IHTM12088 - Legacies and devises: abatement caused by grossing up under IHTA84/S38
The chargeable transfer (
IHTM04027) cannot exceed the value
transferred on death (
IHTM04044), that is to say, the value
of the estate (
IHTM04029) for IHT purposes.
The situation IHTA84/S37 (2) deals with is where after
grossing up (
IHTM26121), the total value of all the
specific gifts (both chargeable and exempt) exceeds the value
transferred, that is the value of the free estate for IHT purposes.
Where this happens you have to reduce the value of the
specific gifts so that their total value is the same as the value
of the free estate for IHT purposes.
IHTA84/S37 (2) requires you to make this abatement in
accordance with any order specified in the deceased’s will
and subject to that in accordance with the general law of
abatement.
An example of the calculations involved is shown at (
IHTM12086).
You should refer any case involving abatement under
IHTA84/S37 (2) to TG.
