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BREAKOUT

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Second marriage and different children to benefit from half share on second death ... Furnished holiday letting. Conditions: Let on commercial basis ... – PowerPoint PPT presentation

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Title: BREAKOUT


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BREAKOUT SESSIONS
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PFS CONFERENCE 2007USING PROPERTY IN TAX
PLANNING
  • John Woolley
  • Technical Connection

5
TAX PLANNING USING PROPERTY
  • WHY ITS IMPORTANT
  • Explosion in property prices
  • Explosion in property investors
  • More people with more wealth derived from
    property
  • Tax planning can improve the bottom line!

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  • PRE-BUDGET REPORT
  • 2007

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PROPERTIES WE WILL CONSIDER
SECOND PROPERTIES
PRINCIPAL PRIVATE RESIDENCE
BUY-TO-LETS
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TAXES WE WILL CONSIDER
SECOND PROPERTIES
PRINCIPAL PRIVATE RESIDENCE
BUY-TO-LETS
INCOME TAX CGT IHT
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PRINCIPAL PRIVATE RESIDENCE
  • CGT
  • PPR Exemption
  • Time apportionment
  • Periods of absence
  • Last 3 years ownership counts as part of
    exemption irrespective of occupation

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PRINCIPAL PRIVATE RESIDENCE
  • CGT
  • Letting exemption
  • Relief of up to 40,000 of let value per owner
  • 80,000 for married couple
  • MUST occupy as a residence

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PRINCIPAL PRIVATE RESIDENCE
  • CGT PPR EXEMPTION
  • Business use restriction
  • Rent-a-room doesnt affect PPR exemption

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PRINCIPAL PRIVATE RESIDENCE
  • INCOME TAX
  • Rent-a-room
  • - Letting income of 4,250 per annum
  • or
  • - Elect to tax as property business or pay
    income tax on excess rent

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PRINCIPAL PRIVATE RESIDENCE
  • Inheritance Tax
  • Planning via the Will
  • Lifetime planning

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INHERITANCE TAX THE NEW GOVERNMENT PBR PROPOSALS
  • Increase of nil rate band to 350,000 in
    2010/11
  • Husband and wife have COMBINED nil rate band
    of 600,000
  • Can use up to 300,000 on first death or
    transfer percentage not used to survivor for use
    on second death

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EXAMPLE BOB AND SUE
Bob Dies on 1/12/07 when nil rate band
300,000. Leaves all estate to Sue (wife) No IHT
(spouse exemption) Sue dies on 1/12/10 when nil
band 350,000 Sue is entitled to 700,000 nil
rate band
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EXAMPLE JOHN AND GEORGINA
John Dies on 1/12/07 when nil rate band
300,000. Leaves 150,000 to children, balance of
estate to Georgina (wife) No IHT but uses 50 of
NRB Georgina dies on 1/12/10 when nil band
350,000 Georgina is entitled to a nil rate band
of 525,000 (150 of 350,000)
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NEW NIL RATE BAND PLANNING
  • Can only transfer one nil rate band however
    many spouses you have had in past
  • Applies on second deaths from 9/10/07
  • Can transfer nil rate bands of spouses who
    died before 9/10/07 this affects IHT
    calculation of widow/widower
  • PRs make election within 2 years of second
    death

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IHT PLANNING POST PBR CHANGES
Married couples with estates of up to combined
NRB Mr and Mrs Brown House 450,000 Investments
100,000
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MR AND MRS BROWN
  • No lifetime planning necessary
  • No NRB first death planning generally necessary
  • UNLESS

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REASONS TO USE NRB ON FIRST DEATH
  • Second marriage and different children to benefit
    from half share on second death

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REASONS TO USE NRB ON FIRST DEATH
  • Second marriage and different children to benefit
    from half share on second death
  • Desire to move assets away from surviving spouse
    (local authority care charge)

