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Official guidance
Lloyd's Manual

LLM8000 · Names: capital gains tax and inheritance tax

  • LLM8010 · Capital gains: Names: syndicate capacity: background
  • LLM8020 · Capital gains: Names: syndicate capacity: acquisition and disposal: consideration
  • LLM8030 · Capital gains: Names: syndicate capacity: acquisition and disposal: incidental costs
  • LLM8040 · Capital gains: Names: syndicate capacity: acquisition and disposal: enhancement expenditure
  • LLM8050 · Capital gains: Names: syndicate capacity: disposals: indexation and taper relief
  • LLM8060 · Capital gains: Names: syndicate capacity: disposals: computation of gain or loss
  • LLM8070 · Capital gains: Names: syndicate capacity: disposals: syndicate mergers
  • LLM8080 · Capital gains: Names: syndicate capacity: disposals: reversion to managing agent
  • LLM8090 · Capital gains: Names: syndicate capacity: disposals: conversion
  • LLM8100 · Capital gains: Names: syndicate capacity: negligible value
  • LLM8110 · Capital gains: Names: syndicate capacity: MAPAs: introduction
  • LLM8120 · Capital gains: Names: syndicate capacity: MAPAs: years of assessment up to and including 1998-99 (1)
  • LLM8130 · Capital gains: Names: syndicate capacity: MAPAs: years of assessment up to and including 1998-99 (2)
  • LLM8140 · Capital gains: Names: syndicate capacity: MAPAs: years of assessment up to and including 1998-99 (3)
  • LLM8150 · Capital gains: Names: syndicate capacity: MAPAs: years of assessment 1999-2000 onwards (1)
  • LLM8160 · Capital gains: Names: syndicate capacity: MAPAs: years of assessment 1999-2000 onwards (2)
  • LLM8170 · Capital gains: Names: ancillary trust funds
  • LLM8180 · Capital gains: Names: special reserve funds
  • LLM8190 · Capital gains: Names: reliefs
  • LLM8200 · Capital gains: Names: retirement relief
  • LLM8205 · Capital gains: Names: Business Asset Disposal Relief
  • LLM8210 · Capital gains: Names: reinvestment relief
  • LLM8220 · Capital gains: Names: roll-over relief
  • LLM8230 · Capital gains: Names: relief for gifts of business assets
  • LLM8240 · Capital gains: Names: indexation and taper relief
  • LLM8250 · Capital gains tax: Names: non-resident Names
  • LLM8260 · Inheritance tax: Names: introduction
  • LLM8270 · Inheritance tax: Names: valuation of the Lloyd’s interest
  • LLM8280 · Inheritance tax: Names: valuation of the Lloyd’s interest: discounts
  • LLM8290 · Inheritance tax: Names: business property relief
  • LLM8300 · Inheritance tax: Names: business property relief: rate of relief
  • LLM8310 · Inheritance tax: Names: business property relief: interavailability
  1. Names: capital gains tax and inheritance tax: contents
  2. Inheritance tax: Names: valuation of the Lloyd’s interest

LLM8270 | Inheritance tax: Names: valuation of the Lloyd’s interest

From HM Revenue & Customs · Lloyd's Manual

Following the death of a member, the three elements of the Lloyd’s interest must bevalued and agreed with Shares and Assets Valuation. The open market value at the date ofdeath is used for assets held in ancillary trust funds.

The open years’ results are valued on the basis of the Lloyd’s audit results atthe end of the calendar year immediately prior to death (unless the executors, within oneyear of the grant of probate, elect for the valuation to be on the actual results whenknown). For example, a Name dies in September 2007. The 2005 and 2006 accounts are stillopen, and these are valued at 31 December 2006.

The basis of valuation stems from IHTA84/S160 in tandem with IHTA84/S216 (3)(a).

Method of valuation of open years

The valuation of the open years of account is based on the annual Lloyd’s SolvencyStatement for the year preceding the year in which the member dies. Adjustments are thenneeded to take into account various personal expenses which are not included in theSolvency Statement.

These expenses will include payments such as the annual contribution to Lloyd’scentral fund, winding-up fees, and other expenses met by the managing agent on behalf ofthe Name which are not included in the syndicate results reported for solvency purposes.In addition, there are expenses such as Estate Protection Plans (EPPs) and stop losspremiums which may be charged to the Name’s personal account by the members’agent - these expenses are not included in the syndicate account, so neither are theyincorporated in any of the syndicate results reported for solvency purposes.

Open years for valuation purposes

In practice Shares and Assets Valuation accept that for valuation purposes a syndicateis treated as being open if the results had not been declared at the date of death.Historically, an account was treated as remaining open if the reinsurance to close (RITC)had not been completed at the date of death. This led to practical difficulties inascertaining the date the RITC contracts were signed, particularly for deaths during theearly months of a year.

Estate protection plan and stop loss

Where Names had EPP or stop loss policies (LLM5180) in placefor open years, the cover available under the policies is a factor in arriving at the netvalue of the Lloyd’s interest of the deceased Name. The level of excess (if any)included in the terms of the policies is also taken into account.

The valuation of the Lloyd’s interest is subject to a number of discounts (LLM8280).

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