Richard Thomas v The Commissioners for HMRC

Richard Thomas v The Commissioners for HMRC

The right to repayment of overpaid income tax, although not enforceable immediately before death, became property by operation of s 171 IHTA 1984 due to death, was assignable at the relevant time, and its market value was equal to the refund amount; thus, it forms part of the estate for inheritance tax purposes.

Source-derived case information.

Parties
Appellant: Richard Thomas as the executor of the will of Eunice Thomas (deceased); Respondent: The Commissioners for His Majesty’s Revenue and Customs
Jurisdiction
England and Wales
Procedural Posture
Appeal / Final Judgment
Outcome
appeal dismissed
Legal Topics
Inheritance Tax, Income Tax Repayment, Estate Valuation
Tax Law Succession Law Inheritance Tax Income Tax Repayment Estate Valuation

Source-derived case record

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Parties

Richard Thomas as the executor of the will of Eunice Thomas (deceased)

Appellant

The Commissioners for His Majesty’s Revenue and Customs

Respondent

Procedural Posture

Appeal / Final Judgment

  1. 1 Whether an income tax repayment for the tax year 2020/21 forms part of the deceased's estate for inheritance tax purposes
  2. 2 Whether the right to repayment constitutes property under s 272 IHTA 1984
  3. 3 How to value the right to repayment at the date of death

Ratio Decidendi

The right to repayment of overpaid income tax, although not enforceable immediately before death, became property by operation of s 171 IHTA 1984 due to death, was assignable at the relevant time, and its market value was equal to the refund amount; thus, it forms part of the estate for inheritance tax purposes.

Court Disposition

appeal dismissed

Orders

  • Mr Thomas’s appeal is dismissed.
  • The income tax repayment forms part of the estate for inheritance tax purposes.