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Contents

Official guidance
Inheritance Tax Manual

IHTM25000 · Business relief and businesses

  • IHTM25001 · Introduction
  • IHTM25011 · Investigating business relief and businesses: Introduction
  • IHTM25012 · Investigating business relief and businesses: Reviewing form IHT413 or D38
  • IHTM25021 · Investigation in 100% relief cases: Introduction
  • IHTM25051 · Valuing businesses and partnerships: What is a business?
  • IHTM25052 · Valuing businesses and partnerships: Business accounts
  • IHTM25053 · Valuing businesses and partnerships: liabilities - restricted reductions
  • IHTM25060 · Valuing businesses and partnerships: Business terms
  • IHTM25081 · Valuing the business: Investigating the profit and loss account
  • IHTM25082 · Valuing the business: Investigating the balance sheet
  • IHTM25083 · Valuing the business: Adjusting the capital account
  • IHTM25091 · What is a partnership: Introduction
  • IHTM25092 · What is a partnership: Investigating partnership deeds
  • IHTM25093 · What is a partnership: Cases where there are no deeds
  • IHTM25094 · What is a partnership: Limited liability partnerships
  • IHTM25101 · Valuing the partnership interest: Introduction
  • IHTM25102 · Valuing the partnership interest: Partnership share
  • IHTM25103 · Valuing the partnership interest: The balance sheet
  • IHTM25104 · Valuing the partnership interest: Freehold and leasehold property
  • IHTM25105 · Valuing the partnership interest: Agricultural land tenanted by a partnership
  • IHTM25106 · Valuing the partnership interest: Agricultural land owned by deceased and occupied by a partnership
  • IHTM25108 · Valuing the partnership interest: Goodwill
  • IHTM25109 · Valuing the partnership interest: Livestock
  • IHTM25110 · Valuing the partnership interest: Other assets
  • IHTM25111 · Valuing the partnership interest: Sales
  • IHTM25112 · Valuing the partnership interest: Income Tax
  • IHTM25120 · Valuing businesses and partnerships: Fetters
  • IHTM25121 · Valuing Businesses and Partnerships: Relationship between Business and Agricultural relief
  • IHTM25122 · Valuing Businesses and Partnerships: Instalments
  • IHTM25123 · Valuing Businesses and Partnerships: Partnerships and lifetime transfers
  • IHTM25131 · Business relief: Outline of business relief
  • IHTM25141 · Relevant Business Property: Investigating Relevant Business Property
  • IHTM25151 · Business interests: Rate of relief
  • IHTM25152 · Business interests: Property consisting of a business or a business interest
  • IHTM25153 · Business interests: Meaning of “business”
  • IHTM25154 · Business interests: Settled property
  • IHTM25171 · Unquoted securities - control holding: Securities within S105(1)(b)
  • IHTM25172 · Unquoted securities - control holding: When is the transferor required to have control?
  • IHTM25191 · Other holdings of unquoted shares: Rate of relief
  • IHTM25192 · Other holdings of unquoted shares: Meaning of unquoted for business relief purposes
  • IHTM25193 · Other holdings of unquoted shares: American Depositary Receipts
  • IHTM25201 · Control holdings of quoted shares or securities: Rate of relief
  • IHTM25202 · Control holdings of quoted shares or securities: Transfers and shares within IHTA84/S105 (1)(cc)
  • IHTM25221 · Land and buildings, machinery and plant: Rate of relief
  • IHTM25222 · Land and buildings, machinery and plant: Property within IHTA84/S105 (1)(d)
  • IHTM25223 · Land and buildings, machinery and plant: Additional user requirement
  • IHTM25224 · Land and buildings, machinery and plant: Transferor's interest in the occupying company or partnership
  • IHTM25225 · Land and buildings, machinery and plant: Property used by a partnership
  • IHTM25226 · Land and buildings, machinery and plant: Settled property
  • IHTM25227 · Land and buildings, machinery and plant: Machinery or plant
  • IHTM25241 · Settled property used in the life tenant's business: Rate of relief
  • IHTM25242 · Settled property used in the life tenant's business: Property within IHTA84/S105 (1)(e)
  • IHTM25243 · Settled property used in the life tenant's business: Scope of IHTA84/S105 (1)(e) in practice
  • IHTM25250 · Other relevant business property: Partnership interests
  • IHTM25251 · Other relevant business property: Woodlands syndicates
  • IHTM25252 · Other relevant business property: Agri-environment schemes
  • IHTM25253 · Other relevant business property: Land used under the Woodland and Peatland Carbon Codes
  • IHTM25261 · Investment businesses: Introduction
  • IHTM25262 · Investment businesses: Exceptions
  • IHTM25263 · Investment businesses: Holding companies
  • IHTM25264 · Investment businesses: Holding company and LLP examples
  • IHTM25265 · Business relief: Investment businesses: Wholly or mainly
  • IHTM25266 · Business relief: Investment businesses: Property based businesses
  • IHTM25271 · Business relief: Investment businesses: Property letting
  • IHTM25272 · Business relief: Investment businesses: Property consisting of a business
  • IHTM25273 · Business relief: Investment businesses: Meaning of 'investment'
  • IHTM25274 · Business relief: Investment businesses: Land as a business asset
  • IHTM25275 · Business relief: Investment businesses: Lettings of commercial premises
  • IHTM25276 · Business relief: Investment businesses: Furnished lettings
  • IHTM25277 · Business relief: Investment businesses: Hotels, Bed and Breakfast, Residential Homes, and other accommodation
  • IHTM25278 · Business relief: Investment businesses: Holiday lettings
  • IHTM25279 · Business relief: Investment businesses:Caravan sites
  • IHTM25280 · Business relief: Investment businesses: Other lettings
