Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Inheritance Tax Manual

IHTM24000 · Agricultural relief

  • IHTM24001 · Introduction: introduction to agricultural relief
  • IHTM24011 · Overview of agricultural relief: outline of the relief
  • IHTM24012 · Overview of agricultural relief: General conditions
  • IHTM24013 · Overview of agricultural relief Information sources
  • IHTM24014 · Overview of agricultural relief: Reviewing the information
  • IHTM24015 · Overview of agricultural relief: Sole farming businesses
  • IHTM24016 · Overview of agricultural relief: Farming partnerships
  • IHTM24017 · Overview of agricultural relief: deceased as landlord
  • IHTM24020 · Unlisted shares: Introduction
  • IHTM24021 · Unlisted shares: Sale within three years of death
  • IHTM24022 · Unlisted shares: Rate of relief
  • IHTM24023 · Unlisted shares: Occupation and ownership tests
  • IHTM24024 · Unlisted shares: Replacements
  • IHTM24030 · Agricultural property: definition of agricultural property
  • IHTM24031 · Agricultural property: definition of agricultural land or pasture
  • IHTM24032 · Agricultural property: Woodlands
  • IHTM24033 · Agricultural property: Buildings used for the intensive rearing of livestock or fish
  • IHTM24034 · Agricultural property: Farm cottages
  • IHTM24035 · Agricultural property: farm buildings
  • IHTM24036 · Agricultural property: Farmhouses
  • IHTM24037 · Agricultural property: Agricultural ‘property’
  • IHTM24038 · Agricultural property: Scotland
  • IHTM24039 · Agricultural property: Fishing and sporting rights
  • IHTM24040 · Agricultural property: Contracts and trusts for sale
  • IHTM24050 · Character appropriate: Introduction
  • IHTM24051 · Character appropriate: Farmhouses
  • IHTM24052 · Character appropriate: How are the factors to be balanced
  • IHTM24053 · Character appropriate: Golding v HMRC [2011] UKFTT 351 (TC)
  • IHTM24060 · Agricultural purposes: Introduction
  • IHTM24061 · Agricultural purposes: Qualifying uses of land
  • IHTM24062 · Agricultural purposes: Other uses of land
  • IHTM24063 · Agricultural purposes: short rotation coppice
  • IHTM24064 · Agricultural purposes: Set-aside scheme
  • IHTM24065 · Agricultural purposes: Qualifying uses of land: the habitat scheme
  • IHTM24066 · Agricultural purposes: the countryside stewardship scheme
  • IHTM24067 · Agricultural purposes: Farm Woodland Premium Scheme and other agri-environmental schemes
  • IHTM24068 · Agricultural purposes: Stud farms
  • IHTM24070 · Occupation: Introduction
  • IHTM24071 · Occupation: The occupation condition
  • IHTM24072 · Occupation: When is property occupied?
  • IHTM24073 · Occupation: Land Let on Grazing Licence
  • IHTM24074 · Occupation: Definition of a lease as opposed to a licence
  • IHTM24075 · Occupation: Northern Ireland
  • IHTM24076 · Occupation: When is property not occupied?
  • IHTM24080 · Share farming and contract farming agreements: Introduction
  • IHTM24081 · Share farming and contract farming agreements: Share farming
  • IHTM24082 · Share farming and contract farming agreements: Contract farming
  • IHTM24090 · Occupation of farmhouses, cottages and farm buildings: Introduction
  • IHTM24091 · Occupation of farmhouses, cottages and farm buildings: Farmhouses
  • IHTM24092 · Occupation of farmhouses, cottages and farm buildings: Cottages
  • IHTM24093 · Occupation of farmhouses, cottages and farm buildings: Farm buildings
  • IHTM24100 · Ownership: Introduction
  • IHTM24101 · Ownership: The meaning of ownership
  • IHTM24102 · Ownership: Reversionary interests
  • IHTM24110 · Replacement property: Introduction
  • IHTM24111 · Replacement property: Application of IHTA84/S118
  • IHTM24112 · Replacement property: Limitation of the relief
  • IHTM24113 · Replacement property: Example of limiting the relief
  • IHTM24114 · Replacement property: Interaction with business relief
  • IHTM24120 · Successions: Introduction
  • IHTM24121 · Successions: Application of IHTA84/S120
  • IHTM24122 · Successions: The occupation requirement
  • IHTM24123 · Successions: Example of the occupation requirement
  • IHTM24124 · Successions: Example of occupation by a company
  • IHTM24125 · Successions: Application with the transitional provisions (working farmer relief)
  • IHTM24130 · Successive transfers: Introduction
  • IHTM24131 · Successive transfers: Application of IHTA84/S121
  • IHTM24132 · Successive transfers: The occupation condition
  • IHTM24133 · Successive transfers: Limitations on relief
  • IHTM24134 · Successive transfers: Examples of relief
  • IHTM24140 · The rate of relief: Introduction
  • IHTM24141 · The rate of relief: Vacant possession and the higher rate of relief example of occupation by a company
  • IHTM24142 · The rate of relief: Grazing licences and the higher rate of relief
  • IHTM24143 · The rate of relief: Tenancies created on or after 1 September 1995 and the higher rate of relief
  • IHTM24144 · The rate of relief: Vacant possession and extra statutory concession F17
  • IHTM24145 · The rate of relief: Transitional provisions for relief (working farmers’ relief) at the higher rate for let land
  • IHTM24150 · Value and Valuation: Agricultural value of agricultural property
