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Contents

Official guidance
Inheritance Tax Manual

IHTM04000 · How Inheritance Tax is charged

  • IHTM04001 · Summary
  • IHTM04010 · History
  • IHTM04021 · Structure of the charge: main charging provisions
  • IHTM04022 · Structure of the charge: how a disposition becomes a chargeable transfer
  • IHTM04023 · Structure of the charge: what is a disposition?
  • IHTM04024 · Structure of the charge: what is a transfer of value?
  • IHTM04025 · Structure of the charge: what is a deemed transfer of value?
  • IHTM04026 · Structure of the charge: what is an exempt transfer?
  • IHTM04027 · Structure of the charge: what is a chargeable transfer?
  • IHTM04028 · Structure of the charge: what is the value transferred?
  • IHTM04029 · Structure of the charge: what makes up a person's estate?
  • IHTM04030 · Structure of the charge: what is property?
  • IHTM04031 · Structure of the charge: what is meant by beneficially entitled?
  • IHTM04032 · Structure of the charge: how the meaning of estate is extended
  • IHTM04033 · Structure of the charge: how meaning of estate is restricted
  • IHTM04034 · Structure of the charge: what is a general power?
  • IHTM04035 · Structure of the charge: what is general power property?
  • IHTM04036 · Structure of the charge: Dormant Asset Scheme
  • IHTM04041 · Transfers on death: the charging provisions
  • IHTM04042 · Transfers on death: deemed transfer on death
  • IHTM04043 · Transfers on death: what makes up the estate on death
  • IHTM04044 · Transfers on death: what is the value transferred on death?
  • IHTM04045 · Transfers on death: valuing property together
  • IHTM04046 · Transfers on death: changes in value by reason of the death
  • IHTM04051 · Lifetime transfers: the charging provisions
  • IHTM04052 · Lifetime transfers: what is a person?
  • IHTM04053 · Lifetime transfers: what is an individual
  • IHTM04054 · Lifetime transfers: the loss to the transferor’s estate
  • IHTM04055 · Lifetime transfers: loss to estate greater than the value of property given
  • IHTM04056 · Lifetime transfers: loss to estate less than value of property given
  • IHTM04057 · Lifetime transfers: what is a potentially exempt transfer?
  • IHTM04058 · Lifetime transfers: when is a gift made to another individual or to a specified trust?
  • IHTM04059 · Lifetime transfers: when does property becomes comprised in the estate of an individual?
  • IHTM04060 · Lifetime transfers: when is the estate of another individual increased?
  • IHTM04061 · Lifetime transfers: transfers that cannot be potentially exempt transfers
  • IHTM04062 · Lifetime transfers: woodlands subject to a deferred Estate Duty charge
  • IHTM04063 · Lifetime transfers: deemed transfers that are potentially exempt transfers
  • IHTM04064 · Lifetime transfers: deemed potentially exempt transfers
  • IHTM04065 · Lifetime transfers: purchase of a policy linked with an annuity
  • IHTM04066 · Lifetime transfers: what is the value transferred by a potentially exempt transfer?
  • IHTM04067 · Lifetime transfers: what is an immediately chargeable transfer?
  • IHTM04068 · Lifetime transfers: transfer of value by a close company
  • IHTM04069 · Lifetime transfers: alteration in the share capital of a close company
  • IHTM04070 · Lifetime transfers: what is the value transferred by an immediately chargeable transfer?
  • IHTM04071 · Lifetime transfers: introduction to gifts with reservation of benefit
  • IHTM04072 · Lifetime transfers: the charging provisions for gifts with reservation of benefit
  • IHTM04073 · Lifetime transfers: what is the value transferred by a gift with reservation of benefit?
  • IHTM04081 · Settled property: introduction
  • IHTM04082 · Settled property: the charging provisions for an interest in possession trust on death
  • IHTM04083 · Settled property: the charging provisions for an interest in possession trust during lifetime
  • IHTM04084 · Settled property: the charge where an interest in possession comes to an end
  • IHTM04085 · Settled property: the charge where an interest in possession is disposed of.
  • IHTM04086 · Settled property: the charge where the value of settled property is reduced
  • IHTM04087 · Settled property: changes to settled property where IHT is not charged on an interest in possession trust
  • IHTM04088 · Settled property: the charge where an interest in possession comes to an end following a potentially exempt transfer
  • IHTM04089 · Settled property: the charge when both a close company and interest in possession are involved
  • IHTM04090 · Settled property: transfer by a close company apportioned to trustees
  • IHTM04091 · Settled property: alteration in a close company’s capital apportioned to trustees
  • IHTM04092 · Settled property: the charge where a close company is entitled to an interest in possession
  • IHTM04093 · Settled property: what is the value transferred when an interest in possession ceases?
  • IHTM04094 · Settled property: other valuation issues when an interest in possession ceases
  • IHTM04095 · Settled property: the charging provisions for discretionary trusts
  • IHTM04096 · Settled property: charges on property held in relevant property trusts
  • IHTM04097 · Settled property: what is value of property held in discretionary trusts on which tax is charged?
  • IHTM04098 · Settled property: charges on special trusts
