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Contents

Official guidance
Inheritance Tax Manual

IHTM42000 · Relevant property trusts

  • IHTM42001 · Introduction
  • IHTM42010 · Notification of chargeable event
  • IHTM42070 · Chargeable events
  • IHTM42075 · Set-up and additions by settlor
  • IHTM42081 · Ten year anniversary: introduction
  • IHTM42085 · Ten year anniversary: Tax calculation: the rate of tax: step 1: the notional lifetime transfer
  • IHTM42086 · Ten year anniversary: Tax calculation: the rate of tax: step 2: the nil rate band available (‘NRBA’)
  • IHTM42087 · Ten year anniversary: Tax calculation: the rate of tax: step 3: calculating the initial rate of tax
  • IHTM42088 · Ten year anniversary: Tax calculation: the rate of tax: Step 4: relief for assets that have been relevant property for less than the full 10 years
  • IHTM42089 · Ten year anniversary: relief for double charges
  • IHTM42090 · Ten year anniversary: adjusting settlor's PLCT where there are additions before the TYA
  • IHTM42091 · Ten year anniversary: no date before April 1983 is a TYA
  • IHTM42110 · Proportionate charges: introduction
  • IHTM42111 · Proportionate charges: chargeable transfer
  • IHTM42114 · Proportionate charges: calculation of rate before first ten year anniversary
  • IHTM42115 · Proportionate charges: rate between ten year anniversaries
  • IHTM42117 · Proportionate charges: excluded periods
  • IHTM42118 · Proportionate charges: grossing
  • IHTM42119 · Proportionate charges: loss to the settlement basis of valuation
  • IHTM42161 · Relevant property: introduction
  • IHTM42162 · Relevant property: capital and income
  • IHTM42163 · Relevant property: Capital Gains Tax and Income Tax deductions
  • IHTM42164 · Relevant property: inheritance tax deductions
  • IHTM42165 · Relevant property: agricultural relief and business relief
  • IHTM42166 · Relevant property: treatment of income after 6 April 2014
  • IHTM42221 · The settlement: Commencement date of the settlement
  • IHTM42223 · The settlement: powers of appointment
  • IHTM42224 · The settlement: powers of accumulation
  • IHTM42225 · The settlement: non-income producing assets
  • IHTM42226 · The settlement: class of beneficiary
  • IHTM42227 · The settlement: variation of discretionary will trusts (IHTA84/S144)
  • IHTM42228 · The settlement: Relevant property settlements set up by IOV (IHTA84/S142)
  • IHTM42229 · The settlement: property moving from one settlement to another
  • IHTM42230 · The settlement: related settlements
  • IHTM42231 · The settlement: initial qualifying interest in possession of settlor or spouse
  • IHTM42232 · The settlement: one or more trust?
  • IHTM42233 · The settlement: Same day additions 
  • IHTM42234 · The settlement: Same day additions: Exceptions  
  • IHTM42235 · Same Day Additions: Examples
  • IHTM42240 · Discretionary trusts: trustees
  • IHTM42251 · The settlor: who is the settlor
  • IHTM42252 · The settlor: charge on the settlor
  • IHTM42253 · The settlor: more than one settlor
  • IHTM42254 · The settlor: Gifts with Reservation
  • IHTM42255 · The settlor: settlor's PLCT
  • IHTM42601 · Foreign element: practice
  • IHTM42602 · Foreign element: foreign (excluded) property
  • IHTM42603 · Foreign element: additional test of long-term UK residence or domicile
  • IHTM42604 · Foreign element: offshore trust declaration IHTA84/S218
  • IHTM42640 · Discretionary trusts: Income Tax and CGT on the trust
  • IHTM42650 · Discretionary trusts: Heritage
  • IHTM42660 · Discretionary trusts: unquoted shares
  • IHTM42700 · Discretionary trusts: Scottish Law issues
  • IHTM42801 · Special trusts: summary
  • IHTM42802 · Special trusts: flat rate charge
  • IHTM42803 · Special trusts: temporary charitable trusts
  • IHTM42804 · Special trusts: protective trusts
  • IHTM42805 · Special trusts: trusts for disabled persons
  • IHTM42806 · Special trusts: employee trusts and newspaper trusts
  • IHTM42807 · Special trusts: accumulation and maintenance trusts (A&M) prior to Finance Act 2006
  • IHTM42808 · Special trusts: treatment of existing Accumulation & Maintenance (A&M) trusts after 6 April 2008
  • IHTM42809 · Special trusts: 25 year test for Accumulation & Maintenance (A&M) trusts
  • IHTM42811 · Special trusts: charitable, political and Heritage trusts
  • IHTM42812 · Special trusts: pension funds
  • IHTM42813 · Special trusts: compensation and special purpose funds
  • IHTM42814 · Special trusts: excluded property
  • IHTM42815 · Special trusts: Trusts for bereaved minors
  • IHTM42816 · Special trusts: Age 18-to-25 trusts
  • IHTM42900 · Employee benefit trusts
  • IHTM42011 · Practice with IHT100
  • IHTM42084 · Ten year anniversary: rate of tax
  • IHTM42112 · Proportionate charges: rate before first TYA (flowchart)
  • IHTM42113 · Proportionate charges: calculation of tax before first TYA (flowchart)
  • IHTM42810 · Special trusts: life policies in A&M trusts
  1. Relevant property trusts: contents
  2. Special trusts: protective trusts

