Title: Trust taxation and opportunities for Trustee Investment
1Trust taxation and opportunities for Trustee
Investment
For financial advisers only
2Trusts
- Objectives of a trust and types of trust
- How are they taxed?
- Investment/Planning opportunities
3Objective of creating the Trust
- Destination
- Control
- Gifts to minors
- Appropriate access
- Taxation benefits
4Types of trust
5Types of trust
- Bare/Absolute
- Interest in Possession
- Discretionary
6Bare Trust
- Use beneficiaries CGT allowances
- Use beneficiaries personal allowances
- Care re parental settlements 100 income rule
- IHT treatment age of beneficiaries?
7Interest in Possession Trusts
- One or more beneficiaries entitled to income
- Capital payments determined by trustees
- No IHT liabilities on beneficiary of post 22
March 2006 trusts
8Discretionary Trusts
- Trustees have total control over distribution of
both income and capital - Complex IHT issues
9New lifetime trusts
- Broadly a two way selection
- But which one is most appropriate?
- Rigid or flexible
- IHT friendly or not
- Simple or complicated
- Size of asset/policy/premiums
10Individuals involved
11Individuals involved
- Settlor/Donor
- Trustees
- Beneficiaries
12Taxation of Trusts - Inheritance Tax
Type of Trust In Out Periodic charge
Bare/Absolute PET Free N/A
Interest in Possession CLT Exit charge Every 10 years
Discretionary CLT Exit charge Every 10 years
13Creating a trust IHT considerations
- Order of gifting
- Multiple trusts
14Order of gifting
15Planning order for trusts
- Exempt transfers (eg most protection policies)
- Loans (including gift loan schemes)
- CLTs (eg discount schemes and retained interest
trusts) - PETs (incl. to bare trusts)
16Planning order example
- Client uses annual exemptions elsewhere
- Wants to make direct gift of 200,000 to son
(PET) - Wants to create discretionary trust for
grandchildren with 250,000 (CLT)
17Planning order example PET first
- PET of 200,000 no initial IHT
- CLT of 250,000 no initial IHT
- Death after 4.5 years when NRB say 350,000
- No tax on failed PET but uses up 200,000 of NRB
- So tax on CLT
18Planning order example PET first
- PET of 200,000 no initial IHT
- CLT of 250,000 no initial IHT
- Death after 4.5 years when NRB say 350,000
- No tax on failed PET but uses up 200,000 of NRB
- So tax on CLT
- Need to revisit Entry Charge for CLT
19Planning order example PET first
- Aggregate of chargeable transfers 450,000
- Less NRB of 350,000 100,000 x 40 40,000
- Taper relief of 40 reduces tax to 24,000
20Planning order example PET first
- Aggregate of chargeable transfers 450,000
- Less NRB of 350,000 100,000 x 40 40,000
- Taper relief of 40 reduces tax to 24,000
- Payable at this time by CLT
21Planning order example PET first
- At 10 year anniversary of CLT Trust Fund worth
500,000 and NRB (say) 400,000 - Periodic charge (500,000 200,000 -
400,000) x 6 18,000 - Total tax (24,000 18,000) 42,000
- (And 200,000 (failed PET) aggregated for this
and all future periodic charges)
22Planning order example CLT first
- CLT of 250,000 no initial IHT
- PET of 200,000 no initial IHT
- Death after 4.5 years when NRB say 350,000
- No tax on CLT but uses up 250,000 of NRB
- So tax on failed PET
23Planning order example CLT first
- Aggregate of chargeable transfers 450,000
- 450,000 less NRB of 350,000 100,000 x 40
40,000 - Taper relief of 40 reduces tax to 24,000 (as
before) - Payable at this time by PET
24Planning order example CLT first
- At 10 year anniversary of CLT Trust fund worth
- 500,000 and NRB (say) 400,000
- Periodic charge
- (500,000 - 400,000) x 6 6,000
- Total tax (6,000 24,000) 30,000 (a saving
of 12,000) - (as failed PET after CLT not included in this or
subsequent periodic charge calculations)
25One Trust or more ?
26Policy structure
- Mr A applies for a Skandia Protect plan for a sum
assured of 1million - Plan is written as one policy
- The premium is 20,000 per annum
- He confirms he has made no CLTs in the last
seven years - The plan is assigned into a discretionary trust
27Policy structure
- In ten years time consider for periodic charge
- Periodic charge based on market value of trust
fund - Is Mr A still in good health?
- Medical evidence obtained
- Market value of trust fund (say) 800,000
- If nil rate band (say) 400,000 periodic charge
will apply
28Using multiple trusts for protection policies
- Consider related settlement legislation
29Using multiple trusts for protection policies
- Alternative structure at commencement
Each individual policy is assigned into a
separate trust on different dates
30Using multiple trusts for protection policies
- Revised tenth anniversary periodic charge
calculation
NRB 400,000 NRB 400,000 NRB
400,000 NRB 400,000
Assumed nil rate band in ten years
31Taxation the continuing trust
32Taxation the continuing trust
Nature of trust Income tax Bare
Beneficiary Interest
in Possession 20/22 Discretionary
40
- Care with UK dividends tax rate 32.5
- Settlor/Settlors spouse included
33Basic rate band (applied from 6 April 2005)
- First 1,000 income per annum taxed at basic rate
for all trusts - Where income which has been taxed at source is
less than 1,000 per annum, no further tax so
self-assessment avoided
34Taxation the continuing trust
Nature of trust Income tax
CGT Bare Beneficiary
Beneficiary Interest in Possession
20/22 40 Discretionary
40 40
- Care with UK dividends
- Settlor/Settlors spouse included
- Trustees receive annual CGT allowance of half
normal allowance
35CGT trust planning
- Rysaffe impact on CGT allowance
- Multiple trusts division of CGT allowance
36Trustee Investment
- Investment/Planning opportunities
37Investment by trustees
- Objectives of trust
- Taxation of trust
- Type of investment
- Tax status of beneficiaries
38Investment by trustees
- Income?
