The failure or determination after 11 April 1978 of the
principal beneficiary’s interest in possession (
IHTM16000) (IIP) which is subject to
protective trusts (
IHTM16000) is ignored for IHT purposes.
The beneficiary is treated as having an IIP in the property which
under general law is then treated as held on statutory (or similar)
discretionary trusts, IHTA84/S88.
Thus, if capital is advanced to a person other than the
principal beneficiary, there will be a charge to IHT as if the IIP
had come to an end. (
IHTM04084) Similarly, on the death of
the beneficiary, the trust fund forms part of their estate. (
IHTM04029)
If the principal beneficiary's interest in possession came
to an end before 12 April 1978 and, on that event, the settled
property became subject to discretionary trusts, the property is
not relevant property and the ten yearly and proportionate charges
do not apply.
Tax is charged when the
Under IHTA84/S70 (4) relief for dispositions not intended to confer bounty ( IHTM04161) and a grant of a tenancy of agricultural property ( IHTM04230) can apply.