IHTA84/S116 (2)(c) (inserted by FA95/S155) states that 100% relief will apply if the interest of the transferor in the property does not carry either of the rights mentioned in paragraph (a) that is
because the property is let on a tenancy beginning on or after 1
September 1995.
So, this section will apply for
all new tenancies of agricultural land that began
on or after 1 September 1995,
not just farm business tenancies under the ATA
1995. Further guidance on this point, and an example, can
be found at
IHTM24241. A succession tenancy granted
under the statutory succession scheme in the 1986 Act will be a
‘new’ tenancy for this purpose if it began on or after
1 September 1995. For the purposes of inheritance tax the beginning
of the new tenancy is taken to be the date of death of the tenant
who has been succeeded, IHTA84/S116 (5B).
A tenancy under the 1986 Act may be terminated and a farm business tenancy granted in its place in order to take advantage of the new provisions, particularly in family situations. So long as there has been a clear surrender of the old tenancy (or the necessary notice and counter-notice has taken place to formally determine the old tenancy) there should not be a problem. Further details are contained at IHTM24241. Under the Regulatory Reform (Agricultural Tenancies) (England and Wales) Order 2006 (SI no 2805), from October 2006, new sections were inserted in the 1995 Act to protect most future express and implied surrenders and regrants of 1986 Act tenancies. The result will be to allow for the continuance of the 1986 Act provisions, but also that the regrant will take effect as a ‘new’ tenancy for Inheritance Tax purposes, with potential relief at 100% rather than 50%.
In the situation where a gift of tenanted land is made before 1
September 1995 and the transferor dies within seven years, relief
would be available at 50%.
If tenanted land has been owned by the transferor since
before 10 March 1981 and the transitional provisions (
IHTM24145) are satisfied then relief
will be available at 100% in any event.