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    Growth, credibility and survival: what’s really at stake in November’s Budget

    The run-up to any Budget inevitably brings with it a flurry of speculation and selective leaks. Often these are nothing more than flag-flying exercises so policy ideas can be floated to test the reaction of the press and public before any real decision has been taken. It seems this year is no different. What matters, however, is separating the noise from the reality: what the Chancellor can do, what she might do, and what she should do.

    Income tax remains the government’s single largest source of revenue, accounting for around 27% of receipts and 11% of national income. It is the most obvious lever for any Chancellor looking to raise funds. But the Labour Party’s manifesto pledged not to increase taxes on working people and that commitment already looks fragile. The rise in employers’ National Insurance contributions earlier this year was framed as something different, but it represented a broken promise by stealth.

    There have also been rumours of National Insurance being extended to rental income – a puzzling idea given that NIC has historically been a tax on earnings rather than investment returns. A more coherent approach might be to recognise that the tax system already differentiates between earned and unearned income. Not long ago, the basic rate was 22% on earnings and 20% on investment income. The Chancellor could revisit this structure and perhaps nudge earnings up to 21% while raising the rate on interest and rental income to 24%. Such a move would raise revenue while leaning on those with greater investment wealth, rather than purely on earned income.

    Another near certainty is the continued use of fiscal drag. By freezing thresholds in the face of inflation, the Treasury allows more taxpayers to be pulled into higher bands without the political fallout of an explicit rise in rates. But there is a real problem with the personal allowance. Left unchanged for so long, it risks dragging pensioners with only the state pension into the tax net. That would be politically toxic. I believe the Chancellor should use this Budget to raise the allowance, even modestly, to protect those on the lowest incomes.

    Inheritance Tax is always politically sensitive, but changes in the last Budget have already prompted greater use of gifting. Possible next steps include extending the seven-year survival period or introducing a US-style cap on lifetime gifts exempt from IHT. Either would be radical and controversial, so the government has to weigh the revenue benefit against the risk of alienating middle-income households who increasingly view IHT not as a tax on the wealthy, but as one on families who have worked and saved throughout their lives.

    Pensions remain a constant target for reform, and I can see three possibilities: 1) restricting or reshaping the tax-free lump sum. This would be politically explosive, given that many have planned their retirements and even final mortgage payments around this entitlement. 2) Introducing a flat rate of relief on contributions. This would simplify the system and redistribute relief away from higher earners, although at the cost of dampening incentives to save. 3) levying employers’ NIC on pension contributions. That would raise revenue, but at the expense of both businesses and employees, who ultimately share the burden. None of these options are straightforward, and each risk undermining long-term confidence in retirement saving.

    When Labour came into power, they spoke endlessly of a £22bn black hole. That narrative dominated to such an extent that it risked talking the UK economy into recession. This time around, the government has been quieter. That feels like a deliberate choice by a relatively unpopular administration which is trying to dampen expectations, avoid fuelling pessimism, and buy time. But the Chancellor cannot rely solely on delay. Her policies will only succeed if the economy grows. Growth, in turn, requires confidence and not constant tinkering. It also requires investment from both the private sector and individuals.

    When you combine all of these factors, this Budget must offer something beyond tax rises and fiscal drag. Reliefs for businesses investing in the UK, or incentives for individuals to back British companies, would send an important signal. They would, of course, cost money in the short term but would support the growth the government ultimately needs.

    I know I’m not alone in thinking this, but the decision to delay the Budget until late November may not be accidental as it gives the Chancellor more time to hope for better growth figures. If that happens then it could potentially soften the blow of whatever tough measures she feels compelled to announce.

    For now, the Chancellor faces a delicate balancing act between fiscal responsibility and political credibility, and between raising revenue and sustaining growth. Whether she succeeds will depend not only on the measures announced next month, but also on whether she can offer a clearer, and more confident vision for the economy than we have seen so far.

    It does all make you wonder whether this will be her last Budget. As we know, political cycles move quickly, and so too do ministerial careers.

