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You are here: BAILII >> Databases >> United Kingdom Special Commissioners of Income Tax Decisions >> Phillips & Ors v Revenue & Customs [2006] UKSPC SPC00555 (26 July 2006) URL: http://www.bailii.org/uk/cases/UKSPC/2006/SPC00555.html Cite as: [2006] UKSPC SPC555, [2006] UKSPC SPC00555 |
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SPC00555
INHERITANCE TAX – relief for relevant business property - deceased owned shares in a company which lent money to other related family companies some of which invested in property – whether the business carried on by the company which made the loans consisted wholly or mainly of making or holding investments - no – appeal allowed – IHTA 1984 s105(3)
THE SPECIAL COMMISSIONERS
PETER PHILLIPS, STACEY PHILLIPS AND JANICE PHILLIPS
THE EXECUTORS OF
RHODA PHILLIPS DECEASED
Appellants
- and -
THE COMMISSIONERS FOR HER MAJESTY'S
REVENUE AND CUSTOMS
Respondents
SPECIAL COMMISSIONER: Dr A N Brice
Sitting in London on 14 June 2006
Peter Phillips FRICS, one of the Appellants, for all the Appellants
Colin Ryder, Assistant Director of the Capital Taxes Office, for the Respondents
© CROWN COPYRIGHT 2006
DECISION
The appeal
"The Commissioners for Her Majesty's Revenue and Customs have determined:
In relation to the deemed disposal for the purposes of inheritance tax on the death on 27 June 2001 of Mrs Rhoda Phillips ("the Deceased"),
That the Deceased's holding of 245,000 £1 ordinary shares in P P Investments Ltd was not relevant business property for the purposes of section 104 Inheritance Tax Act 1984, having regard to the requirements of section 105(3) of that Act."
The legislation
The issue
The evidence
The facts
The eight related family companies
(1) A F Heath & Co (Builders) Limited. This company was established on 1 March 1945 and its principal activity is that of property dealing. As at 1 January 1990 there were 50 ordinary shares in issue of which 48 were held by Mr Philip Phillips and 2 were held by the deceased; they were both directors. In 1990 changes in the shareholdings took place and at 1 December 1993 there were 10,000 ordinary shares in issue of which Mr Philip Phillips held 2,502; the deceased held 2,500; Miss Stacey Phillips held 2,499 and Mr Peter Phillips held 2,499. All four were directors. No further changes took place until the death of Mr Philip Phillips when his shares passed to the deceased. Relief for relevant business property was not claimed in respect of the deceased's shareholding in this company.
(2) P P Investments Limited. This is the company the shares of which are at issue in this appeal. It was established in 1958. The principal object of the company was stated in its memorandum of association at article 3(a) to be to acquire land and buildings for the purposes of investment only and with a view to receiving income. Article 3(h) provided that another object was to invest and deal with the moneys of the company not immediately required for the purposes of the company in or upon such securities and subject to such conditions as might seem expedient. Article 3(i) provided that another object was to lend money to such persons, upon such terms and with or without security and subject to such conditions as might seem desirable. The number of issued ordinary shares was 275,000. The deceased acquired 235,000 shares on the death of Mr Philip Phillips on 22 March 2000. At the date of her death the deceased owned 245,000 shares (89.09%) and Miss Stacey Phillips, Mr Peter Phillips and Miss Janice Phillips owned 10,000 shares (3.66%) each.
(3) Phillips (Family Properties) Limited. This company was established on 25 August 1959 and its principal activity is that of property investment. As at 1 January 1990 there were 100 ordinary shares in issue of which Mr Philip Phillips held 75 and Mr Peter Phillips held 25. In 1990 changes in the shareholdings took place until, on 8 April 1996, each of Mr Philip Phillips, the deceased, Mr Peter Phillips and Miss Stacey Phillips held 25 shares. No further changes took place until the death of Mr Philip Phillips when his shares passed to the deceased. All four shareholders were directors. Relief for relevant business property has not been claimed in respect of the deceased's shareholding in this company.
