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Contents

Official guidance
Inheritance Tax Manual

IHTM16000 · Settled Property

  • IHTM16022 · General procedure: form IHT418
  • IHTM16023 · General procedure: form IHT100
  • IHTM16024 · General procedure: the event forms
  • IHTM16025 · General procedure: investigation
  • IHTM16030 · Introduction to settled property: What is a trust?
  • IHTM16041 · Definition of a settlement for IHT: introduction
  • IHTM16042 · Definition of a settlement: the statutory definition
  • IHTM16050 · Introduction to settled property: the trustees
  • IHTM16060 · Interests in possession: introduction
  • IHTM16061 · Interests in possession: Finance Act 2006 and the new trust regime
  • IHTM16062 · Interests in possession: definition of an interest in possession
  • IHTM16063 · Interests in possession: the effects of S49 and S49(1A)
  • IHTM16064 · Interests in possession: what happens if consideration is given
  • IHTM16065 · Interests in possession: powers of accumulation
  • IHTM16066 · Interests in possession: what if there is no income?
  • IHTM16067 · Interests in possession: Administrative Powers
  • IHTM16068 · Interests in possession: Absolute trusts for minors (England and Wales)
  • IHTM16071 · Proper liferents (Scotland): introduction
  • IHTM16072 · Proper liferents (Scotland): IHT position
  • IHTM16074 · Addition of settled property or value: introduction
  • IHTM16075 · Interests in possession: addition of settled property or value: additions of property after 22 March 2006
  • IHTM16076 · Interests in possession: addition of settled property or value: additions of value after 22 March 2006
  • IHTM16077 · Interests in possession: addition of settled property or value: difficult cases and examples
  • IHTM16078 · Interests in possession: addition of settled property or value: difficult cases and examples: additions of value
  • IHTM16081 · Settled property exemptions: exemptions on death
  • IHTM16082 · Settled property exemptions: exemptions on lifetime transfers
  • IHTM16083 · Settled property exemptions: annual exemptions
  • IHTM16084 · Settled property exemptions: restrictions when a reversionary interest is acquired
  • IHTM16091 · Termination of interest in possession: the effect of terminating the interest
  • IHTM16092 · Termination of interest in possession: when the life tenant becomes entitled to the property on termination
  • IHTM16093 · Termination of interest in possession: disposal for consideration
  • IHTM16094 · Termination of interest in possession: deduction of costs
  • IHTM16101 · Interest in part of a fund: introduction
  • IHTM16102 · Interest in part of a fund: value of a share
  • IHTM16103 · Interest in part of a fund: use and enjoyment of part
  • IHTM16110 · Survivorship clauses in a will
  • IHTM16121 · Reverter to settlor: on death of life tenant
  • IHTM16122 · Reverter to settlor: in lifetime
  • IHTM16123 · Reverter to settlor: Double Charges Relief
  • IHTM16131 · Rights of residence: introduction
  • IHTM16132 · Rights of residence: action in Primary Compliance & Support
  • IHTM16133 · Rights of residence: action in Compliance Group
  • IHTM16134 · Rights of residence: the leading case
  • IHTM16135 · Rights of residence: a single beneficiary
  • IHTM16136 · Rights of residence: more than one beneficiary
  • IHTM16137 · Rights of residence: has someone taken up the right of occupation?
  • IHTM16138 · Rights of residence: has someone ceased to occupy his or her main residence?
  • IHTM16139 · Rights of residence: joint ownership
  • IHTM16150 · Surviving spouse exemption
  • IHTM16151 · Quick Succession Relief
  • IHTM16161 · Foreign Property in a trust: introduction
  • IHTM16162 · Foreign Property in a trust: when is foreign property excluded property?
  • IHTM16163 · Foreign Property in a trust: FOTRA securities
  • IHTM16164 · Foreign Property in a trust: deemed domicile
  • IHTM16171 · Accrued and apportioned income: accrued income
  • IHTM16172 · Accrued and apportioned income: apportioned income
  • IHTM16180 · Disclaimers
  • IHTM16191 · Leases for life: introduction
  • IHTM16192 · Leases for life: what happens if consideration was given?
  • IHTM16200 · Bankruptcy
  • IHTM16211 · Annuities: what is an annuity?
  • IHTM16212 · Annuities: how to calculate the capital value
  • IHTM16213 · Annuities: examples
  • IHTM16214 · Annuities: calculations where an annuity is secured on land
  • IHTM16220 · Rights in residue
  • IHTM16221 · Interest in possession for services as trustee
  • IHTM16231 · Reversions: what is a reversion for IHT?
  • IHTM16232 · Reversions: treatment for IHT
  • IHTM16233 · Reversions: purchased or mortgaged reversions
  • IHTM16241 · Close companies and settled property: introduction
  • IHTM16242 · Close companies and settled property: how to investigate
  • IHTM16243 · Close companies and settled property: the taxable amount
  • IHTM16244 · Close companies and settled property: foreign element
  • IHTM16245 · Close companies and settled property: alterations in capital or rights
  • IHTM16246 · Close companies and settled property: close company entitled to interest in possession
  • IHTM16247 · Close companies and settled property: example
  • IHTM16248 · Close companies and settled property; example of altering rights
  • IHTM16260 · Interest for another person's life
  • IHTM16021 · General procedure: incoming post
  1. Settled Property: contents
  2. Foreign Property in a trust: when is foreign property excluded property?

