IHTM14630 - Lifetime transfers: specific lifetime reliefs: fall in value relief: more than one sale

When the original lifetime transfer consists of a number of assets, those assets could be sold at different times. For the purposes of the relief, the 바카라 사이트榬elevant date바카라 사이트� in IHTA84/S131(1) applies to each of the underlying assets, not to the transferred property as a single asset. The example below explains how to calculate the relief where all the assets transferred have been sold. Where some of the property transferred had been sold and some retained, see the instruction at IHTM14631.

Example

Abbie transfers a portfolio of shares, then worth 拢100,000, to Barry on 5 April 2008. The portfolio consists of:

  • 1,000 shares in company XYZ worth 拢30,000,
  • 3,500 shares in company ABC worth 拢50,000, and
  • 1,750 shares in company DEF worth 拢20,000.

Barry then sells

  • 600 shares in XYZ on 5 January 2009 for 拢15,000
  • 400 shares in XYZ on 20 January 2009 for 拢11,000
  • 2,100 shares in ABC on 10 February 2009 for 拢25,000
  • 1,400 shares in ABC on 15 February 2009 for 拢20,000, and
  • 1,750 shares in DEF on 12 May for 2009 拢22,500.

All the sales are arm바카라 사이트檚 length transactions at open market values.

Abbie dies on 3 April 2010 so that the transfer becomes a chargeable transfer and Barry makes a claim for fall in value relief.

Calculating the relief due

600 shares in XYZ at the transfer date had a market value of 拢18,000

600 shares in XYZ sold on 5 January for 拢15,000

  • Reduction in value = 拢3,000

400 shares in XYZ at the transfer date had a market value of 拢12,000

400 shares in XYZ sold on 20 January for 拢11,000

  • Reduction in value = 拢1,000

2,100 shares in ABC at the transfer date had a market value of 拢30,000

2,100 shares in ABC sold on 10 February for 拢25,000

  • Reduction in value = 拢5,000

1,400 shares in ABC at the transfer date had a market value of 拢20,000

1,400 shares in ABC sold on 15 February for 拢20,000

  • Therefore there was no reduction in value on sale of this holding.

The shares in DEF were sold for a profit so there is no loss to take into account and the profit on sale is not offset against the other losses (IHTM14629).

Original transfer value = 拢100,000

Reduction in value (拢3,000 + 拢1,000 + 拢5,000) = -拢9,000

Value on which tax is charged on the death of Abbie = 拢91,000

For the purposes of calculating the allowable relief, each individual sale must be taken in isolation. In each instance you are simply comparing the value at the date of transfer of the asset sold with its sale price.

Although the value of 拢91,000 is used to calculate the tax due on the transfer the original value of 拢100,000 should still be used to calculate the tax due on later lifetime transfers and the death estate.