  • IHTM25291 · Contracts for sale: Introduction
  • IHTM25292 · Contracts for sale: Shareholdings and partnership interests
  • IHTM25301 · The ownership test: Introduction
  • IHTM25302 · The ownership test: Meaning of ownership
  • IHTM25303 · The ownership test: Changes in the nature of the business
  • IHTM25310 · Business relief: Replacement property: Introduction
  • IHTM25311 · Business relief: Replacement property: Conditions
  • IHTM25313 · Business relief: Replacement property: Limitation of relief
  • IHTM25314 · Business relief: Replacement property: Minority holdings of unquoted shares
  • IHTM25321 · Successions: Introduction
  • IHTM25331 · Successive transfers: Introduction
  • IHTM25333 · Successive transfers: Limitation of relief
  • IHTM25341 · Assets excluded from relief: Introduction
  • IHTM25342 · Assets excluded from relief: Assets not used in the business
  • IHTM25351 · Excepted assets: Introduction
  • IHTM25352 · Excepted assets: Future use
  • IHTM25353 · Excepted assets: Assets used for personal benefit
  • IHTM25354 · Excepted assets: Part business use of land or buildings
  • IHTM25361 · Lifetime transfers - additional conditions: Introduction
  • IHTM25363 · Lifetime transfers - additional conditions: The two conditions
  • IHTM25364 · Lifetime transfers - additional conditions: Continuing ownership
  • IHTM25365 · Lifetime transfers - additional conditions: Remaining business property
  • IHTM25366 · Lifetime transfers - additional conditions: Transfers of shares and securities
  • IHTM25367 · Lifetime transfers - additional conditions: The transferee
  • IHTM25368 · Lifetime transfers - additional conditions: Failure to satisfy the conditions
  • IHTM25369 · Lifetime transfers - additional conditions: Replacement property
  • IHTM25370 · Lifetime transfers - additional conditions: Replacement property (additional rule for shares or securities)
  • IHTM25381 · Gifts with reservation: Introduction
  • IHTM25382 · Gifts with reservation: Notional transfer
  • IHTM25383 · Gifts with reservation: Rate of relief on shares or securities
  • IHTM25384 · Gifts with reservation: Replacement property
  • IHTM25500 · AR/BR 100% relief allowance: Section Overview
  • IHTM25510 · AR/BR 100% relief allowance: overview
  • IHTM25520 · AR/BR 100% relief allowance: individuals
  • IHTM25521 · AR/BR 100% relief allowance: individuals - transitional provisions
  • IHTM25522 · AR/BR 100% relief allowance: individuals - interests in possession within IHTA84/S49
  • IHTM25523 · AR/BR 100% relief allowance: individuals – apportionment – more than one chargeable transfer
  • IHTM25524 · AR/BR 100% relief allowance: individuals – apportionment – different titles of the estate on death
  • IHTM25530 · AR/BR 100% relief allowance: transfer of unused allowance
  • IHTM25531 · AR/BR 100% relief allowance: transfer of unused allowance – basic principles
  • IHTM25532 · AR/BR 100% relief allowance: transfer of unused allowance- focus is on extent to which the 100% relief allowance is unused 
  • IHTM25533 · AR/BR 100% relief allowance: transfer of unused allowance - how to make the claim
  • IHTM25534 · AR/BR 100% relief allowance: transfer of unused allowance – time limits for claim
  • IHTM25535 · AR/BR 100% relief allowance: transfer of unused allowance - claims by people other than the personal representatives
  • IHTM25536 · AR/BR 100% relief allowance: transfer of unused allowance- reviewing form IHT 437
  • IHTM25537 · AR/BR 100% relief allowance: transfer of unused allowance - how the amount to be transferred is calculated
  • IHTM25538 · AR/BR 100% relief allowance: transfer of unused allowance - calculation where there is a lifetime transfer
  • IHTM25539 · AR/BR 100% relief allowance: transfer of unused allowance – calculation where the survivor has been married to more than one spouse or been in more than one civil partnership  
  • IHTM25540 · AR/BR 100% relief allowance: transfer of unused allowance - calculation where the survivor was married to, or in a civil partnership with, someone who was entitled to 100% transferable allowance where no claim was made on the earlier death
  • IHTM25541 · AR/BR 100% relief allowance: transfer of unused allowance - simultaneous deaths
  • IHTM25550 · APR/BPR 100% relief allowance: settlements - overview
  • IHTM25551 · APR/BPR 100% relief allowance: settlements - “pre-commencement settlements”
  • IHTM25552 · AR/BR 100% relief allowance: settlements - relevant property settlements
  • IHTM25553 · AR/BR 100% relief allowance: settlements - transitional period - temporary relaxation of ownership and occupation conditions
  • IHTM25554 · AR/BR 100% relief allowance: settlements - special trusts (other than age 18-to-25 trusts)
  • IHTM25555 · AR/BR 100% relief allowance: settlements - 18-25 trusts
  • IHTM25570 · AR/BR: 50% rate – unlisted shares and securities
  • IHTM25580 · AR/BR 50% rate: instalment option
  • IHTM25022 · Investigation in 100% relief cases: Business interests - chart for relief on death
  • IHTM25023 · Investigation in 100% relief cases: Business interests - chart for relief on potentially exempt transfers
  • IHTM25024 · Investigation in 100% relief cases: Business interests - chart for relief on chargeable lifetime transfers
  • IHTM25107 · Valuing the partnership interest: Milk quotas
  • IHTM25113 · Valuing the partnership interest: Adjusting the deceased's capital account
  • IHTM25312 · Replacement property: chart
  • IHTM25322 · Successions: chart
  • IHTM25332 · Successive transfers: chart
  • IHTM25362 · Lifetime transfers - additional conditions: chart
  1. Business relief and businesses: Contents
  2. Business relief: Investment businesses: Holiday lettings

