UUΒγΑΔΦ±²₯

Valuation of property

Produced by a Tolley Trusts and Inheritance Tax expert
Trusts and Inheritance Tax
Guidance

Valuation of property

Produced by a Tolley Trusts and Inheritance Tax expert
Trusts and Inheritance Tax
Guidance
imgtext

This guidance note discusses the principles of valuation that apply to the valuation of property for IHT purposes. It covers the general valuation rules, the loss to the donor principle and the related property rules in detail. It also discusses property where a special valuation rule applies including common types of property such as quoted and unquoted shares and land.

Where an inheritance tax (IHT) liability arises, it is computed by reference to the value of the property β€˜transferred’. On the occasion of death, the whole of the deceased’s estate is deemed to have been transferred immediately before death.

This is the aggregate of all the property owned at that time. There are two key considerations when determining the value on which tax is charged:

  1. β€’

    the first consideration is the standalone value of distinct items of property

  2. β€’

    the second consideration is whether the value of individual assets must be determined in relation to other assets

General valuation rules

The general principle is that property is valued for inheritance tax purposes

Access this article and thousands of others like it
free for 7 days with a trial of Tolley+™ Guidance.

Powered by

Popular Articles

Settlor-interested trusts

Settlor-interested trustsWhat is a settlor-interested trust?A settlor-interested trust is one where the person who created the trust, the settlor, has kept for himself some or all of the benefits attaching to the property which he has given away. A straightforward example is where a settlor

14 Jul 2020 13:38 | Produced by Tolley Read more Read more

Payroll record keeping

Payroll record keepingUnder SI 2003/2682, reg 97, β€œ...an employer must keep, for not less than 3 years after the end of the tax year to which they relate, all PAYE records which are not required to be sent to [HMRC]...”. Reasons for keeping the records include:β€’being able to calculate tax and

14 Jul 2020 12:52 | Produced by Tolley in association with Vince Ashall Read more Read more

VAT registration ― artificial separation of business activities (disaggregation)

VAT registration ― artificial separation of business activities (disaggregation)This guidance note should be read in conjunction with the VAT registration ― compulsory guidance note and is relevant to persons established or resident in the UK. Persons that are not established or resident in the UK

14 Jul 2020 13:57 | Produced by Tolley Read more Read more