The Nizkor Project: Remembering the Holocaust (Shoah)

Shofar FTP Archive File: people/e/eichmann.adolf/transcripts/Sessions/Session-103-01

Archive/File: people/e/eichmann.adolf/transcripts/Sessions/Session-103-01
Last-Modified: 1999/06/14

Session No. 103
6 Av 5721 (19 July 1961)

Presiding Judge: I declare the one hundred and third Session
of the trial open.  The Accused will continue with his
testimony in cross-examination.  I remind the Accused that
he is still testifying under oath.

Accused:    Yes, I am aware of that.

Attorney General: In March 1944 were you sent to Hungary?

Accused:    Yes.

Q. Before that a commando was prepared in Mauthausen,
including - according to your information in the Satement to
Bureau 06 - Dannecker, Hunsche, Abromeit, Wisliceny, both
Brunners, Richter, Gurtschik, Kaltenberg, Martin,
Schmidtsiefen, Rausnitzer, Lemeke, Naumann.  Is that

A. There are a few names there which I do not recognize at
all, but there were various members of IVB4 and of all sorts
of officers who were assembled at Mauthausen.  That is

Q. Krumey volunteered, did he not?

A. Yes, that is correct.

Q. I do not wish to take up too much of the Court's time, so
I shall simply say that Wisliceny belonged to the commando.
Is that correct?

A. Yes, that is also correct.

Q. Hunsche?

A. I do not know whether from the start, but in any case he
was also in Hungary.

Q. Novak?

A. As well, yes.

Q. Dannecker?

A. I am not sure, but it is more likely than not, it is just
that I cannot...

Q. That is what you said on page 1470 of your Statement to
the police.

A. I do not wish to dispute this, but now that I am under
oath, I must be careful, and that is why I am saying that I
am not quite sure.  It is indeed possible, but I am not

Q. Abromeit?

A. Yes.  I remember him fairly clearly.

Q. Burger?

A. I think Burger, too, although I am not quite sure.

Q. You said that on page 276 and on another page in your
Statement, that he was there.

A. I am not absolutely certain of that.

Q. Seidl?

A. I am not absolutely certain of that - it is possible that
he was there.

Q. You said that on page 842.

A. As far as Seidl is concerned, the reply is the same.
They were all in Hungary, but it is a fact that they were
constantly replaced.  That is why I cannot say for certain.

Q. Very well.  In any case he was there.  The two Brunners?

A. I would not wish to subscribe to the two Brunners - I do
not even know if one Brunner was there.  I can never say for
certain about the Brunners. I always confuse the two of

Q. In any case you said that on the pages I have mentioned,
first without being asked, and then after you were asked, on
page 267 of your Statement to the police.  And Richter?

A. I have only become confused by reading about it, for
example about the Brunners, because I read that...

Q. Was Richter there?

A. No.

Q. I shall find Richter immediately as well.  Was Gurtschik

A. Gurtschik, Gurtschik does not even mean anything to me

Q. It says here Girtschik.  Girtzik.

A. Possibly, but I am not sure.

Q. That is what you said on page 1431.  Hartenberger.

A. The same thing - I am not sure.  I must correct my
Statement here: Richter, for example, certainly was not in
Hungary - he was a Police Attache in Romania.  If I said
that in my Statement, I made a serious mistake.

Q. Martin?

A. Martin was not in Hungary - he was the Registrar in

Q. You were asked about this on page 1436.  You said: "I am
not absolutely sure about Martin either, but I would tend to
believe that he was there, rather than otherwise."

A. It is quite obvious that in my Statement I was also not
sure, but I preferred to admit something rather than deny
it.  But now I must also say, if asked now, that it would
seem illogical to me, because, as I have said, Martin was
the Registrar in Berlin.  He might have had the Registry
under him, as a specialist, I would say.  Those are the
points I would make about this.

Q. Schmidtsiefen?

A. Schmidtsiefen?  I am not sure - the name sounds familiar.
Schmidtsiefen was one of Krumey's men, who never served with
me.  But it is quite possible that Krumey took Schmidtsiefen
with him.

Q. All right.  Klausnitzer?

A. Klausnitzer?  At present, this is something of which I
have never heard.

Q. Lemeke?

A. Also a name I have never heard of.

Q. Naumann?

A. Naumann - Oberfuehrer Naumann - he cannot have been

Q. No, not Oberfuehrer Naumann.  Another Naumann.

A. Don't know him at all.

Q. Zoeldi?

A. Zoeldi - I was asked about him.  For a while, Zoeldi was
seconded to me from the Hungarian gendarmerie and then
vanished somewhere in the provinces.

Q. The instructions you received were to evacuate Hungarian
Jewry, as far as possible, to camps in the East.  Is that

A. I did word it in such a fashion.  Today, having read
through all the history, I must say that I cannot maintain
this in such a manner, because it is just not feasible that
I myself, with the couple of people who came to Hungary with
me, could have managed to carry out such a thing.  So it
must have been like this.