IHTM25278 | Business relief: Investment businesses: Holiday lettings

From HM Revenue & Customs · Inheritance Tax Manual

HMRC’s view is that furnished holiday lets will in general not qualify for business property relief. The income derived from such businesses will largely consist of rent in return for the occupation of property. There may however be cases where the level of additional services provided is so high that the activity can be considered as non-investment, and each case needs to be treated on its own facts.

Our view was confirmed at the Upper Tribunal in the case of Commissioners for HMRC v Lockyer and another, Personal Representatives of Pawson ( deceased) [2013] UKUT 50 (TCC), which concerned a single bungalow on the Suffolk coast.

The Tribunal found that the various activities carried on, including

  • the taking of active steps to find occupants,

  • making the necessary arrangements with them,

  • collecting payment of the rent,

  • spending on repairs, redecoration and improvement of the property,

  • maintenance of the garden and grounds to keep them in a tidy condition,

  • keeping the property insured

were activities that fell on the investment side of the line.

Services provided, such as cleaning, the provision of heating and hot water, provision of a welcome pack, and being on call to deal with queries and emergencies, were not of such a nature and extent that they prevented the business from being mainly one of holding an investment.

In his decision, Henderson J provided a clear summary of the relevant case law, including Martin/Moore (IHTM25275), George (IHTM25279) and McCall (IHTM25280) and, drawing on Carnwath LJ’s judgement in George, stated

“In any normal property letting businesses, the provision of additional services or facilities of a non-investment nature will either be incidental to the business of holding the property as an investment, or at least will not predominate to such an extent that the business ceases to be mainly one of holding the property as an investment.”

Henderson J concluded:

“Looking at the business in the round, there was in my view nothing to distinguish it from any other actively managed furnished letting business of a holiday property, and certainly no basis for concluding that the services comprised in the total package preponderated to such an extent that the business ceased to be one which was mainly of an investment nature.”

In another case of Anne Christine Curtis Green v Commissioners for HMRC [2015] UKFTT 334 (TC) the Tribunal supported this approach. The judge also said that scale was not a factor (the property consisted of five self-catering units, as opposed to the single unit in the Pawson case). Furthermore, she found that the difference between the amount of rent that was received from the holiday lets and what might have been received if the property was let on an assured shorthold tenancy was largely attributable to market forces, not to services provided.

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