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Is it necessary to examine the origin of a work of art from a VAT perspective?

It is not enough to ensure that a given item falls within the statutory definition of a work of art and was acquired as part of a professional business activity for further resale. The origin of the work being resold should also be examined, as the application of the margin procedure depends on the appropriate status of the entity from which the purchase takes place or the type of transaction of this purchase.

Source Prawo.pl

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