  • IHTM24151 · Value and Valuation: Excess of value over agricultural value, interaction with business relief
  • IHTM24152 · Value and Valuation: Treatment of mortgages and debts
  • IHTM24153 · Value and Valuation: Partnership interests
  • IHTM24154 · Value and Valuation: Buildings and fixtures erected by tenant farmers
  • IHTM24155 · Value and Valuation: Interaction with exemptions
  • IHTM24160 · The District Valuer: Introduction
  • IHTM24161 · The District Valuer: general issues
  • IHTM24162 · The District Valuer: Extent of agricultural property in the estate
  • IHTM24163 · The District Valuer: Investigation of character appropriate before the VOA referral
  • IHTM24164 · The District Valuer: VOA interim report
  • IHTM24165 · The District Valuer: Role of the District Valuer
  • IHTM24166 · The District Valuer: Character appropriate
  • IHTM24167 · The District Valuer: Additional advice on agricultural property
  • IHTM24170 · Lifetime transfers: Introduction
  • IHTM24171 · Lifetime transfers: Transfer of part of an agricultural holding
  • IHTM24172 · Lifetime transfers: Additional conditions
  • IHTM24173 · Lifetime transfers: The four additional conditions
  • IHTM24174 · Lifetime transfers: The ‘original property’
  • IHTM24175 · Lifetime transfers: Where shares or securities are the ‘original property’
  • IHTM24176 · Lifetime transfers: Continuing ownership
  • IHTM24177 · Lifetime transfers: The remaining agricultural property
  • IHTM24178 · Lifetime transfers: Continuing occupation
  • IHTM24179 · Lifetime transfers: The transferee
  • IHTM24180 · Lifetime transfers: Failure to satisfy the additional conditions
  • IHTM24181 · Lifetime transfers: Replacement property (other than shares or securities)
  • IHTM24182 · Lifetime transfers: Replacement property: shares or securities
  • IHTM24200 · Gifts with reservation of benefit: Introduction
  • IHTM24201 · Gifts with reservation of benefit: Qualifying conditions (excluding shares and securities)
  • IHTM24202 · Gifts with reservation of benefit: Agricultural property at the time of the GWR charge
  • IHTM24203 · Gifts with reservation of benefit: Qualifying conditions for shares and securities
  • IHTM24204 · Gifts with reservation of benefit: Interaction with business relief for shares and securities
  • IHTM24205 · Gifts with reservation of benefit: Notional transfer by the donee
  • IHTM24206 · Gifts with reservation of benefit: Disposal of gifted property by the donee
  • IHTM24210 · Agricultural tenancies: Introduction
  • IHTM24211 · Agricultural tenancies: Overview of the legislation 1948 to 1995
  • IHTM24212 · Agricultural tenancies: The Agricultural Holdings (Scotland) Act 2003
  • IHTM24213 · Agricultural tenancies: The Crofting Acts
  • IHTM24220 · Agricultural Holdings Act 1986: what is an agricultural holding?
  • IHTM24221 · Agricultural Holdings Act 1986: the protected annual tenancy
  • IHTM24222 · Agricultural Holdings Act 1986: extension to statutory protection
  • IHTM24223 · Agricultural Holdings Act 1986: Exceptions to statutory protection
  • IHTM24224 · Agricultural Holdings Act 1986: security of tenure
  • IHTM24225 · Agricultural Holdings Act 1986: sub-tenancies of agricultural land
  • IHTM24226 · Agricultural Holdings Act 1986: succession to agricultural holdings
  • IHTM24230 · Inheritance tax implications of the AHA 1986 and Agricultural Holdings (Scotland) Act 1991: Introduction
  • IHTM24240 · Agricultural Tenancies Act 1995: Introduction
  • IHTM24241 · Agricultural Tenancies Act 1995: Tenancies excluded from the 1995 Act
  • IHTM24242 · Agricultural Tenancies Act 1995: The contract of an ATA 1995 Act tenancy
  • IHTM24243 · Agricultural Tenancies Act 1995: Inheritance tax implications of the ATA 1995
  • IHTM24253 · Other issues: Comparison with the income tax provisions (for farming and exploitation of land)
  • IHTM24254 · Other issues: Payments and grants
  • IHTM24255 · Other issues: Form IHT414
  • IHTM24256 · European Economic Area (EEA) - transfers of value on or after 22nd April 2009
  • IHTM24300 · Environmental Management Agreements: Introduction
  • IHTM24301 · Environmental Management Agreements: Qualifying agreements
  • IHTM24302 · Environmental Management Agreements: Agricultural property
  • IHTM24303 · Environmental Management Agreements: Character appropriate
  • IHTM24304 · Environmental Management Agreements: Occupation and ownership
  • IHTM24305 · Environmental Management Agreements: Agricultural value
  • IHTM24306 · Environmental Management Agreements: Historic agreements
  • IHTM24307 · Environmental Management Agreements: AR after the end of a qualifying agreement
  • IHTM24308 · Environmental Management Agreements: Investigation
  • IHTM24083 · When is property not occupied?
  • IHTM24250 · Other issues: Milk quotas
  • IHTM24251 · Other issues: Valuing milk quotas
  • IHTM24252 · Other issues: Sugar Beet Quotas
  • IHTM24257 · European Economic Area (EEA) - retrospective application for transfers of value before 22 April 2009
  1. Agricultural relief: contents
  2. Other issues: Comparison with the income tax provisions (for farming and exploitation of land)

