IHT on AML Loan
I also received the same email but my understanding is the following; [with an IHT perspective]
Firstly, no IHT becomes due until the loans have been written off. We do not know yet if any newly appointed trustees will accede to such a request.
Secondly they claim the charge falls in S65 (1) (a) of IHTA 1984 – but for the majority of these trusts a NIL rate band of £325,000 applies.I would have expected these loans to be loans from remuneration trusts, for which there is no IHT.
I also received the same email but my understanding is the following; [with an IHT perspective]
Firstly, no IHT becomes due until the loans have been written off. We do not know yet if any newly appointed trustees will accede to such a request.
Secondly they claim the charge falls in S65 (1) (a) of IHTA 1984 – but for the majority of these trusts a NIL rate band of £325,000 applies.I would have expected these loans to be loans from remuneration trusts, for which there is no IHT.
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