IHTM35094 - Property redirected to the spouse or civil partner: redirection of excluded property
Another scheme (see also
IHTM35093) where the taxpayers seek to
take advantage of the provisions of IHTA84/S142 without there being
a bona fide variation is where the estate contains excluded
property (
IHTM04251) such as government
securities.
The deceased, domiciled (
IHTM13000) outside the UK, may leave
property in this country to chargeable beneficiaries and excluded
property to the spouse or civil partner (
IHTM11032). An IoV may then be used for
the spouse's or civil partner's entitlement to be switched from
excluded property to the ordinary UK estate without any change in
the amount the spouse or civil partner receives.
You should refer cases of this type immediately above to TG
without making any preliminary enquiries provided the basic facts
are clear.