IHTM24253 | Other issues: Comparison with the income tax provisions (for farming and exploitation of land)

From HM Revenue & Customs · Inheritance Tax Manual

Where land is owned by an individual and that land is a source of income or profits for the individual or another person, the profits are chargeable to income tax (or corporation tax). The way in which those profits are taxed can provide a useful indication of the purpose for which the land is occupied and whether or not this is an agricultural purpose. It should not, however, be treated as conclusive for inheritance tax purposes as there are different factors to take into account for the different taxes.

Profits from income that arises from farming and from the exploitation of land may be taxed in two ways, either as profits from a trade or as profits from a property business. You will see profits from a trade reported in an individual’s income tax self-assessment return usually as income from self-employment or from a partnership. Profits from a property business fall under the heading of land and property.

Where a business is carried on by another person, for example a company or a trust, on land owned by an individual then the individual’s income tax self-assessment return may include dividends, income from employment or income from trusts. In these cases, it is necessary to look at how that other person is taxed to determine whether the profits are taxed as from a trade or from a property business.

If land is in use for the purposes of a farming business and the profits from that business are taxed as profits from a trade (either under sections 5 and 9 ITTOIA 2005 or under section 18 ICTA 1988, Case 1 Schedule D) then it is likely that the land is also occupied for agricultural purposes for inheritance tax. However, there are exceptions to that general principle and you should not base your decision only on the income tax treatment.

Unlike most trades, there are statutory definitions of farming and market gardening in section 996 ITA 2007.

“Farming” means the occupation of land wholly or mainly for the purposes of husbandry and includes hop growing, the breeding and rearing of horses and grazing of horses in connection with those activities, and the cultivation of short rotation coppice. “Market gardening” means the occupation of land as a garden or nursery for the purpose of growing produce for sale.

All farming is treated as a trade even if the normal badges of trade are absent, for example breeding horses as a hobby. All the farming carried on in the United Kingdom by a particular person (or partnership, or body of persons) should be treated as a single trade. (But, where an individual carries on farming activities both as a sole trader and as a partner, or as a member of two different partnerships, the separate activities are treated as separate trades.) The profits of a person who carries on farming activities, in the same capacity, at more than one farm should be computed in a single sum.

In contrast, a property business consists of every business which a person carries on for generating income from land, which is itself defined as exploiting an estate, interest or right in or over land as a source of rents or other receipts. Certain activities including farming, market gardening and other commercial occupation treated as a trade are excluded from being a property business. The profits of a property business are taxed under section 268 ITTOIA 2005 or section 15 ICTA 1988 (Schedule A).

The distinction between land occupied for the purpose of farming and land occupied by a property business is less important for income tax purposes, where all the profits are taxed one way or another, than it is for inheritance tax purposes. For inheritance tax, land occupied for agricultural purposes may qualify for agricultural property relief at 100% or 50% (business property relief may also need to be considered) but land exploited for rental income may get no relief at all. It is important, then, to consider all the facts and to use the income tax treatment only as an indicator of the purpose of occupation and not as determinative.

Further information about the income tax treatment of farming activities can be found in the Business Income Manual.

PreviousNext
PrivacyTerms