IHTM16151 - Settled property: Quick
Succession Relief
If there are two successive charges on the settled property
within a period of five years the tax payable on the second charge
is reduced, and the reduction is a percentage of the tax payable on
the earlier transfer - IHTA84/S141
To qualify for the relief:
- the second settled property charge must
arise on the termination of an interest in possession, and
- the first such charge must have increased
the estate of the life tenant who was the holder of that interest
and be determined by reference to the same settled property. (This
second condition means in effect that, where the life
tenant’s interest arose on or after 22 March 2006, it must be
an immediate post-death interest, a disabled person’s
interest or a transitional serial interest (
IHTM16061) and thus increased his
estate for IHT purposes).
This condition is satisfied if the earlier charge was an IHT
charge on a relevant property (
IHTM42161) trust, or was the lifetime
charge on the transfer into the settlement.
There are further details of this relief at
IHTM22041.