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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) /QIIPs and non-chargeable events / I5.263 QIIPs and dispositions for maintenance of family
Commentary

I5.263 QIIPs and dispositions for maintenance of family

IHT, trusts and estates

A disposition of an interest in possession (or part of one) which satisfies the conditions for dispositions for maintenance of family (I3.151–I3.153) is excepted from being treated as the coming to an end of the interest1. It should be noted that this does not take out of IHT charge a disposition which satisfies the family maintenance conditions and is of a qualifying interest in possession (QIIP), but which brings about an actual termination of the interest. This could include, for example, a surrender of a QIIP so that it vests, in possession, with the remainderman.

The family maintenance provisions provide in effect that if a disposition

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