Special rules apply when there is a change to the shareholdings
that are being dealt with by the ‘appropriate person’ (
IHTM34161) as a result of changes in
the capitalisation of a company.
IHTA84/S183 applies when
Broadly speaking this means a transaction involving a
A transaction within IHTA84/S183 is not treated as a sale. For
the purposes of the relief the new holding which results from the
transaction is treated as being the same as the original holding.
You can find instructions on how to value the new holding on
pages (
IHTM34182) to (
IHTM34184).