FastSaying

Holdover applies in two situations. Under s260 Taxation of Chargeable Gains Act (TCGA) 1992 on a lifetime gift where inheritance tax is payable upfront - most commonly on a gift to a discretionary trust - the relief is available even where the gift to the discretionary trust is within the donor's nil rate band, that is, where no IHT is actually payable.

Charles Hutton

ActAppliesChargeableGainsGiftInheritanceLifetimeSituationsTaxation

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