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REASONS TO USE NRB ON FIRST DEATH
  • Second marriage and different children to benefit
    from half share on second death
  • Desire to move assets away from surviving spouse
    (local authority care charge)
  • You think assets given on first death will
    increase in value at a greater rate than the
    increase in nil rate band

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REASONS TO USE NRB ON FIRST DEATH
  • Second marriage and different children to benefit
    from half share on second death
  • Desire to move assets away from surviving spouse
    (local authority care charge)
  • You think assets given on first death will
    increase in value at a greater rate than the
    increase in nil rate band
  • You intend that loans are made from the trustees
    to the surviving spouse to reduce his/her taxable
    estate

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REASONS TO USE NRB ON FIRST DEATH
  • Second marriage and different children to benefit
    from half share on second death
  • Desire to move assets away from surviving spouse
    (local authority care charge)
  • You think assets given on first death will
    increase in value at a greater rate than the
    increase in nil rate band
  • You intend that loans are made from the trustees
    to the surviving spouse to reduce his/her taxable
    estate
  • Divorce/insolvency protection
  • You qualify for double NRB despite still being
    married!

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REASONS TO USE NRB ON FIRST DEATH
  • AND if using house in first death planning
  • It can be complicated because need to secure
    survivors tenancy but avoid an IIP
  • Convert to IIP trust more than 2 years after
    death
  • Use IOUs or Charge Scheme

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AND FOR THOSE WEALTHIER CLIENTS
Mr and Mrs Blair Private residence 950,000 Inve
stments 550,000
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Give it away and live in it
  • POAT? Gift with reservation? CGT?

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Give it away and pay a commercial rent
  • No gift with reservation!
  • CGT on future growth in Donees hands

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Give it away to a current occupier
  • No gift with reservation S102B FA 1986
  • Donor must pay fair share of outgoings
  • Care if Donee dies/moves out
  • No CGT problem if Donee continues to occupy

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OTHER INHERITANCE TAX PLANNING WITH HOUSE?
  • Family Debt arrangement
  • Sale to Offshore Insurance Company

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SALE TO OFFSHORE INSURANCE CO
Sale guarantee to remain in occupation
O/S INSURANCE COMPANY
BOND
Bond in Trust
  • Children have option to buy back
  • Gift is a CLT OR PET
  • Income tax charge on Bond
  • Charges

Property Fund
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2. THE SECOND HOME - CGT
  • Position generally improved under PBR
  • Higher rate taxpayers
  • 18 (new) vs 24-40 (old)
  • Basic rate taxpayers
  • 18 (new) vs 12-20 (old)

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THE SECOND HOME - CGT
  • PPR ELECTION
  • Within 2 years of acquiring second property
    nominate PPR
  • Nominate new property pre sale
  • Must have lived there
  • Last 3 years free of CGT

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THE SECOND HOME - CGT
PPR election - Effect
  • Second property gain 100,000 over 10 years
  • If nominated as PPR at least 30,000 free of
    CGT

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THE SECOND HOME IHTLIFETIME GIFT
Donor
  • No SDLT
  • CGT-claim hold-over

Discretionary Trust CGT ? GWR ?
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THE SECOND HOME IHTLIFETIME GIFT
Donor
  • No SDLT
  • CGT-claim hold-over
  • IHT CLT so dont exceed available NRB.
    Joint Settlors?

Discretionary Trust
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THE SECOND HOME IHTLIFETIME GIFT
  • No SDLT
  • CGT-claim hold-over
  • IHT CLT so dont exceed available NRB.
    Joint Settlors?
  • Continued occupation - GWR (unless the de
    minimis rules apply) Pay market rent for
    period property occupied

Donor
Discretionary Trust
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THE SECOND HOME IHT WILL TRUST PLANNING
  • Tenants in common
  • Discretionary Will trust (if appropriate
    consider new NRB rules for spouses)
  • Not continuous occupation so no IPDI problems


