LLM8260 - Inheritance tax: Names: introduction
The following paragraphs outline the main inheritance tax
issues affecting individual members of Lloyd’s. For more
detailed guidance on inheritance tax see the Inheritance Tax Manual
– IHTM01000 (
LLM10000).
Inheritance tax is charged on the total value of a deceased
person’s estate at death, and this will include the whole of
the Lloyd’s interests of a deceased Name. The interests
include assets held to back the underwriting as well as the
underwriting profits of open accounts and accounts that are running
off. A UK domiciled member is liable to IHT on worldwide assets; a
non-UK domiciled member on assets situated in the UK.
Interest in the underwriting business
There are three distinct elements to the Lloyd’s interest
- the pipeline results of the open years of account together with the result of any closed year of account not distributed before death (open year run-off accounts also have to be valued)
- the value of assets held in a special reserve fund (see LLM5230) and in ancillary trust funds ( LLM1200)
- the value of syndicate capacity.
LLM8270 and LLM8280 deal with valuation issues relating to IHT.
Business property relief (BPR)
The ten yearly instalment method of paying any resulting inheritance tax is available for IHT due on the value of business assets, whether or not they rank for business property relief. LLM8290 deals with business property relief.
Administration
IHT issues relating to Lloyd’s are dealt with by one of the Valuation Groups in Shares and Assets Valuation in Nottingham.
