These are outlined below:
A purchaser of property (used in the extended meaning given in IHTA84/S199 (5)) and a person deriving title from such a purchaser are excepted from liability by IHTA84/S199 (3) unless the property in question is subject to an HMRC charge.
See ( IHTM30036).
IHTA84/S204 (3) governs the extent of liability of persons who
Such persons are liable only to the extent of that property.
Where property is settled by the transfer we normally seek
to collect the tax from the trustees under IHTA84/S199 (1)(c). Any
case in which the taxpayers or their agents contend that the
liability of the trustees is restricted by IHTA84/S204 (3) should
be referred. (We may wish to argue that the wider provision in
IHTA84/S204 (2) applies.)