Ray & Mclaughlin's Practical Inheritance Tax Planning (16TH)

Ray & Mclaughlin's Practical Inheritance Tax Planning (16TH)

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  • 製本 Paperback:紙装版/ペーパーバック版/ページ数 963 p.
  • 言語 ENG
  • 商品コード 9781526507815
  • DDC分類 343

Full Description


Ray and McLaughlin's Practical Inheritance Tax Planning, 16th Edition is a long-established first port of call for private client advisers working with clients on inheritance tax planning engagements.The practical commentary addresses the main planning points, potential pitfalls and possible solutions for IHT and estate planning purposes.Since the previous edition this latest title picks up on the important changes to HMRC practice, new case law and legislation, including in relation to deemed domicile and excluded property as introduced in Finance (No 2) Act 2017.New updates include:- New and amended commentary and examples on the domicile changes introduced following Royal Assent to Finance (No 2) Act 2017- Updated commentary on the excluded property restrictions in respect of overseas property with value attributable to UK residential property, as introduced in Finance (No 2) Act 2017- Commentary on the expanded reporting requirements for IHT purposes under the disclosure of tax avoidance schemes (DOTAS) provisions- New and updated commentary on compliance, including the 'requirement to correct' certain offshore tax non-compliance- New cases, including Henderson & Others v HMRC (domicile); The PersonalRepresentatives of Grace Joyce Graham (Deceased) v HMRC, Williams and others (executors of Duncan Stewart Campbell deceased) v HMRC (business property relief); Whitlock and Anor v Moree (Bahamas) (joint accounts).Mark McLaughlin is a consultant with Mark McLaughlin Associates Ltd (www.markmclaughlin.co.uk), and also The TACS Partnership (www.tacs.co.uk). He is a fellow of the CIOT and ATT, a member of STEP and a member of the CIOT's Succession Taxes and CGT and Investment Income Sub-Committees. Mark has written many tax publications and articles, including 'McLaughlin's Tax Case Review' (www.taxinsider.co.uk) and is Co-Founder of TaxationWeb (www.taxationweb.co.uk).Geoffrey Shindler OBE has specialised in the area of capital taxes, trusts and wills for 40 years. He is the editor of Trusts and Estates Law & Tax Journal, Trust Drafting and Precedents (Looseleaf, Bloomsbury Professional) and a member of the Editorial Board of Wills & Trusts Law Reports and The Conveyancer and Property Lawyer.Paul Davies is a partner in the private client team of DWF LLP solicitors in Manchester. He is a member of the CIOT and STEP, and practised briefly as a chartered accountant prior to qualifying as a solicitor in 2003.

Contents

1. Introduction and Outline2. Domicile3. Excluded Property4. The Art of Giving5. Gifts with Reservation of Benefit6. Husband, Wife and Civil Partner7. Nil Rate Band8. Residence Nil Rate Brand9. The use of Exemptions10. Appropriate Will Planning 11. Practical Aspects of Will Drafting 12. Interest in Possession Settlements13. Non-interest in Possession Settlements14. Other Varieties of Settlement15. Practical Aspects of Drafting Settlements16. Business Interests17. Business Property18. Agricultural Property19. Estate Planning- Woodland, heritage property and Lloyd's Underwriters20. Pensions, Life Assurance etc21. Pre-owned Assets22. Compliance Issues

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