Mr. Dean. True.
The Chairman. You will get along all right.
Mr. Dean. Thank you.
I said, "I have come over here with the idea of giving you all the information that I have." In fact, I had some additional information that I had gotten the night before, and it was a call that I had received from some man in Victoria, Canada, who said he had a reel of movie film that he had taken of the assassination.
I got this man's name, where he called from, had the police department in Victoria check to crisscross the number, and I gave him the name—well, all the information as to where the call had originated from, his name, also this man's attorney, he had given me his name, and I told him that the reason the man had called, had called especially for me at the police department, was that he had a reel of movie film that he had taken the day of the assassination and that these—or the camera was on the President at the time of the assassination, and he described to me the position as to where he was, which was across and in trajectory of the line of fire, and that he felt that in addition to the assassination that he had gotten the School Book Depository.
I told Mr. Griffin at the time that I had told this man—I can't remember his name, the FBI has gotten it, and at the time I gave it to Mr. Griffin, I told this man on the telephone from Victoria that night that he should send these things, this film, that he said wasn't developed, to the Warren Commission.
He said, that is when he told me that he had contacted his attorney in Victoria and that his attorney's name was Batter, and he spelled it for me, B-a-t-t-e-r, and his attorney had advised him not to send this information to the Warren Commission but to contact someone in Dallas and send it to them.
This man told me that he had read something about my testimony and that he asked me would it be all right for him to send it to me, and I told him, "Yes," and I said I was supposed to go back to the Warren Commission and he could send it to me, and I would make it available for them.
This was just additional information that I told Mr. Griffin that I was—this is an example—I was there to help them in any way I could.
Mr. Rankin. Now, the differences in your testimony that Mr. Griffin was discussing with you off the record, you have gone into that in detail on the record, haven't you, in your deposition?