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Contents

Official guidance
Inheritance Tax Manual

IHTM26000 · Calculating the chargeable estate

  • IHTM26001 · Introduction
  • IHTM26002 · Quantifying the amount which is chargeable and the amount which is exempt
  • IHTM26003 · Definitions
  • IHTM26011 · Specific gifts: definition
  • IHTM26012 · Specific gifts: disallowed liabilities
  • IHTM26013 · Specific gifts: value of specific gifts
  • IHTM26020 · Special rule concerning spouse or civil partner exemption
  • IHTM26030 · Calculation where residue wholly chargeable
  • IHTM26040 · Calculation where there are no specific gifts
  • IHTM26050 · Calculation where residue partly chargeable and no chargeable specific gifts
  • IHTM26060 · Calculation where there are chargeable specific gifts and residue wholly exempt
  • IHTM26071 · Other calculations: order in which to apply the partly exempt transfer rules
  • IHTM26081 · Step 1 - the starting value of specific gifts: introduction
  • IHTM26082 · Step 1 - the starting value of specific gifts: two or more gifts of an asset
  • IHTM26083 · Step 1 - the starting value of specific gifts: settled gift
  • IHTM26084 · Step 1 - the starting value of specific gifts: gift of an annuity
  • IHTM26085 · Step 1 - the starting value of specific gifts: circular situation
  • IHTM26086 · Step 1 - the starting value of specific gifts: legal rights in Scotland
  • IHTM26090 · Other calculations: step 2 - abatement where there are not enough assets to pay specific gifts in full
  • IHTM26101 · Step 3 - interaction: introduction
  • IHTM26102 · Step 3 - interaction: situations where interaction applies
  • IHTM26103 · Step 3 - interaction: summary of the interaction provisions
  • IHTM26104 · Step 3 - interaction: outline of the interaction procedure
  • IHTM26105 · Step 3 - interaction: extent of examination necessary
  • IHTM26106 · Step 3 - interaction: specific gifts of relievable property
  • IHTM26107 · Step 3 - interaction: anti-avoidance provisions
  • IHTM26108 · Step 3 - interaction: the appropriate fraction
  • IHTM26109 · Step 3 - interaction: the appropriate fraction where there are no specific gifts of relievable property
  • IHTM26110 · Step 3 - interaction: the appropriate fraction where there are specific gifts or relievable property
  • IHTM26121 · Step 4 - grossing up: background
  • IHTM26122 · Step 4 - grossing up: how grossing up works
  • IHTM26123 · Step 4 - grossing up: the specific gifts you should gross up
  • IHTM26124 · Step 4 - grossing up: how to decide whether specific gifts out of the free estate bear their own tax
  • IHTM26125 · Step 4 - grossing up: how to decide whether specific gifts out of settled property bear their own tax
  • IHTM26126 · Step 4 - grossing up: other property which bears its own tax
  • IHTM26127 · Step 4 - grossing up: what to do if the value of a gift is dependent upon the amount of an exemption
  • IHTM26128 · Step 4 - grossing up: initial procedure for grossing up
  • IHTM26129 · Step 4 - grossing up: grossing up where there are any reliefs due
  • IHTM26130 · Step 4 - grossing up: grossing up where there are exemptions with a value limit
  • IHTM26131 · Step 4 - grossing up: deciding which type of grossing calculation to use
  • IHTM26132 · Step 4 - grossing up: the grossing calculator
  • IHTM26133 · Step 4 - grossing up position where (additional) legacies are given under a variation accepted as within IHTA84/s142
  • IHTM26141 · Step 4 - simple grossing calculations: introduction
  • IHTM26142 · Step 4 - simple grossing calculations: calculation when there is no lifetime cumulation
  • IHTM26143 · Step 4 - simple grossing calculations: calculation when there is a lifetime cumulative total which is below the threshold
  • IHTM26144 · Step 4 - simple grossing calculations: calculation when there is a lifetime cumulative total in excess of the threshold
  • IHTM26151 · Step 4 - four stage grossing calculations: exceptions where four stage grossing is not necessary
  • IHTM26152 · Step 4 - four stage grossing calculations: the four stages
  • IHTM26153 · Step 4 - four stage grossing calculations: stage 1
  • IHTM26154 · Step 4 - four stage grossing calculations: stage 2
  • IHTM26155 · Step 4 - four stage grossing calculations: stage 3
  • IHTM26156 · Step 4 - four stage grossing calculations: stage 4
  • IHTM26157 · Step 4 - four stage grossing calculations: example of a four stage calculation
  • IHTM26158 · Step 4 - four stage grossing calculations: example of a four stage calculation where interaction and settled property are also involved
  • IHTM26171 · Step 4 - Re Benham type grossing calculations: legal background
  • IHTM26172 · Step 4 - Re Benham type grossing calculations: practice
  • IHTM26180 · Other calculations: Step 5 - abatement caused by grossing up
  • IHTM26190 · Other calculations: apportioning the grossed up estate between instalment and non-instalment option property
  • IHTM26201 · Allocating the burden of tax: practice
  • IHTM26202 · Allocating the burden of tax: the rules
  • IHTM26203 · Allocating the burden of tax: effect of the rules
  • IHTM26211 · Property at more than one title: introduction
  • IHTM26212 · Property at more than one title: gifts out of different funds
  • IHTM26213 · Property at more than one title: example of the effect of S40
  • IHTM26214 · Property at more than one title: lifetime cumulative total and gifts with reservation
  1. Calculating the chargeable estate: contents
  2. Calculating the chargeable estate: definitions

