“134 Subject to Regulation 134A, where the Commissioners are satisfied that- (a) a supply of goods by a taxable person involved their removal from the United Kingdom, (b) the supply is to a person (“P”) who is registered for VAT in another member State and has provided the supplier with the VAT identification number issued to P by that other member State, (c) the goods have been removed to another member State, and (d) the goods are not goods in relation to whose supply the taxable person has opted, pursuant to subsection 50A of the Act, for the VAT to be charged by reference to the profit margin on supply, the supply shall be zero-rated.”