Where the alteration in a close company’s capital is treated as a disposition made by the participators, ( IHTM04069) and they include
Each IIP is treated as coming to an end to the same extent as
the decrease in the value of settled property caused by the
alteration.
Where the IIP is one to which the individual became
beneficially entitled on or after 22 March 2006, S100 only applies
if the interest is an immediate post-death interest, a disabled
person’s interest or a transitional serial interest
(IHTM16061), S100 (1A).