IHTM26003 | Calculating the chargeable estate: definitions

From HM Revenue & Customs · Inheritance Tax Manual

The rules concerning partly exempt transfers operate by allocating the value of the estate between specific and residuary gifts (IHTM12082). In IHTA84/S42 (1) the word ‘gift’ means more than ‘a present’. It is defines a gift as ‘the benefit of any disposition or rule of law by which any property becomes the property of any person or applicable for any purpose’. This definition covers property that passes under a person’s Will or under the rules of intestacy.

Examples of this are

  • bequests by Will (IHTM12041) of a sum of money, a specific asset such as a house, a life interest

  • bequests by Will of money or assets on charitable trusts

  • benefits under laws of intestacy (IHTM12101) or, in Scotland, legitim (IHTM12221)

Specific and residuary gifts are given special meanings for the purpose of the rules. The special meanings of these and other terms are:

Specific gift

Any gift other than a gift of the residue or share of residue. Usually, specific gifts (IHTM26011) are gifts of particular assets or specified amounts.

Gifts of residue

Gifts of the balance of the estate after all the specific gifts have been made.

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Bears its own tax

A specific gift bears its own tax if the tax on it comes out of the property given - so the beneficiary gets the gift less the tax due on it.

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Free of tax

If a chargeable specific gift does not bear its own tax the beneficiary gets the full value of the gift, unreduced by the tax on it. To the beneficiary, the gift is ‘free of tax’ (IHTM26123).

Grossing up

Chargeable specific gifts which do not bear their own tax are ‘grossed up’ (IHTM26121) to an amount that represents the value of the gift plus the tax on it.

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Different funds

Each title under which property passes is a different fund (IHTM26211).

Exempt transfers

For the purposes of applying the rules concerning partly exempt transfers, the term ‘exempt transfers’ refers to transfers that are exempt from Inheritance Tax under IHTA84/S18 (transfers to spouse or civil partner), IHTA84/S23 (transfers to charity), IHTA84/S27 (transfers for the maintenance of historic buildings) and IHTA84/S30 (conditionally exempt transfers). See also IHTM11012 and IHTM11014

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Abatement

Where the total value of the specific gifts is more than the total value of the estate, abatement (IHTM26090) reduces the specific gifts so their total value equals the value of the estate.

Interaction

Interaction (IHTM26101) is a term used by us to describe the relationship between exemptions and business relief (IHTM25131) and agricultural relief (IHTM24001).

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Free estate

A term used to describe the deceased’s own property that they were free to dispose of. Does not include joint property (IHTM15011) passing by survivorship (IHTM15081), settled property (IHTM16000) or property over which the deceased had a general power of appointment (IHTM04034) or nominated property (IHTM15101). See also the pages on different funds if there is any foreign property.

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