Inheritance TAX – BPR

23 February 2016

Inheritance TAX – BPR

Business property relief (BPR) could reduce or even remove the inheritance tax payable on business assets.

BPR was introduced by the Labour government in 1976 to enable family business to continue and be passed down generations.

BPR is given at 100% on the following assets:

·         Shares in an Unquoted Trading Company (not traded on a stock exchange)

·         A sole trader business or interest in a business such a Partnership

BPR is given at 50% on the following assets:

·         Quoted shares controlling more than 50% of the voting rights.

·         Land, building, plant and machinery mainly used for a business carried on by a partnership or company (of the deceased) but not a sole trader

However to qualify for BPR the deceased must have owned the business or asset for minimum of two years before he or she died.

If the property or asset is given away before death BPR may be available so long as they remain a going concern until he or she dies.

If the donor survives more than seven years after the date of the gift then the property or asset will fall out of the charges so BPR becomes redundant.

If you require any assistance with any aspect of your tax affairs please contact us or get in touch today by calling 0203 039 3993.

HMRC targets private landlords

01 February 2016

HMRC’s targets private landlords

In the summer 2015 budget the Chancellor announced plans of a triple attack on private landlords.

  • 3% increase in SDLT better known as stamp duty on buy to lets or second homes.
  • Finance cost restriction
  • Capital gains tax (CGT) to be payable in 30 days.

Firstly, from April 2016 there will be an additional 3% charge above the current rates of SDLT on buy-to-let properties and second homes, broadly if you already own one residential property additional residential property purchases will be subject to the additional charge.

This change affects both private and corporate landlords and there are many traps that could inadvertently trigger the charge. One such trap is that spouses and civil partners are deemed to be acquiring property jointly even if they are not, meaning if your spouse owns a residential property and you do not, then your acquisition of 100% interest in your first residential property will be subject to the additional charge.

Secondly, from April 2017 HMRC are introducing the finance cost restrictions which is targeting higher rate tax relief for residential landlords mortgage interest and interest on loans. This is a fundamental change to the principle of turnover – expenses = profits as the finance costs which are major expenses of most landlords will not deductible, instead a reduction to their tax bill of 20% of the finance costs will be granted if certain conditions are met.

Landlords therefore are taxed before the deduction of their finance expenses which could have a devastating effect on the investments of the individuals who have invested in the UK’s housing market.

The restrictions are to come into effect from April 2017 and it will be phased in over four years. Although HMRC may argue that this doesn’t affect the individuals in the basic tax bracket when we look at the way it’s calculated we can see it actually does as it can potentially push an individual’s income over the basic tax rate threshold.

Examples of how the finance cost restrictions effects individual landlords are as follows:

If we assume the mortgage facts below;


This example is based on 2016/17 Tax Table with the current personal allowance and basic tax rate threshold.


The third change that was announced was the reduction in the time individuals have to pay the capital gains tax due.

Currently individuals have until the normal self-assessment deadline to report and pay any tax due, currently 31 January after the end of the relevant tax year. However under the new proposals the individuals will have only 30 days from the actual disposal date to pay the capital gains tax due.

Not only individual landlords will have to pay CGT within 30 days they were also dropped out of the reduction in CGT which was announced by the chancellor in his 2016 budget for other capital assets.

Other capital assets will suffer a reduced rate of 10% down from 18% on the basic tax rate band and 20% down from 28% on higher rate tax band.

If you require more information as to how these changes may affect you please contact us or call us on 0203 039 3993.

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