APR/BPR: THE NEW CAP ON BUSINESS AND AGRICULTURAL RELIEF & HOW IT WORKS
- The £1m allowances and how they might work
- How do farmers get their much talked about “up to £3m tax free”
- The position with trusts, set up before and after Budget Day
- New opportunities for lifetime succession planning
- The impact of the new, limited rates of BADR relief for CGT
- How the crucial valuation of land and assets affects planning
PENSION PLANNING AND INHERITANCE TAX
TAX ISSUES ON PLANNING WITH INTERESTS IN POSSESSION (ESPECIALLY IPDIS)
- General requirements for an IPDI
- Effect of s.80
- Early termination of interests in possession – IHT and CGT issues
- IPDIs and claiming the RNRB
- Post-death rearrangements involving IPDIs
- GROB issues and s.102ZA
- Registration on the TRS and administration
WILL DRAFTING: THE KEY ISSUES IN PLANNING FOR THESE CHANGES
- How to maximise the use of the NRB and any transferable NRB
- How to secure RNRB, especially when pensions are taken into account for the £2m threshold
- The use of Discretionary trusts and IPDIs in wills for spouses
- The interaction of 100% and 50% relief in will drafting
- Maximising APR/BPR through will structuring
LIFETIME ESTATE PLANNING, FOLLOWING THESE HUGE TAX CHANGES
- A frozen NRB for IHT for more than 5 years, until 2030, means all clients are affected even if no business, farm or pension
- Alongside higher CGT rates, stealth taxation of Income tax and CGT continues for 3 ½ years
- So how we can help clients squeezed for more tax, with all the frozen or cut allowances, exemptions etc?
- Lifetime gifts become even more significant, so how to do most effectively?
- What needs re-thinking in the use of assets now pensions are not going to be free of IHT?

