IHTM04087 - Settled property:
changes to settled property where IHT is not charged on an interest
in possession trust
There are a number of dealings with trust property that do not
result in an interest in possession (IIP) (
IHTM16000) coming to an end
- the payment of the costs of trustees out
of capital does not result in an IIP coming to an end. The IIP
subsists in the trust fund after deduction of the liability for
costs, so that payment of the costs has no effect on the
beneficiary’s interest. The result is similar where CGT is
payable on a sale or other disposal of a trust asset.
- the types of fees usually charged by trust
corporations and the treatment of withdrawal fees paid out of
capital are discussed in
IHTM16094. The payment of an income
fee, being a payment in respect of costs or expenses, does not
bring an IIP to an end.
- the payment of premiums on certain types
of settled insurance policies does not bring an IIP to an end, see
IHTM16000
- where the trust income is divisible
between an annuitant and, say, other income beneficiaries it will
seldom be divided in the same proportions each year and hence there
will be changes from time to time in the capital
“slice” of each beneficiary. Such changes do not affect
the respective beneficial entitlements and claims for tax should
not be founded upon them. Nevertheless, you should refer to TG any
case in which the proportions appear to have been altered
unusually.
- where a purchased annuity has been
substituted for a life interest in property and the parties contend
that the principle of Re Beit [1952] Ch 53 applies on the ground
that the transaction was merely a change of investment, you should
refer the case to TG.
(This text has been withheld because of exemptions in the
Freedom of Information Act 2000)