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Official guidance
Capital Gains Manual

CG36525P · Capital Gains Manual: Trusts and Capital Gains Tax: Changes to IHT from 22 March 2006

  • CG36525 · 2006 IHT changes: introduction
  • CG36540 · 2006 IHT changes: IHT treatment from 22 March 2006
  • CG36541 · 2006 IHT changes: IHT treatment from 22 March 2006: summary of Classes
  • CG36542 · 2006 IHT changes: IHT treatment from 22 March 2006: qualifying interests in possession
  • CG36543 · 2006 IHT changes: IHT treatment from 22 March 2006: trusts for the disabled
  • CG36544 · 2006 IHT changes: IHT treatment from 22 March 2006: trusts for young people
  • CG36545 · 2006 IHT changes: IHT treatment from 22 March 2006: other trusts
  • CG36546 · 2006 IHT changes: CGT treatment from 22 March 2006
  • CG36547 · 2006 IHT changes: IHT treatment from 22 March 2006: CGT holdover relief from 6 April 2006
  • CG36548 · 2006 IHT changes: IHT and CGT treatment from 22 March 2006: transfers to settlements
  • CG36549 · 2006 IHT changes: IHT and CGT treatment from 22 March 2006: transfers from settlements
  • CG36550 · 2006 IHT changes: IHT and CGT treatment from 22 March 2006: settlements and death of person with actual or deemed interest in possession
  • CG36551 · 2006 IHT changes: IHT and CGT treatment from 22 March 2006: settlements and death of person with actual or deemed interest in possession
  • CG36552 · 2006 IHT changes: IHT treatment from 22 March 2006: miscellaneous situations
  • CG36526 · 2006 IHT changes: treatment before 22 March 2006
  • CG36527 · 2006 IHT changes: CGT treatment before 22 March 2006
  • CG36528 · 2006 IHT changes: CGT gifts hold-over treatment before 22 March 2006
  • CG36529 · 2006 IHT changes: IHT treatment before 22 March 2006
  • CG36531 · 2006 IHT changes: IHT and CGT treatment before 22 March 2006: transfers from settlements
  • CG36532 · 2006 IHT changes: IHT and CGT treatment before 22 March 2006: settlements and death of person with actual or deemed interest in possession
  • CG36533 · 2006 IHT changes: IHT and CGT treatment before 22 March 2006: miscellaneous situations
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Changes to IHT from 22 March 2006: contents
  2. 2006 IHT changes: IHT treatment from 22 March 2006: trusts for young people

CG36544 | 2006 IHT changes: IHT treatment from 22 March 2006: trusts for young people

From HM Revenue & Customs · Capital Gains Manual

Bereaved Minor Trusts: IHTA84/S71A introduces a new regime for trusts for bereaved minors, including those established before 22 March 2006. The conditions are similar to those applying under FA05/S35, see TSEM3440+ which provide that the CGT and IT liabilities are based on the circumstances of the minor rather than the trustees’ rates. The most important conditions are that only the bereaved minor can benefit during the lifetime of the trust and he must take absolutely at 18. IHTA/S89 (disabled trusts) takes priority. The trust can benefit more than one bereaved minor, for example where on an intestacy a parent leaves two minor children.

IHTA84/S71B provides for a charge where the property ceases to qualify, or the trustees reduce the value of the settled property, but there is no IHT charge on the minor becoming absolutely entitled or dying.

A&M Trusts: IHTA84/S71 does not apply to property settled after 22 March 2006.Under the revised S71, where the property was settled before 22 March 2006, with effect from 6 April 2008, the age by which a person must become beneficially entitled to settled property is reduced to 18 and settled property may only continue to qualify for treatment under the revised S71 if the trust is amended if necessary and the beneficiary will take the property absolutely at 18. However there is no immediate charge on 6 April 2008 if the trust is not amended.

18-25 Trusts: IHTA84/S71D applies to a will trust of a deceased parent of a person ‘B’, who is not yet 25, whether or not it was established before 22 March 2006. It also applies to trusts set up by the Criminal Compensation Commission for such a person. It does not apply to a trust falling within any of the other Classes mentioned in CG36542-4. This section applies where a trust ceases to be an S71 IHTA trust before 6 April 2008, or because on 6 April 2008 it ceases to meet the new age limit. The conditions are that B will become absolutely entitled to the settled property and any accumulations of income on or before his 25th birthday, and no one else other than any other beneficiary under 25, can benefit in the meantime. There is a chargeable transfer where S71D ceases to apply or there is a value shift, except where B becomes absolutely entitled or dies under the age of 18.

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