Where the chargeable transfer is made by a disposition ( IHTM04023) of the transferor (and the transfer is neither a PET (IHTM30040) nor on cesser of an interest in possession in settled property (IHTM30090)), there may be two separate IHT charges to consider
and
Though the persons liable for both charges are specified in IHTA84/S199, there are important differences between the persons liable for the two charges, so they are dealt with separately.