    Autumn Budget 2024: Inheritance tax reforms and their impact on businesses and agricultural succession

    The latest Autumn Budget (30/10/24) announcements have introduced significant changes to Inheritance Tax (IHT), particularly affecting Business Property Relief (BPR) and Agricultural Property Relief (APR). From 6 April 2026 both APR and BPR will be subject to a combined £1 million limit. This means farmers and  business owners face capped reliefs on agricultural and business property and will be subject to an effective 20% inheritance tax rate over the £1 million threshold from 2026.

    Key changes

    APR currently allows a person to pass on the agricultural value of some property in the UK free of IHT. This includes land or pasture used to grow crops or rear animals and farm buildings where all of the conditions are met.

    Assets that may qualify for BPR include: a business or an interest in a business; land, buildings or machinery used in a business; and shares in an unlisted company. Where BPR is available, the value of an asset can be reduced by 50% or 100% when working out the IHT due.

    However, at the recent Autumn Budget, it was announced that the government will reform APR and BPR from 6 April 2026. The 100% rate of relief will continue for the first £1m of combined agricultural and business property, falling to 50% thereafter.

    The rate of BPR will also fall to 50% in all circumstances for shares designated as “not listed” on the markets of recognised stock exchanges, such as AIM.

    Example:

    A family farm valued at £6 million, previously transferable tax-free upon the farmer’s death, will now incur a £1,000,000 tax liability.

    The reduction in BPR and APR will be acutely felt by business owners during transitions, especially in the circumstances of an unexpected death of the owner or a major shareholder.

    This change will also affect assets qualifying for APR and BPR which have previously been placed into trusts for asset protection and family wealth planning.

    Reduced reliefs may result in immediate tax liabilities which are payable within 6 months of death or a qualifying chargeable event for a trust, potentially forcing asset sales or diverting funds needed for business operations. This financial strain can be particularly destabilising in rural and farming communities, where significant asset values are tied up in land and infrastructure and therefore difficult to liquidate to provide the funds necessary to pay the IHT.

    Plan ahead

    With the new Budget announcements, many families will need to rethink their succession planning strategies to maintain their land and operations and, given the impending changes, it is crucial that they take a proactive approach to succession planning. Reviewing asset values and understanding the IHT implications under the new rules is an important first step. This may involve restructuring ownership, exploring trusts, or other tax-efficient vehicles to manage potential liabilities.

    Working closely with an accountant can provide tailored strategies that address each business’s unique circumstances. Effective planning, whether through optimised asset allocation, alternative reliefs, or succession structures, is key to minimising the tax impact on business continuity and family legacies.

    Contact us

    The upcoming changes to IHT represent a significant shift in how business and agricultural assets are taxed upon inheritance. The 2026 implementation date may feel like some time away and the Government is yet to publish its detailed technical advice in respect of this announcement, but the need to take action starts now to preserve financial stability.

    Now is the time to engage with experts, secure the right policies, and take the necessary steps to protect your business’s future. Contact Jayne O’Boyle ( jayne.oboyle@pmm.co.uk) or Jonathan Cunningham (jonathan.cunningham@pmm.co.uk) or call 01254 679131 for more information and guidance.

    Autumn Budget – preparing for changes to Capital Gains Tax

    With the Autumn Budget fast approaching, there is widespread speculation that some potentially significant changes to the Capital Gains Tax (CGT) regime may be on the horizon, set to be unveiled in Rachel Reeves’ first Budget as Chancellor on 30 October 2024.

    Roger Phillips, Tax Partner at PM+M, shares his thoughts on what could be announced and offers guidance on how business owners, investors, and shareholders can prepare for the potential changes.

    Capital Gains Tax – what could change?

    For several years now, raising the rate of CGT has been suggested as an effective way to increase tax revenues (you may remember a similar situation in 2021, which didn’t materialise). However, 2024 feels different. The annual CGT exemption has already been reduced from £12,300 in 2022/23 to just £3,000 this year – many therefore believe that significant changes may be on the horizon.