(4) Crossmill Securities Limited. This company was established on 8 May 1972 and its principal activity is that of property dealing and investment. As at 1 January 1990 there were 10,000 ordinary shares in issue of which Mr Philip Phillips held one, the deceased held 3,333 and the remaining 6,666 were held jointly by the three Appellants. All five shareholders were directors. No changes were made before the death of Mr Philip Phillips when his share passed to the deceased. The Appellants agreed that the shareholding of the deceased in this company did not qualify for relief for relevant business property.
(5) Philip Phillips & Co Ltd (the estate agency company) was incorporated on 20 February 1978. Its principal activity is that of surveyors, valuers, auctioneers, estate agents and property dealers. As at 31 March 1998 there were 1,000,000 ordinary shares in issue of which Mr Philip Phillips held 235,000; the deceased held 350,000; Miss Stacey Phillips and Mr Peter Phillips held 200,000 each and a Ms Ingram held 15,000. All five shareholders were directors. On the death of Mr Philip Phillips his shares passed to the deceased. The Revenue agreed that relief for relevant business property at the rate of 100% applied to the shareholding of the deceased in this company.
(6) Brolaw Properties Limited. This is a property investment company about which I received very little evidence save that at the date of her death the deceased owned 50% of the shares.
(7) Kirphil Properties Limited. This is a property investment company. At the date of her death the deceased owned 75% of the shares and the rest were held by Miss Janice Phillips.
(8) Management Investments Limited. This company provided property and management services to the other related family companies and ran an insurance agency. At the date of her death the deceased owned 60% of the shares with 20% being owned by each of Mr Peter Phillips and Miss Stacey Phillips.
A F Heath & Co (Builders) Limited 50.02%
P P Investments Limited 89.09%
Phillips (Family Properties) Limited 50%
Crossmill Securities Limited 33.34%
Philip Phillips & Co Limited (the estate agency company) 58.5%
Brolaw Properties Limited 50%
Kirphil Propreties Limited 75%
Management Investments limited 60%
The events of 1989
The business of P P Investments Limited since 1989
Year ending Loans to related companies Cash
30 April 1989 £264,414 £1,238,001
30 April 1990 £746,001 £ 890,707.
30 April 1991 £526,142 £ 792,452
As at 5 April 1994 £472,995 £ 471,265
As at 5 April 1995 £646,912 £ 295,530
As at 5 April 1996 £858,907 £ 117,615
As at 5 April 1997 £678,230 £ 304,806
As at 5 April 1998 £902,063 £ 185,546
As at 5 April 1999 £943,792 £ 121,479
As at 5 April 2000 £866,295 £ 186,038
As at 5 April 2001 £762,964 £ 305,572
As at 5 April 2002 £775,083 £ 323,218
The extent of the lending activity
A F Heath & Co (Builders) Limited 3 properties and core lending
Phillips (Family Properties) Limited 1 property and core lending
Crossmill Securities Limited 4 properties
Philip Phillips & Co Limited Core lending only
V Baker deceased One loan
A F Heath & Co (Builders) Limited 3 properties
Phillips (Family Properties) Limited 1 property and core lending
Crossmill Securities Limited 5 properties
Philip Phillips & Co Limited Core lending only
The consumer credit licence
The descriptions in the directors' reports
The treatment of the company for corporation tax purposes
The views of the Capital Taxes Office
Reasons for Decision
Decision
DR A N BRICE
SPECIAL COMMISSIONER
RELEASE DATE: 26 July 2006
Authorities cited by the parties but not mentioned in this Decision:
Inland Revenue Commissioners v 1933 Housing Society Limited (1946) 25 ATC 355 at 361
Tootal Broadhurst Lee Co Ltd v Inland Revenue Commissioners [1949] 1 All ER 261 at 264B
Martin and another v Inland Revenue Commissioners [1995] STC (SCD) 5 at paragraphs 27 to 27
Burkinyoung v Inland Revenue Commissioners [1995] STC (SCD) 29 at paragraphs 11-15
Cook v Medway Housing Society [1997] STC 90.
Powell and another v Inland Revenue Commissioners [1997] STC (SCD) 181 at 185e
Clark and another v Revenue and Customs Commissioners [2005] STC (SCD) 824
SC 3311/2005