IHTM24031 - Agricultural property: definition of agricultural land or pasture
Agricultural land or pasture has its natural meaning and is
taken to mean bare land used for agriculture. That the definition
of agricultural land or pasture means nothing more than that was
considered in the case of
Starke v IRC [1995] STC 689.
In this case, the property concerned had an area of 2.5
acres. It contained a six- bedroomed house and various outbuildings
used for a farming business, carried on by a family company. The
executors contended that the property was ‘agricultural land
or pasture’ within the meaning of part 1. of the definition
at
IHTM24031, because the Interpretation
Act 1978 requires the word ‘land’ to be read as
including ‘buildings or other structures’ unless the
contrary intention appears. The Court of Appeal found the necessary
contrary intention in
- part 3 of the definition in IHTA84/S115 (2), which refers expressly to buildings and structures which would be included in the words ‘agricultural land’ if the argument of the executors was correct,
- IHTA84/S115 (4), which also expressly refers to buildings, and
- consideration of the structure of the definition as a whole, all (except woodland) that follows the words ‘agricultural land or pastures’ being concerned with buildings of one sort or another.
Accordingly the Court of Appeal upheld the HMRC view that the property concerned was not agricultural property within IHTA84/S115 (2). The Court emphasised that the question before the Court and the decision were confined to the proper construction of part 1 of the definition in IHTA84/S115(2) - see IHTM24031.
