The Scotsman

Closing ‘loopholes’ could be counterpro­ductive

- Comment Colin Henderson

Earlier this month, the Scottish National Party’s Westminste­r treasury spokespers­on Alison Thewliss said: “The current system of inheritanc­e is not fit for purpose, with loopholes allowing the wealthiest individual­s to avoid paying their fair share. It is high time inheritanc­e was devolved so that the Scottish government could deliver a system designed to meet Scotland’s needs. In the meantime, the SNP will continue to lead the fight against tax avoidance at Westminste­r.”

Some aspects of income tax have been devolved to Scotland. However, inheritanc­e tax (IHT), along with certain other taxes, remains with the UK government and applies uniformly across the country.

IHT taxes estates on death and lifetime gifts at 40 per cent. The first £325,000 of an individual’s estate is taxed at 0 per cent. Some estates may benefit from a further £125,000 taxed at 0 per cent where residentia­l property is involved.

Receipts from IHT have been increasing in recent years on the back of property values and buoyant stock markets. HMRC figures stated a record £5.2 billion raised in the financial year 2016/17, with Scotland accounting for £283 million.

Following the 2014 independen­ce referendum, all major political parties participat­ed in the Smith Commission and although one of the agreed outcomes was that IHT would remain the responsibi­lity of the UK government, it would appear that the SNP is now taking a very different view.

IHT is a notoriousl­y complex tax which is difficult and expensive to administer. A tax system should be easy to understand and taxpayers should be clear on their obligation­s. If a Scottish government had the courage to sweep away complicate­d measures, many would welcome a new regime. But a separate IHT regime for Scotland could also present challenges and, potentiall­y, yet another layer of complexity.

Currently, the determinin­g factor placing someone in the UK IHT net is the conresiden­ce. cept of his or her domicile. There would be many cases where establishi­ng if someone’s permanent home was in Scotland or elsewhere in the UK would be problemati­c and it would not be in anyone’s interest to deal with two separate tax authoritie­s.

The difficulty in establishi­ng whether someone would be liable for Scottish IHT or UK IHT might need to be resolved by establishi­ng a whole new system for Scotland, perhaps based on long term Significan­t differenti­als in the amount of IHT paid between Scotland and elsewhere in the UK could act as an incentive for people to relocate to where they perceive their family’s best interests lie.

Some press coverage has speculated that the SNP may have been particular­ly concerned at the special tax treatment for business property, where certain types of asset receive 100 per cent relief from IHT after they have been owned for two years – for example, interests in a sole trader business, or shares in unquoted trading companies.

The UK government extended this relief to shares in trading companies quoted on the Alternativ­e Investment Market (AIM) to encourage investment in entreprene­urial business. Portfolios consisting of shares in such companies are offered by specialist investment managers, with a view to building up a financial resource which is Iht-free. But AIM investment is generally regarded as not for the faint hearted due to the increased risk and volatility at play.

A loophole is an ambiguity or inconsiste­ncy which is then exploited. Is investing in AIM, when tax rules specifical­ly offer 100 per cent relief from IHT, a tax loophole? It depends on which side of the political fence you sit. Removing business relief from all AIM quoted shares would raise welcome extra tax revenue. But the prospect of a 40 per cent tax bill might result in investors reducing backing to small and growing businesses, just when the wider economy needs them to flourish most. Colin Henderson, partner, private client services, Anderson Strathern LLP

A separate Scottish IHT regime could present more

challenges

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