    One area that may be under review is Business Asset Disposal Relief (formerly Entrepreneurs’ Relief), which currently offers a flat 10% CGT rate on the disposal of qualifying business assets, with a lifetime limit of £1 million. If this is reduced, or removed, it could have a considerable impact on business owners planning to sell their company or business assets.

    Deal completion – race against time

    Capital appreciation on assets typically accumulates over time, with tax liability triggered upon disposal. Should the government raise CGT rates – rumours suggest a potential increase to 28% may be on the cards, or even higher to align with income tax rates – the tax burden on disposals would significantly increase. Given that nobody knows what will happen (yet) – the lack of information creates panic, as markets prefer certainty. The result of which is a rush to close deals before 30 October. By being silent on the matter, there is no doubt that the government will have raised a significant amount of CGT revenue already, even before Budget day.

    Although a CGT increase could be phased in or apply in the next tax year, many are unwilling to take the risk. In the past, significant tax increases have sometimes been implemented immediately, which only adds to the pressure to complete transactions now. An increase in CGT would affect a broad range of asset holders, including business owners, shareholders, property investors, and landlords.

    How can I prepare – move offshore or sit tight?

    Despite best efforts, not all deals will make it across the finish line in time, whether that’s down to starting too late, unforeseen complications, or buyers leveraging the pressure on sellers.

    If CGT rates increase only marginally, the market will likely absorb the change without major disruption. However, if the increase is substantial, as some are predicting, it could slow the M&A market in the short to medium term.

    Sellers may choose to hold onto their businesses and assets, waiting for a potential new government with a ‘more favourable’ tax policy – although clearly they will be waiting for some time for this – with no guarantees of more favourable treatment. Others may consider moving abroad, severing their UK residence and avoiding UK CGT by staying abroad for more than five years (although this wouldn’t apply if people were looking to escape CGT on property).

    Managing uncertainty – a balanced approach

    Attempting to anticipate changes in the Autumn Budget and making financial decisions based on speculation is inherently risky. That said, it’s easy to understand why many are taking a “better safe than sorry” approach. However, it’s crucial to ensure that decisions are made with sound commercial judgement rather than fear of potential tax increases.

    Flexibility is key

    If you are in a position to remain flexible and adaptable, there’s no reason why the upcoming changes should derail your long-term goals. While it may be tempting to rush into decisions, a balanced, well-informed approach can help you navigate the changes ahead and continue towards the success you have worked so hard to achieve.

    As the Autumn Budget approaches, the next few weeks will be crucial for those seeking to secure favourable tax outcomes ahead of potential CGT hikes. Regardless of the outcome, preparation and professional advice are the best tools to ensure your financial objectives remain on track.

    Get in touch with Roger Phillips to discuss your circumstances in more detail by clicking the button below.

    Autumn Budget 2024 – the future of inheritance tax

    The future of inheritance tax has been a hot political debate in recent years. Before the general election in July this year, there were discussions of a potential reform or even abolishment under the Conservative government. However, following Labour’s landslide victory, IHT increases could be on the horizon.

    The latest figures for the 2021/22 tax year show that IHT receipts are on the rise – nearing £6billion annually, with 800 additional estates becoming liable for IHT in that period (a 3% increase on the previous year). In real terms, this means that 634,000 estates paid no IHT at all, with only 4% of deaths resulting in IHT being owed in 2021/22. Will the rumoured changes mean more people are caught by the IHT net?

    Wendy Anderson, PM+M partner, explains the current IHT rules, what could change, and most importantly, how you can prepare…

    The current IHT rules

    Exemptions and allowances for estates have largely remained the same over the past two decades with the main Nil Rate Band (NRB) frozen at £325,000 since 2009. The introduction of the Residence Nil Rate Band (RNRB) has provided some relief, raising the exemption to £1million per couple for estates that include a primary residence passed on to their children, however, the additional relief is reduced when an estate’s value exceeds £2million.

    The most significant reliefs continue to be for assets left to a surviving spouse (£15.5 billion in 2021/22) and Business and Agricultural Reliefs (£4.4 billion).