  • IHTM04099 · Settled property: charges on accumulation and maintenance trusts
  • IHTM04100 · Settled property: charges on employee and newspaper trusts
  • IHTM04101 · Settled property: charges on protective trusts
  • IHTM04102 · Settled property: charges on trusts for disabled persons
  • IHTM04103 · Settled property: charges on temporary charitable trusts
  • IHTM04104 · Settled property: maintenance funds for historic buildings
  • IHTM04111 · Heritage property: summary
  • IHTM04112 · Heritage property: when a charge to tax arises
  • IHTM04113 · Heritage property: chargeable events under IHTA84/S32
  • IHTM04114 · Heritage property: exceptions to the charge under IHTA84/S32
  • IHTM04115 · Heritage property: chargeable events under IHTA84/S32A
  • IHTM04116 · Heritage property: exceptions to the charge under IHTA84/S32A
  • IHTM04117 · Heritage property: special situations
  • IHTM04118 · Heritage property: double charges
  • IHTM04121 · Woodlands: Summary
  • IHTM04122 · Woodlands: the deferred charge
  • IHTM04141 · Provisions which exclude the Inheritance Tax Act
  • IHTM04151 · Dispositions that are not transfers of value: introduction
  • IHTM04200 · Dispositions by close companies for the benefit of employees
  • IHTM04210 · Waiver or repayment of an amount of remuneration
  • IHTM04220 · Waiver of dividends
  • IHTM04230 · Grant of an agricultural tenancy
  • IHTM04240 · Changes in the distribution of the deceased's estate
  • IHTM04250 · Refund to trustees of Income Tax repayments received by settlor
  • IHTM04161 · Dispositions not intended to confer bounty: outline of IHTA84/S10
  • IHTM04162 · Dispositions not intended to confer bounty: application of the relief
  • IHTM04163 · Dispositions not intended to confer bounty: IHTA84/S10 qualified or excluded
  • IHTM04164 · Dispositions not intended to confer bounty: definitions
  • IHTM04165 · Dispositions not intended to confer bounty: first condition - gift not intended
  • IHTM04166 · Dispositions not intended to confer bounty: second condition - arm's length transaction
  • IHTM04167 · Dispositions not intended to confer bounty: application to settled property
  • IHTM04171 · Dispositions for the maintenance of the transferor’s family: outline of IHTA84/S11
  • IHTM04172 · Dispositions for the maintenance of the transferor's family: definitions
  • IHTM04173 · Dispositions for the maintenance of the transferor's family: maintenance of a spouse or civil partner
  • IHTM04175 · Dispositions for the maintenance of the transferor's family: maintenance of the transferor's children
  • IHTM04176 · Dispositions for maintenance of the transferor's family: maintenance of other people's children
  • IHTM04177 · Dispositions for the maintenance of the transferor’s family: care or maintenance of a dependent relative
  • IHTM04178 · Dispositions for the maintenance of the transferor’s family: meaning of a dependent relative
  • IHTM04179 · Dispositions for maintenance of the transferor's family: meaning of incapacity
  • IHTM04180 · Dispositions for maintenance of the transferor's family: dispositions satisfying IHTA84/S11 in part
  • IHTM04181 · Dispositions for the maintenance of the transferor's family: application to settled property
  • IHTM04191 · Dispositions allowable for income tax or conferring retirement benefits: outline of IHTA84/S12
  • IHTM04192 · Dispositions allowable for income tax or conferring retirement benefits: deductions allowable for income tax
  • IHTM04193 · Dispositions allowable for income tax or conferring retirement benefits: provision by employers for employee's retirements
  • IHTM04251 · Excluded property: introduction
  • IHTM04260 · Foreign `unsettled` property
  • IHTM04261 · Savings of individuals domiciled in Channel Islands or Isle of Man - transfers before 6 April 2025
  • IHTM04262 · Holdings in Open Ended Investment Companies (OEICs) and Authorised Unit Trusts (AUTs)
  • IHTM04263 · Decorations, medals and awards
  • IHTM04271 · Foreign settled property: introduction
  • IHTM04272 · Foreign settled property: when the settlement was made
  • IHTM04273 · Foreign settled property
  • IHTM04274 · Foreign settled property: identifying settled property
  • IHTM04281 · Reversionary interests: introduction
  • IHTM04282 · Reversionary interests: purchased reversions
  • IHTM04283 · Reversionary interests: reversion under own or spouse's/civil partners's settlement
  • IHTM04284 · Reversionary interests: lease for life
  • IHTM04285 · Reversionary interests: interest subject to an annuity
  • IHTM04286 · Reversionary interests: reversions and foreign issues
  • IHTM04291 · Government securities in foreign ownership: introduction
  • IHTM04293 · Government securities in foreign ownership: exclusion from charge to IHT
  • IHTM04294 · Government securities in foreign ownership: type of security and ownership
  • IHTM04295 · Government securities in foreign ownership: ordinary residence
  • IHTM04296 · Government securities in foreign ownership: domicile
  • IHTM04297 · Government securities in foreign ownership: close company with an interest in possession
  • IHTM04298 · Government securities in foreign ownership: relevant property trusts and FOTRA gilts
  • IHTM04299 · Government securities in foreign ownership: conversion to FOTRA gilts and the relevant property trust charge
  • IHTM04300 · Government securities in foreign ownership: anti- avoidance provisions
