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Contents

Official guidance
Inheritance Tax Manual

IHTM46000 · Residence nil rate band

  • IHTM46001 · Basic Principles: general overview
  • IHTM46002 · Basic Principles: phasing-in RNRB
  • IHTM46003 · Basic Principles: how the RNRB is applied.
  • IHTM46004 · Basic principles: claims
  • IHTM46010 · Basic definitions: introduction
  • IHTM46011 · Basic Definitions: ‘Qualifying Residential Interest’ and ‘Residential Property Interests’
  • IHTM46012 · Basic definitions: the value of the estate ‘E’ and the value transferred on death ‘VT’
  • IHTM46013 · Basic definitions: ‘Closely Inherited’
  • IHTM46014 · Basic definitions: 'Inherited'
  • IHTM46020 · Calculating the RNRB: introduction
  • IHTM46021 · Calculating the RNRB: when is RNRB due?
  • IHTM46022 · Calculating the RNRB: terms used: 'residential enhancement'
  • IHTM46023 · Calculating the RNRB: terms used: the 'taper threshold'
  • IHTM46024 · Calculating the RNRB: terms used: the 'default allowance'
  • IHTM46025 · Calculating the RNRB: terms used: the 'adjusted allowance'
  • IHTM46026 · Calculating the RNRB: calculating the 'default allowance' and the 'adjusted allowance'
  • IHTM46027 · Calculating the RNRB: calculating the value of the QRI that is closely inherited
  • IHTM46030 · More detailed guidance: dwelling-house
  • IHTM46031 · More detailed guidance: residence
  • IHTM46032 · More detailed guidance: residence outside the UK
  • IHTM46033 · More detailed guidance: inherited
  • IHTM46034 · More detailed guidance: direct descendants
  • IHTM46040 · Transfer of unused RNRB: the brought-forward allowance
  • IHTM46041 · Transfer of unused RNRB: the brought-forward allowance: method of calculation
  • IHTM46042 · Transfer of unused RNRB: the brought-forward allowance: when and how claims are made
  • ihtm46043 · Transfer of unused RNRB: effect on available RNRB
  • IHTM46044 · Transfer of unused RNRB: effect of tapering
  • IHTM46050 · Downsizing: general principles
  • IHTM46051 · Downsizing: the property disposed of
  • IHTM46052 · Downsizing: the closely inherited property
  • IHTM46053 · Downsizing: qualifying former residential interest (QFRI)
  • IHTM46054 · Downsizing: Disposals: qualifying former residential interest: disposal under contract
  • IHTM46055 · Downsizing: disposals: qualifying former residential interest: interest in possession trust
  • IHTM46056 · Downsizing: disposals: qualifying former residential interest: property subject to a reservation of benefit
  • IHTM46060 · Downsizing Calculations: overview
  • IHTM46061 · Downsizing Calculations: where there is a qualifying residential interest in the estate: conditions
  • IHTM46062 · Downsizing Calculations: where there is a qualifying residential interest in the estate: how to calculate the lost relievable amount
  • IHTM46063 · Downsizing conditions: where there is a qualifying residential interest in the estate: calculating the downsizing addition
  • IHTM46064 · Downsizing calculations: where there is no residential property interest in the estate: conditions
  • IHTM46065 · Downsizing calculations: where there is no residential property interest in the estate: how to calculate the lost relievable amount
  • IHTM46066 · Downsizing calculations: where there is no residential property interest in the estate: calculating the downsizing addition
  • IHTM46067 · Downsizing calculations: interaction with the taper threshold
  • IHTM46070 · Applying the RNRB to the estate: examples
  • IHTM46080 · Estates with conditionally exempt property
  • IHTM46100 · RNRB: glossary of terms
  1. Residence nil rate band: contents
  2. Basic Principles: how the RNRB is applied.

IHTM46003 | Basic Principles: how the RNRB is applied.

From HM Revenue & Customs · Inheritance Tax Manual

RNRB is an extra nil-rate band. It is available in addition to the existing nil-rate band (NRB) if the qualifying conditions are met. In calculating the Inheritance Tax (IHT) due on the estate the RNRB is not applied directly to the value of the home, or ‘qualifying residential interest’ (IHTM46011). It is applied to the value of a person’s estate on death before applying the existing NRB. However, unlike the existing NRB, it does not apply to lifetime transfers made within seven years of the death.

Examples:

Anthony dies in August 2020 with an estate valued at £490,000, all of which is left to his children. His estate is entitled to RNRB of £175,000 and a NRB of £325,000.

Example 1
Value of the estate£490,000
Deduct RNRB-£175,000
Excess£315,000
Deduct NRB-£315,000
Value taxed at 40%Nil

In this case the whole of the RNRB has been used up, but £10,000 out of the available NRB of £325,000 remains unused and could be transferred to Anthony’s wife or civil partner.

OR

Delilah dies in October 2020 leaving an estate worth £750,000, to her granddaughter. She had previously made gifts of £700,000 to her other grandchildren and a nephew within seven years of her death. Delilah’s estate qualifies for RNRB of £175,000 and a NRB of £325,000.

The NRB of £325,000 is applied against the lifetime gifts of £700,000 first:

Example 2
Chargeable lifetime gifts£700,000
Less NRB-£325,000
Value on which IHT due£375,000

The chargeable lifetime gifts use up all of the NRB and £375,000 of the gifts are subject to IHT. In addition to the gifts, IHT is also due on the estate and although all the NRB has been used up, RNRB remains available to set against the estate value.

Result
Estate value£750,000
Less RNRB-£175,000
Value on which IHT due£575,000
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