2025/26
                                    
                                - IHT may be payable when an individual's estate is worth more than the IHT nil rate band when they die.
 - Lifetime and death transfers between UK domiciled spouses are exempt from IHT.
 - A further nil rate band of £175,000 may be available in relation to current or former residences.
 - The IHT threshold available on death may be increased for surviving spouses as there may have been a nil rate band not used, or not fully used, on the first death.
 - There are reliefs for some business and farming assets which reduce their value for IHT purposes.
 - IHT may also be payable on gifts made in an individual's lifetime but within seven years of death.
 - Some lifetime gifts are exempt.
 - Transfers of assets into trust made in an individual's lifetime may be subject to an immediate charge but at lifetime rates.
 - There are also charges on some trusts.
 
IHT rates and nil rate band 2025/26 and 2024/25
| IHT nil rate | £325,000 | 
| Lifetime rate | 20% | 
| Death rate | 40% | 
| Death rate if sufficient charitable legacies made | 36% | 
IHT reliefs for lifetime gifts
| Annual exemption | £3,000 | 
| Small gifts | £250 | 
| Marriage/civil partnership | |
| - parent | £5,000 | 
| - grandparent | £2,500 | 
| - other spouse/civil partner | £2,500 | 
| - other | £1,000 | 
IHT - reduced charge on gifts within seven years of death
| Years before death | % of death charge | 
|---|---|
| 0-3 | 100 | 
| 3-4 | 80 | 
| 4-5 | 60 | 
| 5-6 | 40 | 
| 6-7 | 
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