IHTM35134 - Trust created by a variation: distribution before the end of the short term interest
Under the concluding words of IHTA84/S142 (4), the subsection does not apply
- in relation to any distribution or application of property subject to the short-term interest
- which occurs before the disposition or cesser of the short-term interest takes effect.
Accordingly, if there is an application or distribution of trust
capital during the continuance of the short-term interest, the
trusts actually applying from the death govern the IHT treatment of
that event.
Example
By Will, T leaves the whole estate equally to his children.
By a valid IoV within IHTA84/S142 (1), the children settle
£200,000 from the estate on trust for their mother for a
period of 18 months from the date of death, with remainder to
themselves. Twelve months after the death, the whole of the fund is
appointed to the grandchildren.
The IoV creates a short term interest (
IHTM35133) which is ignored, so there
is no spouse exemption and the estate remains chargeable on death.
However, when the appointment to the grandchildren takes place, the
real position is taken into account. So a charge to tax arises
under IHTA84/S52 as the widow's life interest has come to an end. (
IHTM04084)
