IHTM26213 - Property at more than one title: example of the effect of S40
As well as the example below further examples may be found in the instructions on interaction (IHTM26101) and grossing up (IHTM26121). For an example including both interaction and grossing refer to IHTM26158.
Example
Tanya died in August 2002 leaving an estate of £500,000. By Will Tanya left a legacy of £300,000 free of tax to Xavier, a chargeable beneficiary, and the rest of the estate to a qualifying charity. »Ê¹ÚÌåÓýappre is no business relief (BR) (IHTM25131) or agricultural relief (AR) (IHTM24001).
Tanya was also life tenant of settled property (IHTM16000) valued at £2M. »Ê¹ÚÌåÓýapp trust property includes agricultural property qualifying for AR. »Ê¹ÚÌåÓýapp trust passes to a chargeable beneficiary.
»Ê¹ÚÌåÓýapp effect of S40 on the calculation of Xavier’s £300,000 legacy is:
- »Ê¹ÚÌåÓýappre is no interaction because there is no BR or AR in the free estate and the AR on the settled property is irrelevant.
- »Ê¹ÚÌåÓýapp £300,000 is grossed up at its own rate and, for grossing purposes, the settled property is ignored.
»Ê¹ÚÌåÓýapp grossing calculation is:
Legacy = £300,000
Less nil-rate band -£250,000
Excess = £50,000
Excess of £50,000 × (100 ÷ 60) = £83,333
Add back nil-rate band +£250,000
Grossed-up value of legacy = £333,333
»Ê¹ÚÌåÓýapp grossed up value of the £300,000 legacy, and consequently the chargeable estate on Tanya’s death, is £333,333 plus the value of the settled fund after AR. Tax is assessed accordingly.