IHTM16074 - Addition of settled property or value: introduction

The value of settled property may be enhanced by either growth in the value of the funds that were originally settled, the addition of more property or a change in the property that increases its value.

Where the property is:

  • subject to an interest in possession (IIP) in settled property which came into existence before 22 March 2006, or
  • an immediate post death interest,
  • a disabled person바카라 사이트™s interest or
  • a transitional serial interest (IHTM16061),

it is necessary to establish whether

  • the addition is a transfer of value,
  • it is a disposition which results in added settled property under IHTA84/S43,
  • any added settled property is relevant property, or
  • the result is only adding value to the existing settled property.

Example

Simon created a settlement in 1994 under which the trustees hold securities for Lesley for life. If Simon added further securities by a disposition in 2007, that would be an addition of property to the settlement.

The effect of the 2006 legislation on additions of property is considered at IHTM16075.

But, if:

  • Simon had not made a disposition to add property but, by 2007, the value of the settled fund had grown, or
  • Simon had been entitled to an absolute reversion under another settlement and in 2000 Simon had added that reversion to the settlement; and the life tenant, James, had died in 2007

then, in each case, there is an increase in value to the settlement, but there is no disposition by Simon or anyone else that adds property to the settlement.

  • In the first case, the increase in value has resulted from capital growth.
  • In the second case, Simon had an absolute reversion subject to the death of life tenant. He assigns that reversion to Lesley for life. Until the life tenant바카라 사이트™s death, Lesley had a qualifying IIP in the reversion. On the life tenant바카라 사이트™s death Lesley became entitled to a qualifying IIP in the property underlying that reversion. This did not involve a disposition. All that changed was the nature of the property in which Lesley바카라 사이트™s interest subsisted.

The effect of the 2006 legislation where there are additions of value is considered at IHTM16076.

It may also be necessary to establishÌýwhether there is an addition to a settlement where excluded property is relevant.바카라 사이트¯바카라 사이트¯Ìý

  • When the long-term UK residence rules came in, there was transitional provision for specified excluded property comprisedÌýin a settlement atÌý30 October 2024 (IHTM47022) which provides exemption from certain charges relating to qualifying interest in possessions and gifts with reservation of benefit.바카라 사이트¯ This exemption only applies to settled property which was comprisedÌýin the settlement atÌý30 October 2024 and so any additions, after this date, would not benefitÌýfrom these exemptions.바카라 사이트¯바카라 사이트¯Ìý

  • Where a settlor has died before 6 April 2025, foreign settled property will be excluded property where the settlor was non-domiciled at the time the assets became comprisedÌýin the settlement.바카라 사이트¯ However, if an addition is made after the settlor바카라 사이트™s death, this will be a separate settlement with a new settlor. That newÌýsettlor's long-term UK residence status will need to be tested, unless the new settlor has also died before 6 April 2025, in which case their domicile status at the time the assets became comprisedÌýin the settlement will be relevant.Ìý Ìý

  • Similarly, if a settlor dies after 6 April 2025, foreign settled property will be excluded property where the settlor was not a long-term UK resident when they died.바카라 사이트¯ However, if an addition is made after the settlor바카라 사이트™s death, this will be a separate settlement with a new settlor and that settlor바카라 사이트™s long-term UK residence status will need to be tested.