    Charitable donations, whether made during a person’s lifetime and at death, are also exempt from IHT. Individuals who leave 10% of their net estate to charity in their will benefit from a reduced IHT rate of 36%.

    What could change?

    Are major changes on the way? With any new government, there is always potential for fiscal reform, and with a £22billion deficit to be addressed – it is likely that we will see changes to capital taxes, including IHT.

    • Business Relief (BR) and Agricultural Relief (AR) – currently, BR lets shareholders in trading companies and business owners avoid paying IHT on the value of their business assets when they are passed on after death or put into a trust. Similarly, AR reduces the IHT burden for farming businesses, making it easier to pass them down through generations. However, BR also covers some investments, like shares listed on AIM. The government could change the rules to limit the types of assets that get full relief, which could increase IHT payments. Stricter criteria for AR could also be introduced, limiting when it can be claimed. There may also be more scrutiny of business assets which aren’t directly involved in trading.
    • Capital Gains Tax (CGT) probate uplift – when assets qualifying for BR or AR are inherited, they also benefit from a CGT uplift to their market value at the date of death. This means that beneficiaries inherit assets with no IHT due and an increased CGT base cost. If these assets are sold shortly after death, the higher base cost often results in little to no CGT being payable. The Chancellor may consider limiting this CGT uplift for non-business assets, ensuring that it only applies in cases where there is no corresponding IHT relief.
    • Pensions and inheritance – pension assets are typically excluded from an individual’s estate for IHT purposes, meaning the value can pass free of IHT upon death. The Chancellor may consider including pension values in the estate for IHT calculations, which would subject them to a 40% tax at death. Currently, if someone over the age of 75 passes away, their beneficiaries face an income tax charge on pension withdrawals. No such charge applies if the pension holder dies before age 75. If pensions are brought into the IHT net, there is a risk of double taxation—both IHT on death and income tax on pension withdrawals—unless the income tax charge is eliminated as part of the reform.
    • Trusts – currently, assets of up to £325,000 can be transferred into a trust every seven years without incurring IHT. For amounts above this threshold, a lifetime IHT charge of 20% applies. Every 10 years, trusts are subject to a maximum 6% IHT charge on assets exceeding the £325,000 threshold. The Chancellor may choose to increase the IHT burden on trusts by either imposing a 20% charge on transfers without considering the nil-rate band, or by raising the periodic charges above 6%.

    How can I prepare?

    If IHT reforms are announced in the Autumn Budget next month, they could be implemented quickly, potentially affecting your financial plans. The good news is, you still have time to act and take advantage of the current tax reliefs, allowances, and rates before any new rules come into force.

    Whether you hold shares, are thinking of gifting assets, or considering setting up a trust, there are strategic steps you can take to protect your wealth from future tax increases. By being proactive now, you can make the most of the benefits that exist under the current framework.

    Unsure if you need to act? If you answer ‘yes’ to any of the below questions, we recommend getting in touch and speaking to a PM+M tax adviser to discuss your specific circumstances in more detail.

    • Do you hold unquoted trading company shares?
    • Do you hold quoted shares?
    • Have you previously transferred rental properties into a trust?
    • Are you thinking about setting up trusts and transferring assets?
    • Are you planning to gift assets to your family?
    • Have you used your inheritance tax annual exemptions?
    • Do you own land used for agricultural purposes?

    This list isn’t exhaustive – if you are concerned about how the upcoming Budget announcements could affect you – we would be happy to arrange a chat to discuss your situation in more detail. Contact Wendy Anderson by clicking the button below.

    Stay tuned to the PM+M website and social media channels to keep up to date with the latest Budget news, as and when it happens.

    Chancellor’s statement 30 July 2024

    In a statement to the House of Commons on 30 July, the new Chancellor Rachel Reeves revealed a £22 billion black hole in government finances for this year, alongside a range of immediate cost-cutting measures. She also announced that further “difficult decisions” will be contained in the Autumn Budget, due on 30 October.

