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Commentary

Call-off stock (Romania)

41 Romania

The transfer of goods by a person registered for VAT purposes from one EU member state to another EU member state under the call-off stock arrangements is not deemed to be a supply of goods within the meaning of the VAT rules. These arrangements must meet the following conditions:

  1. Ìý

    •ÌýÌýÌýÌý The goods must be transferred by the taxable person or by another person

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