  • IHTM04301 · Government securities in foreign ownership: exclusion of interest on FOTRA gilts
  • IHTM04302 · Government securities in foreign ownership: exclusion of repayment of Income Tax on FOTRA gilts
  • IHTM04303 · Government securities in foreign ownership: reversionary interest in FOTRA gilts
  • IHTM04304 · Government securities in foreign ownership: FOTRA gilts in unadministered estates
  • IHTM04305 · Government securities in foreign ownership: FOTRA gilts as partnership assets
  • IHTM04306 · Government securities in foreign ownership: list of FOTRA securities in issue at 5 April 1998
  • IHTM04321 · Property of visiting forces: introduction
  • IHTM04322 · Property of visiting forces: qualifying persons
  • IHTM04323 · Property of visiting forces: protection of residence and domicile
  • IHTM04324 · Property of visiting forces: designated countries
  • IHTM04331 · Value left out of account: introduction
  • IHTM04360 · Settled property to which the settlor's spouse, civil partner, widow(er) or surviving civil partner is entitled
  • IHTM04380 · Value left out of account: foreign currency bank accounts
  • IHTM04390 · Value left out of account: overseas pensions
  • IHTM04410 · Value left out of account: interest in possession as remuneration for services as trustee
  • IHTM04341 · Estate Duty surviving spouse exemption: summary
  • IHTM04343 · Estate Duty surviving spouse exemption: application on death
  • IHTM04344 · Estate Duty surviving spouse exemption: application to lifetime events
  • IHTM04345 · Estate Duty surviving spouse exemption: procedures where relief is due
  • IHTM04346 · Estate Duty surviving spouse exemption: procedures where relief is not due
  • IHTM04351 · Reverter to settlor: introduction
  • IHTM04352 · Reverter to settlor: limitations on the relief
  • IHTM04353 · Reverter to settlor: statutory restrictions on relief
  • IHTM04371 · Woodlands: introduction
  • IHTM04373 · Woodlands: the conditions for relief
  • IHTM04374 · Woodlands: the death estate
  • IHTM04375 · Woodlands: the election
  • IHTM04376 · Woodlands: beneficial entitlement under special types of interest
  • IHTM04377 · Woodlands: European Economic Area (EEA) - deaths on or after 22 April 2009
  • IHTM04421 · Compensation for wrongs suffered during World War II: ex-gratia payment to Britons held as prisoners of war by the Japanese
  • IHTM04422 · Compensation for wrongs suffered during World War II: payments to slave or forced labourers or other victims of the German Nationalist Socialist (Nazi) regime
  • IHTM04423 · Compensation for wrongs suffered during World War II: how to apply the relief
  • IHTM04441 · Legal background: the concept of beneficial ownership (England, Wales & Northern Ireland)
  • IHTM04442 · Legal background: connected persons
  • IHTM04470 · Legal background - the meaning of property
  • IHTM04451 · Estate Duty surviving spouse exemption: introduction
  • IHTM04452 · Estate Duty surviving spouse exemption: duty treated as paid in full on the first death
  • IHTM04453 · Estate Duty surviving spouse exemption: restriction on exemption because of non-payment of duty
  • IHTM04454 · Estate Duty surviving spouse exemption: part of fund not dutiable on the first death
  • IHTM04455 · Estate Duty surviving spouse exemption: treatment of income
  • IHTM04456 · Estate Duty surviving spouse exemption: payment of duty ‘in respect of’ any ‘settled property’ since the date of ‘the settlement’
  • IHTM04457 · Estate Duty surviving spouse exemption: meaning of competent to dispose
  • IHTM04458 · Estate Duty surviving spouse exemption: powers where the person is competent to dispose
  • IHTM04459 · Estate Duty surviving spouse exemption: powers where the person is not competent to dispose
  • IHTM04460 · Estate Duty surviving spouse exemption: powers exercisable by will or by deed
  • IHTM04461 · Estate Duty surviving spouse exemption: power to appropriate capital
  • IHTM04462 · Estate Duty surviving spouse exemption: benefits under intestacy (England & Wales)
  • IHTM04463 · Estate Duty surviving spouse exemption: benefits under intestacy and legal rights (Scotland)
  • IHTM04464 · Estate Duty surviving spouse exemption: examples for competency to dispose
  • IHTM04465 · Estate Duty surviving spouse exemption: meaning of parties to a marriage
  • IHTM04311 · Schedule A1/IHTA 84: UK residential property and UK agricultural property
  • IHTM04312 · Schedule A1/IHTA84: close companies and partnership examples
  • IHTM04313 · Para 3 & 4/Schedule A1/IHTA84 relevant loan examples
  • IHTM04314 · Finance (No 2) Act 2017: disposals of company interests, partnership interests, relevant loans and repayments of relevant loans
  • IHTM04315 · Para 7/Sch A1/IHTA84: double taxation arrangements
  • IHTM04316 · Para 6/Schedule A1/IHTA84: targeted anti-avoidance rule and s237(2A)/IHTA: Inland Revenue charge
  • IHTM04317 · Para 20/Schedule 12/Finance Bill 2026: commencement provisions
  • IHTM04142 · Scheme Payments
  • IHTM04174 · Dispositions for the maintenance of the transferor's family: maintenance of children
  • IHTM04342 · Estate Duty surviving spouse exemption: entitlement to relief
  • IHTM04378 · Woodlands: European Economic Area (EEA) - retrospective application for deaths before 22 April 2009
  1. How Inheritance Tax is charged: contents
  2. Estate Duty surviving spouse exemption: payment of duty ‘in respect of’ any ‘settled property’ since the date of ‘the settlement’

