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Contents

Official guidance
Inheritance Tax Manual

IHTM20000 · Life Policies

  • IHTM20011 · Introduction to life policies: what is a life policy?
  • IHTM20012 · Introduction to life policies: life policies and Inheritance Tax
  • IHTM20021 · Investigating form IHT410: introduction to form IHT410
  • IHTM20022 · Investigating form IHT410: if the answer to Question 1 is Yes
  • IHTM20023 · Investigating form IHT410: if the answer to Question 3 is Yes
  • IHTM20024 · Investigating form IHT410: if the answer to Question 4 is Yes
  • IHTM20025 · Investigating form IHT410: if the answer to Question 7 is Yes
  • IHTM20026 · Investigating form IHT410: if the answer to Question 10 is yes
  • IHTM20027 · Investigating form IHT410: procedure if the answer to Question 10 is Yes
  • IHTM20028 · Investigating form IHT410: if the answer to Question 12 is Yes
  • IHTM20029 · Investigating form IHT410: if the answer to Question 14 is Yes
  • IHTM20041 · Investigating form IHT403: introduction
  • IHTM20042 · Investigating form IHT403: gift of an existing life policy
  • IHTM20043 · Investigating form IHT403: procedure for a gift of an existing life policy
  • IHTM20044 · Investigating form IHT403: payment of premiums on a life policy for the benefit of someone else
  • IHTM20045 · Investigating form IHT403: payment of premiums on a life policy for the benefit of someone else - procedure
  • IHTM20046 · Investigating form IHT403: assignment of the right to a lump sum due under an annuity contract
  • IHTM20061 · Particular situations to look out for: Foundation Insurance (Capital Redemptions) Ltd
  • IHTM20062 · Particular situations to look out for: Midland Life (or HSBC) Cluster Trusts
  • IHTM20081 · Definitions: 'assured' and 'life assured'
  • IHTM20082 · Definitions: 'premium'
  • IHTM20083 · Definitions: 'surrender value' and 'open market value'
  • IHTM20084 · Definitions: 'claim value'
  • IHTM20085 · Definitions: 'insurable interest'
  • IHTM20086 · Definitions: 'sum assured'
  • IHTM20087 · Definitions: 'back-to-back policies'
  • IHTM20088 · Definitions: 'mortgage protection policies' and 'mortgage indemnity guarantees'
  • IHTM20101 · Types of policy: whole life policy
  • IHTM20102 · Types of policy: term, term assurance or temporary policy
  • IHTM20103 · Types of policy: pure endowment policy
  • IHTM20104 · Types of policy: endowment policy or endowment assurance
  • IHTM20105 · Types of policy: with-profits policy
  • IHTM20106 · Types of policy: unit-linked policy
  • IHTM20107 · Types of policy: alternative benefits policy
  • IHTM20141 · Trusts of life policies: introduction
  • IHTM20151 · Trusts of life policies: policy settled on its own trusts: express life interest in favour of settlor
  • IHTM20152 · Trusts of life policies: policy settled on its own trusts: conditions required for policy to be comprised in a settlement
  • IHTM20153 · Trusts of life policies: policy settled on its own trusts: life interest in favour of a beneficiary other than the settlor
  • IHTM20154 · Trusts of life policies: policy settled on its own trusts: examples (England, Wales and Northern Ireland)
  • IHTM20155 · Trusts of life policies: policy settled on its own trusts: examples (Scotland)
  • IHTM20160 · Trusts of life policies: policy settled on other trusts
  • IHTM20170 · Trusts of life policies: general power over the policy proceeds
  • IHTM20181 · Married Women’s Property Act policies: introduction
  • IHTM20182 · Married Women’s Property Act policies: proper law
  • IHTM20183 · Married Women’s Property Act policies: the rule in Phipps v Ackers
  • IHTM20184 · Married Women’s Property Act policies: trustee’s remuneration
  • IHTM20185 · Married Women’s Property Act policies: no trustee appointed
  • IHTM20201 · Policy on the deceased’s life not connected with any other transaction (except a trust): introduction
  • IHTM20202 · Policy on the deceased’s life not connected with any other transaction (except a trust): contracts of life insurance in existence prior to 22 March 2006
  • IHTM20211 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy unconnected with a gift or trust: introduction
  • IHTM20212 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy unconnected with a gift or trust: possible discount
  • IHTM20213 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy unconnected with a gift or trust:
  • IHTM20221 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected by the deceased for their own benefit but gifted later: introduction
  • IHTM20231 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected by the deceased for their own benefit but gifted later: value of policy: general rule
  • IHTM20241 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected by the deceased for their own benefit but gifted later: special rule: introduction
  • IHTM20242 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected by the deceased for their own benefit but gifted later: special rule: exclusions from special rule
  • IHTM20243 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected by the deceased for their own benefit but gifted later: special rule: term assurance policies excluded from special rule
  • IHTM20244 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected by the deceased for their own benefit but gifted later: special rule: modification of the special rule for unit-linked policie
  • IHTM20251 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected for the benefit of someone else from the start: introduction
  • IHTM20252 · Policy on the deceased’s life not connected with any other transaction (except a trust): policy effected for the benefit of someone else from the start: policy contains option to surrender bonuses to the transferor
  • IHTM20300 · Joint life and joint name policies: policies in joint names
  • IHTM20301 · Joint life and joint name policies: introduction
