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US Living Trusts may trigger UK trust tax liability

UK nationals living and working in the US may be open to UK tax liabilities through Living Trusts

US Living Trusts may trigger UK trust tax liability

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Living Trusts are typically taken out during an individual’s lifetime usually to avoid having to apply for probate in the US.  However, since the introduction of the 2006 Finance Act and changes to UK trust taxation, a Living Trust in the US may trigger a 20 per cent tax charge in the UK.

The 2006 Finance Act introduced an automatic 20 per cent charge to UK inheritance tax on the creation of a lifetime trust (with few exceptions), with periodic charges every 10 years and exit charges when assets leave the trust. 

A UK national living in the US might well believe that he has lost his UK domicile by virtue of becoming a resident in the US for an extended period of time.  However, it is quite difficult to lose UK domicile status and such a claim is likely to come under close scrutiny from the HM Revenue & Customs in the UK.

It is our experience that UK nationals and, rather more worryingly, US financial advisers and tax planners, are still largely unaware of the changes in UK trust tax legislation and continue to recommend Living Trusts as a sensible option – even to the extent of including UK assets within the vehicle.

And it is not just UK nationals living and working in the US that might get caught with a UK tax liability.  US nationals who hold assets in the UK or if they become domiciled in the UK by virtue of spending many years in the UK might also find themselves with a UK tax liability from a Living Trust made in the US.

Not all Living Trusts will be caught and only those created or amended after 22 March 2006 are at risk.  Much will depend on how the trust document is worded and the individual circumstances.  We would always suggest that an individual considering or holding a Living Trust in the US but living or spending considerable time in the UK take advice.

Geoffrey Todd is a partner in the private client and tax team at Boodle Hatfield. He can be reached by email: gtodd@boodlehatfield.com.

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