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Home / Simons-Taxes /IHT, trusts and estates /Part I5 Settled property /Division I5.2 Settlements with a qualifying interest in possession (QIIP) /Tax treatment of qualifying interest in possession (QIIP) / I5.215 A lease for life as a QIIP
Commentary

I5.215 A lease for life as a QIIP

IHT, trusts and estates

In the case of a lease for life where partial consideration has been given for the lease (and is therefore treated as a settlement), a proportional part of the value of the property subject to the lease is treated as the lessor's interest1. Remember that where full consideration has been given a lease for life is not treated as a settlement2 – see I5.116. The lessee's

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