Tonkin v Revenue and Customs (INHERITANCE TAX - employee benefit trust - scheme entered into to pay a bonus in a way that avoided income tax and NICs - Appellant accepted that scheme ineffective and that income tax and NICs are due - whether an additional charge to inheritance tax under IHTA 1984, s 94 (charge on participators in a close company) - whether the effect of IHTA 1984, s 94(2)(a) is to prevent an apportionment) [2025] UKFTT 750 (TC) (19 May 2025)
IHTA 1984, s 94(2)(a) applies because the payment to Ms Tonkin was taken into account in computing her income for income tax purposes, so no apportionment for inheritance tax arises. The appeal is allowed.
- Citation
- [2025] UKFTT 750
- Parties
- Appellant: Annette Tonkin; Respondents: The Commissioners for His Majesty's Revenue and Customs
- Jurisdiction
- United Kingdom
- Judgment Date
- 19 May 2025
- Procedural Posture
- Tax Appeal (inheritance Tax) / First Tier Tribunal Decision
- Outcome
- Appeal allowed
- Legal Topics
- Inheritance Tax, Employee Benefit Trusts, Tax Avoidance Schemes, PAYE, National Insurance Contributions, Close Companies, Apportionment Under IHTA 1984 S 94
Case Brief
Summary, issues, holding and outcome
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Parties
Annette Tonkin
Appellant
The Commissioners for His Majesty's Revenue and Customs
Respondents
Procedural Posture
Tax Appeal (inheritance Tax) / First Tier Tribunal Decision
Legal Issues
- 1 Whether an additional charge to inheritance tax arises under IHTA 1984, s 94 in respect of a failed employee benefit trust scheme
- 2 Whether IHTA 1984, s 94(2)(a) prevents apportionment where the payment is subject to income tax
- 3 Whether IHTA 1984, s 12 prevents there being a transfer of value
Ratio Decidendi
IHTA 1984, s 94(2)(a) applies because the payment to Ms Tonkin was taken into account in computing her income for income tax purposes, so no apportionment for inheritance tax arises. The appeal is allowed.
Court Disposition
Appeal allowed
Orders
- Notice of determination for inheritance tax under IHTA 1984, s 94 set aside.
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