Originally posted by SimonJones
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--- Start of Extract from IHTM42986
IHTM42986 - Employee benefit trusts: property leaving employee benefit trusts: treated as income
Where the property leaving the trust is treated as income for Income Tax purposes there will be no charge under IHTA84/S72 by virtue of IHTA1984/S70(3)(b). This applies where the payment is (or will be) income in the recipient’s hands for Income Tax purposes (or would be if the participator were resident in the UK and subject to Income Tax). This relief will only apply in limited circumstances:
it is important that it is the actual payment leaving the trust that is subject to Income Tax.
there must be clear evidence, not just a vague possibility, that the payment out will be liable to Income Tax, as suggested by the words ‘or will be’.
For example, if a loan is made to beneficiary and a beneficial loan Income Tax charge arises, the relief does not apply.
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