IHTM25301 - The ownership test: Introduction
The general rule is that property is not relevant business
property (
IHTM25141) and so does not qualify for
business relief unless it was owned by the transferor (
IHTM25302) throughout the two years
immediately preceding the transfer, IHTA84/S106.
The general rule is relaxed in three types of situation
- where the transferor became entitled to the property on the death of another person ( IHTM25321)
- where the property transferred replaced other relievable property ( IHTM25311), and
- where the property transferred had been acquired on an earlier transfer ( IHTM25331) within the two year period.
There are additional ownership requirements for lifetime
transfers (
IHTM25361) and gifts with reservation (
IHTM25381).
If there was a change in the nature of the business during
the two-year period – see (
IHTM25303).
