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| Stud Farms - 'A Rich Man's Hobby Which Is Not Carried On For Gain' |
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Julie Butler FCA, of Butler & Co, considers the IHT treatment of stud farms. IntroductionMany owners of equine businesses question whether or not Inheritance Tax (IHT) Relief will apply to the Stud Farm and what the concerns are. HMRC have at last produced greater guidance on the Stud Farm and the qualification thereof for Agricultural Property Relief (APR) for Inheritance Tax (IHT). HMRC SaysChapter 24 of the HMRC IHT Manual (IHTM) sets out the taxman’s understanding of the stud for agriculture/APR. I take the liberty of reproducing part of the text intact. The Definition of the Stud Farm
Advice to the HMRC OfficersThe Manual continues:
The Importance of Agricultural UseThe Manual continues:
It is noted with interest that HMRC accept that the “stud farm” is not defined in the Act and guess what: “relief will not be available for a rich man’s hobby which is not carried on for gain.” Perhaps that’s the starting point – the “C” word – commerciality. There must be gain and the easiest way of proving this is a profit in the Accounts. That might sound over simplistic… An important explanation is the “details of advertising and publicity for the stud, plus full particular of sales.” Perhaps, in fact, that is the first “badge of trade” – there must be sales and advertising. A stud owner when questioned said with genuine respect and love of her horses “I don’t sell my horses in the same way I don’t sell my friends.” It is difficult to establish a business with no sales… Clearly there must be:
Precise Nature of the Trading ActivityThe claim for APR will come under scrutiny and HMRC will try and establish the “precise” nature of the business. HMRC can access the racing and equine websites for stock performance, “Google Earth” for location and “Google” for the name of the owner, stud and image. It is possible to obtain a very clear picture within a few minutes. It must be remembered that there is huge availability of independent information available to HMRC. Quotes by well-meaning owners to Horse & Hound correspondents (not necessarily as adorable and uninformed as Hugh Grant in Notting Hill) of, “We breed for fun”, “We bought the stud as an investment”, “Our horses are our family and we hate to part with them”, “We turned down “£x million because it cannot all be about profit” might reappear and result in £Millions of IHT relief possibly being disallowed. Even the ObituaryHMRC have access to vast amounts of data. It must be remembered that in Arnander the obituary for Mr McKenna was recorded with no reference to being a farmer. Yes, even the obituary must be efficient, so perhaps the recording of the following in the obituary should not be:
ConclusionCommerciality and “purpose of gain” are essential for IHT reliefs to be achieved. There are substantial sums of potential IHT to be saved and so the running of the operation should be commercial, businesslike and capable of surviving HMRC scrutiny. There are very many commercial, well-run, professional studs who are disadvantaged by the fact that the perception by HMRC of a “rich man’s hobby which is not carried on for gain” sometimes takes some moving away from. The stakes are high and there is a lot to be gained by checking all the correct criteria and safeguards are in place.
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About The Author ![]() Julie Butler FCA (T) 01962 735544 Julie Butler F.C.A. is the author of Tax Planning for Farm and Land Diversification ISBN: 0754517691 (1st edition) and ISBN: 0754522180 (2nd edition) and Equine Tax Planning ISBN: 0406966540. The third edition of Tax Planning For Farm and Land Diversification will be published shortly. |
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Article Added Saturday, 19 December 2009 | 2080 Hits |
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