chamber". They are invited to believe that this is the gas chamber, is that
right?
A: One is not taken into building. One can either visit the building yes
or no.
Q: But they invited to believe hat this was the gas chamber?
A: There is a sign which says "crematorium and gas chamber".
P-208
Q: Was that building that is described as tourists as a gas
chamber ever used as a gas chamber?
A: Yes, it was used as a gas chamber.
Q: This is not what you wrote in your book?
A: That is exactly what I wrote. I have a very long description in my
book about the use of that space, and the space is not exactly the same as in
the war. I have a very long quotation. A number of different places.
Q: The space is what?
A: At the moment the space is one bay bigger than it was during of war.
I have extensive descriptions in my book of the transformation of that space
into a gas chamber and of the use of that space into a gas chamber.
Q: If you go there as a tourist now and you ask the guides, they will
admit to you that this was never used as a gas chamber, is that, is that right?
MR JUSTICE GRAY: That is really worthless, is it not.
MR IRVING: I beg your pardon?
MR JUSTICE GRAY: That is worthless as a point.
MR IRVING: The guides would know, my Lord.
MR JUSTICE GRAY: They might or they might not. I should think probably
they were born 30 years after these events.
MR IRVING: My Lord, I will on Friday confront this witness, if I may,
with what he wrote in his original book on precisely the building we are
talking about, where he said in terms that this building is a fake.
P-209
MR JUSTICE GRAY: Even if it is, I just do not want you to build up
a point that is not really at the moment impressing me enormously. Tell me if I
am wrong. This is trying to convey to people, you call them tourists, all
right, call them tourists if you want to, what things were like according to a
lot of people's opinion.
MR JUSTICE GRAY: Is there anything wrong with that?
MR IRVING: Yes, it is called "passing off". The tourists are
not told that is a fake. They are not told that this building was erected in
1948.
MR JUSTICE GRAY: Well, make of this point whatever you wish, Mr Irving.
MR IRVING: My Lord, the point is quite clearly, of course, that later on
you will be hearing how I have been fined a substantial amount for saying
precisely this fact which turns out to be true.
MR JUSTICE GRAY: I am not concerned with what other courts have done,
fined you or whatever.
MR IRVING: It will be held against me by the witnesses, my Lord.
MR JUSTICE GRAY: Well, not by me which is perhaps more important.
THE WITNESS: My Lord, may I just give Mr Irving one piece of advice as
he prepares for this, that I know which sentence in the book you are going to
refer to, but I also would invite you to read pages 293 and following of my
book
P-210
which describes in detail the transformation of this morgue into a gas
chamber and the operation as a gas chamber.
MR IRVING: The transformation of the morgue into a gas chamber?
A: Yes. Page 293, in the late summer/early fall of 1941.
Because I will come back to those pages when you are talking about my epilogue
where the discussion is about the present condition of the building. I will
refer back to this page, so we save each other and the judge a lot of time.
Q: You are also discussing the integrity of the site, are you not?
A: I am quite happy to discuss the integrity of the site.
Q: In your book you did?
A: Yes, I did.
Q: And you complained that the integrity of the site has been tampered
with and that it is no longer the same buildings and they are not being put to
the same uses?
A: If you confront the same, the exact words, then I comment on it. My
major discussion is on the prisoner reception building, and I deplore the fact
that this building is not shown in its original state, but has been used for
tourist purposes.
Q: Why would the present Director of the Auschwitz State Museum in 1995
say to the French newspaper, L'Expresse,
P-211
"Toute y est faux", "Everything there is fake"?
A: This is -- I think I deal with it in my report and I am happy to go
to my report, to the particular thing which was said. We are dealing here,
certainly the one thing is that the person did not speak French and, if you
want, I can go to my report and deal with this.
MR JUSTICE GRAY: I have made my position clear. I do not understand
where this gets anybody, this point.
