IHTM24037 - Agricultural property: Agricultural ‘property’
A farmhouse (and other buildings) will qualify as agricultural
property, but only if it is ‘of a character appropriate to
the property’. ‘The property’ in this context
means the agricultural land or pasture which qualifies as
agricultural property and which forms part of the estate for IHT
purposes.
The charge to tax under IHTA84/S3 (1) arises in respect of
the value transferred (
IHTM04028) calculated by reference to
the loss in value to an estate or the value of an estate.
IHTA84/S116 states that
, ‘where the whole or part of the value
transferredby a transfer of value is attributable to the agricultural
value of agriculturalproperty, the whole or the part of the value transferred
shall be treated asreduced by the appropriate percentage.’ The
s.IHTA84/S115 (2) definition of agricultural property applies for
the purpose of the relief under IHTA84/S116 (1), so the
agricultural land or pasture in question is that to which the whole
or part of the value transferred by the transfer of value is
attributable.
Therefore the farmhouse has to be of a character appropriate
(
IHTM24050) to property in the estate of
the deceased/transferor.