IHTM42804 | Special trusts: protective trusts

From HM Revenue & Customs · Inheritance Tax Manual

Charging provisions: IHTM04101

Most protective trusts go through their entire existence in reality as an interest in possession (IIP), with no divesting act ever occurring. These are IIP trusts and they give rise to no special problems or questions.

Protective trusts are designed to protect the beneficiary, not the settlement nor its assets. If a settlor wishes to put property on protective trusts, they simply have to say so in the deed, or refer in the deed to Trustee Act 1925/ S33, which is the governing section.

Briefly, in accordance with general law the settlor uses a protective trust to give the beneficiary an IIP in the fund until he or she commits any divesting act, (such as trying to sell it or going bankrupt), when the fund automatically converts into a discretionary trust under Trustee Act 1925/ S33(1)(ii) for that beneficiary and his/her family.

If the trustees make an advance to the beneficiary, that is not a chargeable distribution.

It is a rather old-fashioned type of trust nowadays, but this form of trust ensures that the beneficiary(ies) will not go short, even if they are unlucky or irresponsible.

Special rules provide that

  • If the divesting act occurred before 12 April 1978 then a claim arises under IHTA84/S73

  • when the property ceases to be subject of the discretionary trust under Trustee Act 1925/S33(1)(ii), otherwise than by a payment for the benefit of the principal beneficiary, and

  • where the trustees make a disposition that reduces the value of the fund, otherwise than a payment as above.

  • In such cases the property is taxed at the flat rate charge. (IHTM42802)

  • If the divesting act occurs on or after 12 April 1978 then IHTA84/S88 applies. This provides that for Inheritance Tax (IHT) purposes the divesting act is simply ignored. The beneficiary is treated as beneficially entitled to an IIP in the property.

Following the changes to the IHT rules for trusts in Finance Act 2006:

  • Where a protective trust is created before 22 March 2006 and a beneficiary is treated as beneficially entitled to an IIP as a result of a divesting act on or after that date, the interest is treated as if the beneficiary had become entitled to it before 22 March 2006 and so continues to form part of their estate for IHT purposes, IHTA84/S88 (3);

  • Where a protective trust is created on or after 22 March 2006 and -

  • The beneficiary’s underlying interest is an immediate post-death interest (IHTM16060), a disabled person’s interest within S89B (1)(c) or (d) (IHTM42805) or a transitional serial interest (IHTM16060), and

  • The beneficiary is treated as beneficially entitled to an interest in possession as a result of a divesting act

the interest is treated as a continuation of the immediate post-death interest, disabled person’s interest or transitional serial interest, and as if that interest had not come to an end, IHTA84/S88(5);

  • Where the protective trust is created on or after 22 March 2006 and the beneficiary’s underlying interest is not an immediate post-death interest, a disabled person’s interest within IHTA84/S89B(1)(c) or (d) or a transitional serial interest, IHTA84/S88 does not apply, S88(6).

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