The UK Inheritance Tax (IHT)
saving is probably the last reason why anyone would deliberately choose to
leave assets to charity in their Will.
However, it is the case that leaving assets to charity is very IHT
efficient, for two key reasons.
Qualifying gifts are 100% IHT exempt – the charity will not have any IHT
deducted from what is left to them. In
addition, from April 2012, the estate of anyone leaving at least 10% of their net
estate to charity benefits from a reduced IHT rate of 36%. The recent Court of Appeal case of Routier & Anor v HMRC ([2016] EWCA Civ 938) is a
reminder, though, that, where the Will contains a foreign element, it is
dangerous to assume that the IHT charity exemption
will be automatic.
Thursday, 20 October 2016
Thursday, 6 October 2016
Long term UK resident non-doms set to lose remittance basis of taxation
Anyone who does not regard
England as their permanent home (non-dom) but who has been resident in the UK
for at least 15 out of the past 20 income tax years will wake up to a very
different UK tax regime on 6 April 2017, according to a further consultation
issued by the Government on 19 August.
Thursday, 22 September 2016
Contributed to a property purchase? Here’s how to protect your investment
Buying a property is often the biggest investment a
person will make in their lifetime. It
therefore stands to reason that people want to ensure that their investment is
protected. The recent case of Haque v Raja[1]
provides a reminder that, if you don’t appear on the title of a registered
property that you’ve contributed to and you don’t live in it as well, you must
protect your interest.
Thursday, 8 September 2016
UK residential properties held through offshore structures: a call to action
Owners of UK residential property held through
offshore structures, including non-UK companies and partnerships, should
urgently review their structures following the publication of a further
consultation by the UK Government on 19 August 2016. The consultation confirms that residential
properties in these structures will be exposed to UK Inheritance Tax (IHT) from 6 April 2017. The aim of the changes is to bring all UK
residential properties within the charge to IHT.
For more detail on the proposal, read my briefing note available on Fladgate's website via this link: https://www.fladgate.com/rFlVC
For more detail on the proposal, read my briefing note available on Fladgate's website via this link: https://www.fladgate.com/rFlVC
Thursday, 28 July 2016
Trusts and the revised 4AMLD
In my 26 November 2015 blog, I wrote about the impact on
trusts of the EU’s first draft of the Fourth Anti-Money Laundering Directive (4AMLD).
It seemed that only if the trust generated ‘tax consequences’ would the
trustees have to provide details about the trust to a central register, which
would not be publicly available.
However, a revised version of the draft 4AMLD was published by the
European Commission on 5 July and it envisages public access to trust
beneficial ownership information for certain trusts only. The coming into force of the 4AMLD is brought
forward to 1 January 2017, from 26 June 2017.
Thursday, 14 July 2016
Brits abroad! Will planning for Brits with foreign assets
With the summer
holiday season upon us, it’s time to dust down those dreams of owning a
bolthole in your favourite part of the world, where summer means summer and the
sky is always blue. It’s not uncommon
for Brits to own assets outside the UK these days and not just the infamous
holiday home in the sun. In acquiring
assets abroad, though, the last thing usually considered is what happens to
those assets on death and is an English Will any use in getting them sorted out?
Thursday, 30 June 2016
Brexit exits – don’t get caught out by the IHT deemed domiciled rules
Brexit uncertainties may be giving
fresh impetus to many UK resident non-UK domiciliaries who are thinking about
their residency plans. However, for res
non-doms, it’s important not to lose sight of another key tax change now on the
horizon – the change in the Inheritance Tax (IHT) deemed domiciled rules.
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