Q. One moment.  I shall ask you another question.  It is
possible that this or that document will refresh your memory
on a particular point.  You are not, however, trying to tell
us, are you, that the purpose of your being sent to Hungary
became known to you in this country?  Are you?

A. No, I certainly am not trying to say that, that is clear.

Q. And so the definition you gave in your interrogation by
the police is the true and correct definition, correct?

A. I do not remember what I said.  I have not looked it up.

Q. You said the following - I am reading from page 3117, the
second line from the top: "The general order of the
Reichsfuehrer-SS and the Chief of the German Police ran:
`Evacuation of all Jews from Hungary, and to comb the
country from east to west, and to dispatch them to
Auschwitz.'  That was the standing order."

A. Yes, that is correct.  But I must make a reservation
about Auschwitz.  That cannot be correct.  I must have made
a mistake there, because I have read here in a document that
even Veesenmayer asked me in Berlin to name the final
destination, and I concluded from that that the final
destination could not therefore be known, because otherwise
Veesenmayer would not have asked Berlin about it.

Q. We know already that the purpose of your assignment to
Hungary was known to you before you looked at the documents
- there is no point in repeating that.  Now, your mission,
as Himmler put it, was to send "the master" to Hungary, in
order to avoid any repetition of the shameful episode of the
Warsaw Ghetto uprising.  Is that correct?

A. I must simply say here that "the master" is in fact
correctly described, if the documents are...

Q. No, no...we will have none of this...without the
documents, please!  You have already been told time and
again that we want to know what you remember.  In your
evidence here it is not the documents which are the main
issue, but what you remember.  And so, what is the reply to
the last question?

A. Because I know that a term such as "the master is being
sent" can be misinterpreted and is not evaluated in terms of
this soldiers' slang expression, that is why I thought that
I could refer to the documents...

Q. Do you know that Himmler used this expression about you?

A. I have never heard that Himmler is supposed to have said

Q. Thank you.  Even if you did not hear it from Himmler's
lips, perhaps Mueller told you something about it?

A. I do not know for certain.  There is only one thing I do
know: Mueller had a rather blunt Bavarian way of expressing
himself sometimes, and that is why one must understand in a
totally different manner than literally, the expression "the
master is being sent to Hungary," or something along those

Q. Sassen - you said - said: "Let us now send the master
down there."

Presiding Judge: Who is being quoted here?

Attorney General: Sassen asks him the question and he

Presiding Judge: And what is the reply there?

Attorney General: It reads: "I assembled these people of
mine round me in a relatively short period..."

Presiding Judge: So that means that Himmler's name is not
mentioned here - this is as if this came from Mueller's
lips, or it is not clear who is supposed to have said this.

Attorney General: We shall come to this in a moment. We
shall also talk about the Life article and ask for the
Accused's position.

And when you were shown document T/47(51), which referred to
Sassen's description in the following words: "As Mueller
said, they had sent the master himself there, in order to be
quite sure that the Jews would not rebel as in the Warsaw
Ghetto" - you did not make any comment on that, did you?

Accused:    The reason why I made no comment on that is
connected with the fact that I said if I am to comment on
everything here, then I would have to write just as much as
I have been shown in writing, and then I would not need to
use this; it would be sufficient for me to give a general
statement and comments on this.

Q. And what you said is not true.  On the same page you made
at least four or five, or five or six, comments - it is just
this particular passage which is in question, which you
allowed through without any comments.

Presiding Judge: Which page, please?

Attorney General: Apparently this is page 44.

Accused:    The extracts from Life I have been given here...

Q. Yes, yes.

A. What is there is what I have just said: After I had
filled some five to six pages of official paper, I asked to
speak to Captain Less, and then I said to Captain Less, I
have now filled six or seven...that is to say, many pages of
official paper; if I am to continue to give detailed
comments, I will produce more or less as much material as I
am shown.  And then I was told I did not need to comment on
everything.  And then I stated my position in more general
terms and wrote why I had to reject this matter.

Q. But not this one!

A. This applies to the entire excerpt which was shown to

Q. Pages 45 and 46, Your Honour, I was mistaken.

[To the Accused] I am telling you that what you are saying
here is not true, because you were asked to mark certain
passages which you challenged, and you marked the passages
which you wanted to challenge, as you agreed with Captain
Less, and you did not then challenge this section. That
means you had no objections to it, and this objection on
your part has only developed now in some way.
A. No, I believe that what I have just said was in fact
stated by me in writing to Captain Less, and that should be
in the files.

Home ·  Site Map ·  What's New? ·  Search Nizkor

© The Nizkor Project, 1991-2012

This site is intended for educational purposes to teach about the Holocaust and to combat hatred. Any statements or excerpts found on this site are for educational purposes only.

As part of these educational purposes, Nizkor may include on this website materials, such as excerpts from the writings of racists and antisemites. Far from approving these writings, Nizkor condemns them and provides them so that its readers can learn the nature and extent of hate and antisemitic discourse. Nizkor urges the readers of these pages to condemn racist and hate speech in all of its forms and manifestations.