The legislation contains a number of terms that appear
throughout the charging provisions. These terms are fundamental to
the structure of the charge and it is important that you understand
their meaning and how they fit together.
There are three core provisions that impose the charge on
lifetime transfers. Inheritance tax is charged on
The process through which a disposition becomes a chargeable
transfer is shown in the chart (
IHTM04021) on the next page.
To bring the charges on death and on settled property in
which an interest in possession subsists within this structure,
IHTA84/S4 (1)and IHTA84/S52 (1) say that these events are to
treated
as if a transfer of value had been made, so
deeming the events to be a transfer of value. The distinction
between an actual transfer of value and a deemed transfer of value
(
IHTM04025) is important.
Gifts with reservation (
IHTM14301) are charged by being treated
as property to which the deceased was beneficially entitled
beneficially entitled (
IHTM04031) and forming part of their
estate on death, FA86/S102 (3).
The legislation also specifically excludes (
IHTM04141) certain property from
charge.