Executors of the estate of Linington & anr v Commissioners for HMRC [2023] WTLR 917

Autumn 2023 #192

The deceased had made certain inheritance tax planning arrangements which involved the assignment of the reversionary interest of the reversionary beneficiary in MTrust (a 150-year Isle of Man trust) to the deceased, who was then granted an option to become the income beneficiary of the MTrust. Prior to the exercise of the option, the deceased transferred his reversionary interest to the KTrustees in 2010 (prior to the enactment of s74A-C Finance Act 2012).

HMRC issued two notices of determination under s221 of the Inheritance Act 1984 against the executors of th...