IHTM16162 | Foreign Property in a trust: when is foreign property excluded property?

From HM Revenue & Customs · Inheritance Tax Manual

From 6 April 2025 the rules relating to the excluded property (IHTM04251) status of foreign settled property (IHTM04271) changed.

Chargeable events on or after 6 April 2025

Foreign property comprised within a settlement is excluded property (IHTM16162) at times on or after 6 April 2025 when:

Content shown with reduced fidelity

the settlor is living and is not a long-term UK resident (IHTM47000) at times after the settlor’s death: if the settlor died on or after 6 April 2025, if the settlor was not a long-term UK resident at their death if the settlor died before 6 April 2025 and was not domiciled in the UK when the property became comprised in the settlement. A further condition applies to qualifying interest in possession settlements (IHTM16061) which provides that foreign property is only excluded property at times on or after 6 April 2025 if the life tenant is also not a long-term UK resident. This condition does not apply where the settlor died before 6 April 2025.

Transitional Rule

Certain qualifying interest in possession and gift with reservation charges do not apply if the settled property was excluded property under the old (pre-6 April 2025) excluded property rules as at 30 October 2024 (IHTM47022).

Chargeable events before 6 April 2025

If the chargeable event arose before 6 April 2025, foreign property within a settlement was excluded property if the settlor was not domiciled (IHTM13000) in the UK at the time the property became comprised in the settlement (or in relation to property that was added later, at the time the addition was made). The deemed domiciled provisions under IHTA84/S267 apply for this purpose (IHTM13024). Further information on additions of property and value to existing settlements can be found at IHTM16074.

Exceptions

See IHTM13061 where the Settlor is a Formerly Domiciled Resident in a year of charge before 6 April 2025.

See IHTM04286 for the rules relating to reversionary interests in the property.

Purchased life interests

It became clear that UK-domiciled individuals were exploiting this exemption by purchasing interests in pre-existing trusts originally settled by non-UK–domiciled settlers. IHTA/S48 (3B), now within IHTA/S48ZA(6), was originally introduced by the Finance Act 2006 to prevent this. This provides that property is not excluded property if:

  • An individual is, or has been, beneficially entitled to an interest in possession in the property at any time

  • At any time after 6 April 2025 while long-term UK resident or

  • At any time before that date while domiciled in the UK and,

  • Their entitlement arose directly or indirectly as a result of a disposition for consideration in money or money’s worth made on or after 5 December 2005.

It does not matter whether the consideration was given by the individual with the interest in possession or by someone else; and cases in which an entitlement arose indirectly include entitlements arising under a will or the law relating to intestacy.

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