IHTM04456 | Estate Duty surviving spouse exemption: payment of duty ‘in respect of’ any ‘settled property’ since the date of ‘the settlement’

From HM Revenue & Customs · Inheritance Tax Manual

The phrases ‘in respect of’ and ‘in respect thereof’ were considered in IRC v Coutts and Co [1964] AC 1393. They were given a wide construction, as a result of which the exemption can apply notwithstanding that on the first death duty was paid not on the settled property itself but only on (and therefore ‘in respect of’) the settled property in which the interest subsisted. For example, the exemption is regarded as applicable in appropriate circumstances to the underlying property despite the fact that duty was paid on the first death on the value of a ‘pur autre vie’ interest in the settled property.

This should be contrasted with the situation where the payment of duty on the first death was on a part only (IHTM04454) of the settled property.

If the payment of duty on the death of the first spouse to die was on a reversionary interest in the settled property, exemption is not available on the death of the surviving spouse unless the reversioner was the settlor s.55 F(1909 - 10)A 1910, and Bunbury v IRC [1973] Ch 1.

The phrases ‘settled property’ and ‘the settlement’ have to be interpreted in the light of the judgements in the Coutts case. Exemption is available only if and to the extent that

  • a claim for duty arises on the second death on the same ‘settled property’ in respect of which duty was paid on the first death, and

  • the second spouse to die was not competent to dispose (IHTM04457) of that ‘settled property’, or any part of it (as distinct from an interest in that settled property) at the date of the second death or at any time during the continuance of ‘the settlement’.

This may give rise to problems of identification, especially in the cases of a chain of dispositions, and of settlements the provisions of which have been subsequently modified. However, if one settlement has been terminated and replaced by another, it may not be easy to trace the ‘settled property’ as a continuing entity through to the second death.

When faced with a situation in which the trusts of a settlement have been terminated or modified between the deaths of the spouses, it is a matter of construction whether the settlement should be regarded as a compound one involving a single comprehensive set of trusts and a single settled fund, or whether the original settlement has come to an end and been replaced by a new one. In borderline cases you should take the view most favourable to the taxpayer. You should apply the following general rules and refer any case of doubt to Technical .

If there has been a measurable interval during which the trust property was not ‘settled property’, you should refuse exemption on the second death, the reason being that the trust property can no longer be regarded as the same ‘settled property’ that bore duty on the first death.

If the trusts of a settlement have merely been modified, you should allow the exemption.

Example

Property settled on husband for life, then to wife for life, then to their son absolutely.

After the husband’s death, the settlement was varied by the wife and son, so that the fund was thereafter held to pay an annuity to the wife for life and, subject thereto, for the son for life with remainder to the grandson.

Exemption is allowed because the trust fund has had a continuing identifiable existence as a trust fund between the two deaths.

If an existing settlement is brought to an end and the property subject to it is immediately resettled on new trusts, without the lapse of a measurable interval during which it was unsettled, you should allow the exemption (if otherwise permissible) even though, on a strict construction of the wording of FA1894/5 (2), it might be argued that the exemption did not apply because the settlement in existence at the first death did not remain on foot at the second death.

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