MR RAMPTON: And I do not either and I, perhaps, in some sense have as
much interest in this aimless ramble as your Lordship because the longer me and
my team are in court, the more money it costs my clients. I am OK, but it is
quarter past 4 and we are not sitting tomorrow, but if this start up again on
Friday, I am going to have something to say about it.
MR IRVING: Well, my Lord, we spent some time looking at the integrity of
crematorium No. (ii) which has been held to be highly pertinent to this case.
The other extermination centre is supposed to be Auschwitz 1 or the Sturmlager,
and I hold that I am entitled to look at the integrity of that site too.
MR JUSTICE GRAY: Well, yes, as it originally was, of course, but whether
it is a tourist reconstruction, which is, I think, how you like ----
MR IRVING: Or what I call a "fake".
MR JUSTICE GRAY: --- or a tourist fake, whatever label you like
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to put on it, seems to me not really to be the point. If you want to
investigate what it was used for at the relevant period, 1942/43, that is one
thing, but you are now investigating whether it has been described by the
Superintendent at Auschwitz as being a fake. Well, so what?
MR IRVING: This is of relevance only when we come to the political part
of this case, my Lord, where I am accused of having said despicable and
perverse things which could not possibly be true. For this reason, I was
proposing to ask this expert on the Holocaust and on Auschwitz to what degree
what I said was true. Your Lordship may consider this is totally irrelevant in
which case, of course, I shall bow to your Lordship's ruling.
MR JUSTICE GRAY: Well, if that is what it is said to be relevant to ----
MR IRVING: I apologise for not having made that plain.
MR JUSTICE GRAY: --- I would like to see quite what it was that you did
say about Auschwitz being a tourist attraction or part of Auschwitz being a
tourist attraction.
MR IRVING: The actual sentence was: "The building which is shown to
the tourist today is a fake built by the Poles after the war as a gas
chamber".
MR JUSTICE GRAY: Do you want to take that any further? I mean, you have
the answer.
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MR IRVING: Not at this moment, my Lord.
MR JUSTICE GRAY: "No, it is not a fake because it was used as a gas
chamber". That is what Professor van Pelt says.
You do not have to accept it, obviously.
MR IRVING: Except that I may wish very briefly confront him with what he
himself wrote, if I may, but not at this moment, my Lord.
MR JUSTICE GRAY: You will look at page 293 as well?
MR IRVING: It may not be the page I am relying upon, my Lord.
MR JUSTICE GRAY: I suspect it will not be.
Now, I think we have probably reached the end of the day. 10 o'clock on Friday.
(To the witness): You are going to be able to be back?
A: Yes, I will come back tomorrow night.
MR JUSTICE GRAY: Mr Irving, I think it might help everybody to know how
much more cross-examination -- it is very difficult to estimate, I realize.
MR IRVING: I have already informed leading counsel for the Defendants
that I do not want anticipate having much more than about another half day of
questions because I would like to think that Professor van Pelt can return over
the weekend, given adequate time for re-examination where necessary.
MR JUSTICE GRAY: Yes. Well, that is very kind of you to have given that
indication. Mr Rampton, do you think that you will reach somebody else on
Friday?
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MR RAMPTON: I have not got any witnesses.
MR JUSTICE GRAY: You have not?
MR RAMPTON: No, not to bring on Friday, no, but I am not really doing my
case. I am cross-examining Mr Irving.
MR JUSTICE GRAY: Yes. Will you resume cross-examining him?
MR RAMPTON: I can easily do that.
MR JUSTICE GRAY: Good.
THE WITNESS: My Lord, may I just -- since I think that I still have to
give the presentation on the blueprints, so I think that -- I do not know
exactly how long it will take me, but I think it will take me an hour, an hour
and a half to do that, to go through the material.
MR JUSTICE GRAY: Will it really take as long as that? That is slightly
gloomier, but that is no disrespect to you, but if you can present it more ----
A: If you want it shorter, give me time and I will try to do it much
shorter.
MR JUSTICE GRAY: Well, you are going to have a bit of time to think
about it. 10 o'clock on Friday.
(The witness stood down)
(The court adjourned until Friday, 28th January 2000)
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