IHTM04083 - Settled property: the charging provisions for an interest in possession trust during lifetime
Different provisions apply to charge IHT on an interest in possession ( IHTM16000) (IIP) trust during the lifetime. These are
- where the interest of a person beneficially entitled ( IHTM04031) to an IIP in settled property ‘comes to an end’ ( IHTM04084) during their lifetime, IHTA84/S52 (1),
- where a person who is beneficially entitled to an IIP in settled property ‘disposes’ ( IHTM04085) of their interest, IHTA84/S51 (1),
- where there are dealings with the trust property which has the effect of reducing the value ( IHTM04086) of the property in which any beneficiary has an IIP.
In addition, we do not consider that a beneficial interest
subsisting under a given legal system can in any circumstances be
identified with one subsisting under a different legal system.
Accordingly, where the beneficiaries under an English/Scottish
settlement (
IHTM16000) effectively bring that
settlement to an end (by whatever means) and substitute for it
another settlement governed by a foreign legal system, you should
regard them as having brought to an end the interests under the
original English/ Scottish trust.
This applies even where the settled property remains the
same and the beneficial interests under the new settlement are
substantially similar to those that subsisted under the old one (Re
Brockbank [1948] Ch 206).