  • IHTM20302 · Joint life and joint name policies: ascertaining the beneficial interests
  • IHTM20303 · Joint life and joint name policies: the situations that can arise and the Inheritance Tax claims that can result
  • IHTM20304 · Joint life and joint name policies: joint mortgage protection policies
  • IHTM20331 · Potentially Exempt Transfer treatment for renewal premiums: payment of premiums for policies in accumulation and maintenance or trusts for disabled persons
  • IHTM20332 · Potentially Exempt Transfer treatment for renewal premiums: payment of premiums for policies gifted to individuals
  • IHTM20351 · Policy based on the life of another not connected with any other transaction (except a trust): introduction
  • IHTM20352 · Policy based on the life of another not connected with any other transaction (except a trust): procedure
  • IHTM20371 · Life policy linked with an annuity: introduction and background
  • IHTM20372 · Life policy linked with an annuity: what to do first
  • IHTM20373 · Life policy linked with an annuity: what to do when the Actuarial Team’s advice is received
  • IHTM20374 · Life policy linked with an annuity: the current statutory position
  • IHTM20375 · Life policy linked with an annuity: the Associated Operations test
  • IHTM20376 · Life policy linked with an annuity: annuity and policy issued by different companies
  • IHTM20377 · Life policy linked with an annuity: deferred annuity contract
  • IHTM20401 · Pure Endowment policy linked with a Term Assurance policy: Introduction
  • IHTM20402 · Differences between PETA and Discounted Gift schemes
  • IHTM20410 · PETA schemes
  • IHTM20421 · Discounted Gift Schemes: introduction
  • IHTM20422 · Discounted Gift Schemes: what to do
  • IHTM20423 · Discounted Gift Schemes: list of Companies and Scheme names
  • IHTM20424 · Discounted Gift Schemes: basic scheme
  • IHTM20425 · Discounted Gift Schemes: quantifying the Inheritance Tax claim
  • IHTM20426 · Discounted Gift Schemes: factors affecting the open market value of the retained rights
  • IHTM20427 · Discounted Gift Schemes: where the transferor’s life was uninsurable at the transfer date
  • IHTM20450 · Capital Conversion or Flexible Funding plans
  • IHTM20501 · Life policy linked with a loan and inheritance trusts: introduction
  • IHTM20502 · Life policy linked with a loan and inheritance trusts: what to do
  • IHTM20503 · Life policy linked with a loan and inheritance trusts: procedure
  • IHTM20511 · Life policy linked with a loan and inheritance trusts: original scheme: how the original scheme typically worked
  • IHTM20512 · Life policy linked with a loan and inheritance trusts: original scheme: legislation designed to counteract scheme
  • IHTM20513 · Life policy linked with a loan and inheritance trusts: original scheme: revised scheme following legislative changes
  • IHTM20521 · Life policy linked with a loan and inheritance trusts: reverse loan scheme: how the reverse loan scheme typically worked
  • IHTM20522 · Reverse loan scheme: legislation designed to counteract reverse loan scheme
  • IHTM20551 · Split or Retained Interest Trusts: Introduction
  • IHTM20552 · Split or Retained Interest Trusts: single lump sum investments
  • IHTM20553 · Split or Retained Interest Trusts: single lump sum investments: further details
  • IHTM20554 · Split or retained interest trusts: single lump sum investments: what to do
  • IHTM20555 · Split or retained interest trusts: regular premium arrangements
  • IHTM20556 · Split or retained interest trusts: regular premium arrangements: further information
  • IHTM20557 · Split or retained interest trusts: regular premium arrangements: what to do
  • IHTM20561 · Flexible Reversionary Trusts: Introduction
  • IHTM20562 · Flexible Reversionary Trusts: further details
  • IHTM20563 · Flexible Reversionary Trusts:what to do
  • IHTM20601 · Countrywide (formerly Premium Life) Assurance Company policies: introduction
  • IHTM20602 · Countrywide (formerly Premium Life) Assurance Company policies: what action to take
  • IHTM20603 · Countrywide (formerly Premium Life) Assurance Company policies: how to identify the two schemes
  • IHTM20611 · Policies with Canadian insurance companies: introduction
  • IHTM20612 · Policies with Canadian insurance companies: the companies concerned
  • IHTM20613 · Policies with Canadian insurance companies: governing law
  • IHTM20631 · Annuities payable to deceased/transferor by insurance companies: introduction
  • IHTM20632 · Annuities payable to deceased/transferor by insurance companies: purchased life annuities: types and potential claims
  • IHTM20633 · Annuities payable to deceased/transferor by insurance companies: annuities ceasing on the death
  • IHTM20634 · Annuities payable to deceased/transferor by insurance companies: annuities which continue after the death
  • IHTM20635 · Annuities payable to deceased/transferor by insurance companies: annuities purchased in joint names
  • IHTM20650 · Technical note on discounted gift schemes issued on 1 May 2007: introduction
  • IHTM20651 · Technical note on discounted gift schemes issued on 1 May 2007: Background
  • IHTM20652 · Technical note on discounted gift schemes issued on 1 May 2007: Inheritance Tax treatment of discounted gift schemes.
  • IHTM20653 · Technical note on discounted gift schemes issued on 1 May 2007: valuation issues
  • IHTM20654 · Technical note on discounted gift schemes issued on 1 May 2007: position where there are joint settlors
  • IHTM20655 · Technical note on discounted gift schemes issued on 1 May 2007: underwriting approach
  • IHTM20656 · Technical note on discounted gift schemes issued on 1May 2007: HMRC’s current basis of valuation
  1. Life Policies: Contents
  2. Life Policies: policy on the deceased’s life not connected with any other transaction (except a trust): contracts of life insurance in existence prior to 22 March 2006