    In her first announcement on entering 11 Downing Street, Reeves said that she had commissioned a “spending inheritance” review from the Treasury. Why she needed to do so was questioned, among others, by the opposition, who argued that the state of public finances had been made clear in the March report from the Office of Budget Responsibility (OBR). However, the OBR’s grim outlook was studiously ignored during the election campaign by both the main parties, prompting the Institute for Fiscal Studies to complain of “a conspiracy of silence”.

    Post-election, the new ministers were told to ‘bring out your dead’ – listing the financial problems their departments faced. The result was a steady flow of dire warnings on prisons, the NHS, universities and more. Then, on 23 July, the National Audit Office issued a welter of gloomy reports, the publication of which had been delayed by the election.

    Finally, on 30 July, Rachel Reeves bundled together her Treasury-commissioned review with all that bad news and broke the IFS’s conspiracy of silence. In her words, “There were things that I did not know” which in total represented a projected overspend of £22 billion in the current financial year. Both the OBR and the IFS subsequently suggested that Reeves had discovered more problems than were apparent in the documents produced at the time of the Spring Budget 2024.

    Plugging the hole

    The Chancellor announced a range of measures to achieve savings of £5.5 billion in the current financial year and £8.1 billion in 2025/25, including:

    • Restricting the eligibility for the winter fuel payment to pensioners in receipt of pension credit or certain other means-tested benefits, saving about £1.4 billion in 2024/25 and £1.5 billion in 2025/26. At the same time, Ms Reeves confirmed that the triple lock would remain in operation. Next April, this will almost certainly mean the main state pensions rise in line with earnings, at a rate of over 5%.
    • Scrapping the already twice-deferred launch of the social care funding cap in England, which had been due to start in October 2025.
    • Finding savings in all departmental budgets totalling £3.15 billion in both 2024/25 and 2025/26 to help fund pay settlements.
    • Abandoning two major road projects – the A27 (Arundel by-pass) and the A303 (Stonehenge tunnel).
    • Ending the Restoring our Railways scheme.
    • Dropping the proposed Natwest retail share sale, but still disposing of the government’s remaining shareholding in the bank, probably by 2025/26.
    • Reviewing the hospital building programme.

    Coming down the track

    Alongside her statement to the House of Commons, the Treasury published a variety of related documents, including:

    • A new paper on the reform of domicile rules that incorporates the additional revenue-raising changes set out in the Labour manifesto.
    • Draft legislation and explanatory notes on how VAT will be applied to private school fees and charitable rates relief removed. A technical note states that “Any fees paid from 29 July 2024 pertaining to the term starting in January 2025 onwards will be subject to VAT.”
    • Draft legislation on the abolition of furnished holiday lets regime from April 2025, as previously proposed in the Spring Budget 2024.
    • A call for evidence on the tax treatment of carried interest, a topic primarily of interest to fund managers in the private equity industry.
    • A letter from the Chancellor to the Chair of the OBR setting out updates to the Charter for Budget Responsibility. These are designed to prevent a repeat of Liz Truss’s mini-Budget in September 2022 and to require the Treasury to provide the OBR with in-year assessments of pressures on expenditure.

    October Budget

    Ms Reeves also revealed that her Autumn Budget would be on 30 October – later than had originally been expected. She said that it “will involve taking difficult decisions to meet our fiscal rules across spending, welfare and tax”. However, she reiterated Labour’s manifesto pledge that there would be no increases in national insurance; the basic, higher or additional rates of income tax; or VAT.

    In an interview with the News Agents podcast this week, following her speech in Parliament, Ms Reeves said “I think we will have to increase taxes in the Budget.”
    That points to capital gains tax, inheritance tax and tax reliefs as possible revenue-raising targets in the autumn.

    Ahead of any possible changes, talk to us about the wisdom (or otherwise) of acting before 30 October by emailing enquiries@pmm.co.uk

    Ensure you are up to date with the Chancellor’s announcements in the upcoming Autumn Statement by attending one of our seminar events on the 31 October. Our panel of experts will be providing valuable insights into what the government’s plans mean for you and your business. Find out more and book your place by clicking here.