Essentially, agricultural relief is available on:-
Section 116(1) of the IHTA84 states that ‘Agricultural
relief is due to the extent that the value transferred by a
transfer of value (
IHTM04024) is attributable to the
agricultural value (
IHTM24150) of agricultural property. (
IHTM24030) Transfer of value has its
extended meaning under IHTA84/S3 (4), so the relief is available on
deemed transfers of value (
IHTM04025).’
The relief is also available on discretionary trusts under
IHTA84/S115 (1), under which a transfer of value includes an
occasion on which tax is chargeable on discretionary trusts (
IHTM04096) and references to
The value transferred by a transfer of value, and The
transferor will include, respectively
The relief is not available on other occasions of charge, such
as when conditionally exempt property is subject to a recapture
charge (
IHTM04112).
The relief is given by a percentage reduction (
IHTM24140) in the value transferred by
the transfer of value. This means that the relief is
Specifically, it does not reduce the value of the property concerned for IHT purposes so that
In the context of relevant property trusts, references to the value transferred by a transfer of value are construed as including references to the amount on which tax is chargeable. So, in the unlikely event of there being a partially exempt occasion of charge in the relevant property trust regime, the exemption is deducted before the reliefs are allowed.