IHTM20202 | Life Policies: policy on the deceased’s life not connected with any other transaction (except a trust): contracts of life insurance in existence prior to 22 March 2006

From HM Revenue & Customs · Inheritance Tax Manual

The position for life insurance policies written into trust before 22 March 2006 is set out in IHTA84/S46A, and life insurance policies written into trust then falling within S.71, at IHTA84/S46B. Individual’s who exercise an option to increase payments into existing life insurance policies after March 2006 will not create fresh relevant property settlements. If after 6 April 2008 a beneficiary of a life policy dies before the life insured, that beneficiary can be replaced without any impact on the treatment of the trust.

For life policies before 22 March 2006, where there is a change of beneficiary for reasons other than death then, in most situations, a charge would not be triggered. For instance, a change of beneficiary during the period up to 6 April 2008 would not result in a charge. If the policy is held in a pre 22 March 2006 Interest in Possession (IIP) Trust in favour of a spouse with the assets in the trust then going absolutely to their children on the spouse’s death, then adding of a new child to the list of ultimate recipients of the money has no effect on the Inheritance Tax position.

If the policy is held in a pre 22 March 2006 S.71 Trust and the trust allows for new beneficiaries to be introduced, then adding a new beneficiary will not trigger a tax charge. The trust will be treated like all other S.71 Trusts, with no charges provided children take the trust assets absolutely at 18.

If a pre- 22 March 2006 IIP trust was written for the benefit of individuals (direct or in sole names) and a further beneficiary was added after 6 April 2008, then the division of the interest(s) to favour the new beneficiary would be treated as a new settlement. This new settlement would trigger a charge on the amount over the nil rate band.

Section 46A provides for cases where such a policy was, on 22nd March 2006, settled property in which the interest in possession subsisted. As long as the IIP lasts, the policy continues to be treated as property settled before 22nd March 2006.

Where premiums are paid on or after 22nd March 2006 S46A deems those rights settled, and to have become property in which the IIP subsists, before 22nd March 2006.

What if the contract was varied on or after 22nd March 2006? Wherever the provisions of a contract are altered, it is always possible that it is not a variation (the same contract with changes) but is an entirely new contract. Where there is a straightforward variation, you must check that if any new rights arise from the variation they become property comprised in the settlement, and are treated as having been settled before 22nd March 2006. But, this is limited to variations made in exercise of rights conferred by the pre 2006 provisions of the policy or made by the automatic operation of those provisions. In most cases it will be clear that nothing new is settled: if all the rights and benefits under the policy are already settled, it may be the case that any enhancements were settled when the settlement was created. However, new rights may arise not by the variation as such, but when premiums are paid after the variation. Where the changes amount to there being a new contract, either the parties to the policy will have changed or the contract will be fundamentally different.

Section 46A provides protection to the interest in possession that subsisted before 22 March 2006 but also extends to any transitional serial interest that, under the settlement, subsists in the policy

Example

A life insurance policy is written into trust for the benefit of two children (each has a 50% share). Then a third child is born and added to the list of beneficiaries (and each ends up with a 33% share).

  • If this happens before 2006 or before 2008: The two older children each make a transfer to the new child, worth 1/6 of the policy each. This is a PET and so chargeable to Inheritance Tax if they die within 7 years

  • If this happens after April 2008: The two older children each make a transfer to the new child, again worth 1/6 of the policy each. Each of these transfers is now immediately chargeable - but only if over the threshold (£312,000 in 2008).

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