Are bars consisting of a random, rough fusion of various scrapped, gold-bearing metal objects covered by the terms ‘gold material or semi-manufactured products' within the meaning of Article 198(2) of the VAT Directive?
Are bars consisting of a random, rough fusion of various scrapped, gold-bearing metal objects covered by the terms ‘gold material or semi-manufactured products' within the meaning of Article 198(2) of the VAT Directive?