- Capital appreciation?
- Mixture?
- Long/Short term?
- Risk profile?
39Investment by trustees
- Role of trustees in investment decisions
- Trustee Act 2000
40Trustee Act 2000
- Section 3 any kind of investment...if he were
absolutely entitled... - Section 4(3) standard investment criteria -
suitable/diversification - What does diversification mean?
41Trustee Act 2000
- Section 5(1) must...obtain and consider proper
advice - Section 5(2) similarly when reviewing
- Section 5(4) proper advice of a person who
is reasonably believedto be qualified to give it
by his ability in and practical experience of
financial... matters
42Which investment vehicle?
- Collective
- Investment bond
- Equities
43Taxation of UK dividends under a discretionary
trust
44Trustee investment - UK equities
- Dividend 80.00
- Tax credit (1/9th) 8.89
- Total 88.89
- Income tax at 32.5 28.89
- 60.00
45Trustee investment - UK equities
- Dividend 80.00 (after tax credit)
- Income tax 20.00
- 60.00
So how much can the trustees distribute?
46Trustee investment - UK equities
- Dividend 80.00 (after tax credit)
- Income tax 20.00
- 60.00
Trustees can only distribute an amount which
equals 80 less 40 48.00 Balance of 12.00
paid to HMRC
47Trustee investment - UK equities
- So beneficiary receives 48.00 net
- with a tax credit of 32.00
What are tax consequences for beneficiary?
48Trustee investment - UK equities
- So beneficiary receives 48.00
net - with a tax credit of 32.00
Tax on 80.00 _at_ higher rate 32.00 Tax to pay
0.00 48.00 0.00 48.00 Effective tax rate
46.00
49Trustee investment - UK equities
- So beneficiary receives 48.00 net
- with a tax credit of 32.00
Tax on 80 _at_ basic rate
17.60 Tax refund
14.40 48.00 14.40 62.40 Effective tax
rate 29.80
50Trustee investment
- So is there an alternative to equities that will
avoid this reduction?
51Investment bonds
52Trustee investment - Bonds
- Trustees own an onshore investment bond which
receives a dividend of 80. The tax credit
accounts for the insurance companys tax
liability in respect of the dividend.
53Trustee investment - Bonds
-
- Insurance company receives 80.00 net
- Tax on 80.00 _at_ Trustee rate (ie 20)
16.00 - Net distribution 64.00
- Effective tax rate 28
Subject to any exit charge
54Chargeable event gains
- Bonds in trust
- s.467 ITTOIA 2005
55Chargeable event gains
- Bonds in trust assess settlor if alive and UK
resident - If not, UK trustees
- If not, UK beneficiaries
56Single premium bonds - flexibility
- Trustee options
- 5
- Compare settlor/trust rate to that of beneficiary
- Trustees encash or assign to adult beneficiary
- Beneficiary encashes - gain assessed on
beneficiary
57Why a single premium investment bond ?
- Simplicity/Tax control
- Non-income producing asset
- The anti-avoidance provisions relating to
settlements only apply to income and capital
gains arising in the trust - No fuss switching
- No problem re CGT and multiple trusts
- HMRC returns simplified/avoided
58Structure of a portfolio
- Capital Gains Tax
- Low yielding unit trust
- Income
- Gilts/Corporate Bonds
- Capital Payments/income top up
- Investment Bonds
59Summary
- Structure (eg Rysaffe)
- Order of gifts
- Interaction of investment opportunities and
taxation
60This presentation is based on Skandias
interpretation of the law and HM Revenue
Customs practice at October 2006. Whilst this
interpretation is believed to be correct, Skandia
can give no guarantee in this respect. This
presentation is only intended to provide a
general description of the Skandia products and
trusts. Further details of the products and
trusts can be found in the relevant technical
guides and Policy Terms, available from any
Skandia office.
61- www.skandia.co.uk
-
- Skandia Life Assurance Company Limited (an
incorporated company limited by shares) and
Skandia MultiFunds Limited - Registered Numbers 1363932 and 1680071 England
- Registered Office Skandia House, Portland
Terrace, Southampton, SO14 7EJ, United Kingdom - Both companies authorised and regulated by the
Financial Services Authority FSA Register
numbers 110462 and 165359 - Royal Skandia Life Assurance Limited (an
incorporated company limited by shares) - Registered Number 24916 Registered and Head
Office Skandia House, King Edward Road, Onchan,
Isle of Man, IM99 1NU, British Isles - Phone 44 (0)1624 655 555 Fax 44 (0)1624 611
715 - Authorised by the Isle of Man Government
Insurance and Pensions Authority - Authorised and regulated by the Financial
Services Authority for business conducted in the
UK. Some of the FSAs rules do not apply to
non-UK based insurers - FSA Register number 142309