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FOR FINANCIAL ADVISERS ONLY
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Discretionary Trusts

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Relevant Property Trusts - Principle Charge (10 year charge)

Post 21 March 2006 interest in possession and discretionary trusts (known collectively as relevant property trusts) are subject to a 10 year IHT charge known as the Principle Charge. This can be quite complex and offers a significant advice opportunity with your trust clients.
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The mechanics of a flexible carve out trust

The interests or rights held for the settlor are not regarded as ‘settled property’ under the IHT definition [IHTA 1984 s43] and therefore are not subject to the relevant property regime, where exit charges and 10 year charges would apply.
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Discretionary trust taxation

This article explains the UK inheritance tax treatment of a discretionary trusts or a trust which is subject to the relevant property regime.
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2016 Prepare for the charge! (The Periodic charge)

The first of the post 21 March 2006 interest in possession and discretionary trusts (known collectively as relevant property trusts) are less than 6 months away from their first 10 year review. What should you consider when looking at this significant advice opportunity with your trust clients?
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Rysaffe principle

The Rysaffe case is often referred to within trust planning. It demonstrates that there are various ways of using multiple trusts in order to achieve effective trust planning.

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