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3. BUY-TO-LET
  • Taxed as Property Business (unless FHL)
  • Offset interest paid on loans against rental
    income
  • If rents reduce, losses can be carried forward
    against later rents


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BUY-TO-LET RELEASING CAPITAL
BILL Loan 100,000 Own Cash 100,000
Buys Buy-to- Let 200,000 (2002)
Now worth 400,000
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BUY-TO-LET PLANNING POINT
Buys Buy-to- Let 200,000 (2002)
BILL Loan 100,000 Own Cash 100,000
BILL Borrows 100,000 to refinance
purchase
Now worth 400,000
  • Tax relief on interest

NB Equity release cannot be greater than original
MV of property
  • Can use 100,000 for whatever purpose he wishes

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BUT-TO-LET CGT
  • PBR
  • Higher rate taxpayers
  • 18 (new) vs 24-40 (old)
  • Basic rate taxpayers
  • 18 (new) vs 12-20 (old)

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BUY-TO-LET CGT
EXAMPLE Average growth on buy-to-let over 5 years
85,770 Annual exemption 9,200 CGT now (5
years taper) 25,482 (taxable gain
63,705) CGT after 5 April 2008 13,783
(taxable gain 76,570)
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BUY-TO-LET CGT
  • Furnished holiday letting
  • Conditions
  • Let on commercial basis
  • Accommodation available for commercial
    letting at least 140 days a year
  • Accommodation must actually be let for 70 of
    the 140 days

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BUY-TO-LET CGT
Disposal by higher rate taxpayer Before PBR
10 (75 taper relief) Post PBR 18 flat
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IHT PLANNING WITH BUY-TO-LET
  • Lifetime Gift issues
  • CGT
  • Gift with reservation

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IHT PLANNING WITH BUY-TO-LET
  • Lifetime Gift issues
  • CGT
  • Gift with reservation

Hold-over relief - use discretionary gift. Care
not to exceed IHT nil rate band
54
IHT PLANNING WITH BUY-TO-LET
  • Lifetime Gift issues
  • CGT
  • Gift with reservation

Hold-over relief - use discretionary gift. Care
not to exceed IHT nil rate band Give up right to
income
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IHT PLANNING WITH BUY-TO-LET
  • Lifetime Gift issues
  • CGT
  • Gift with reservation

Hold-over relief - use discretionary gift. Care
not to exceed IHT nil rate band
Give up right to income
But is there a better way?
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BUY-TO-LET IHT
Reversion held for Discretionary Beneficiaries
IIP Trust
IIP (rental) Settlor
Taxed as Discretionary Trust for IHT purposes
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BUY-TO-LET IHT
Reversion held for Discretionary Beneficiaries
IIP Trust
IIP (rental) Settlor
Taxed as Discretionary Trust for IIP purposes
  • CGT Hold-over
  • No POAT
  • No GWR
  • But S102(A)(3) FA 1986

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BUY-TO-LET IHT
Reversion held for Discretionary Beneficiaries
IIP Trust
IIP (rental) Settlor
Taxed as Discretionary Trust for IIP purposes
  • CGT Hold-over
  • No POAT
  • No GWR
  • But S102(A)(3) FA 1986

CONSIDER EQUITY RELEASE AND GIFT OF CASH?
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PLANNING WORKS FOR NEW BUY-TO-LET
Settlor transfers cash
IIP Trust
Let to third party
Life interest - settlor No GWR S102 (A)(3) only
applies to gifts of property
Capital -Discretionary Beneficiaries (settlor
excluded)
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IHT PLANNING USING THE BUY-TO-LET VIA WILL
  • Is first death NRB Will planning appropriate?
  • Does surviving spouse require income/access?
  • Use NRB Will Trust
  • Avoid iip trust (IPDI) use discretionary
    trust
  • No CGT on death

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SUMMARY
  • PROPERTY
  • A key area of client advice
  • Maximise the tax breaks to improve the bottom
    line
  • Added value that makes a difference

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