
1 
These Regulations may be cited as the Inheritance Tax (Market Makers and Discount Houses) Regulations 2012 and come into force on 31st December 2012.
2 
The day specified for the purposes of sections 106(6) and 107(6) of the Finance Act 1986 for the application of these Regulations is 31st December 2012.
3 
The Inheritance Tax Act 1984  is amended as follows.
4 
In section 105 (relevant business property), after subsection (4) insert—“
(4A) Subsection (3) above also does not apply to any property if the business concerned is of a description set out in regulations under section 106(5) of the Finance Act 1986.”.
5 
In section 234 (interest on instalments), for subsection (3)(c) substitute—“
(c) any company—
(i) whose business is wholly that of a market maker or is that of a discount house and (in either case) is carried on in the United Kingdom, or
(ii) which is of a description set out in regulations under section 107(5) of the Finance Act 1986.”.
6 
For the purposes of section 105(4A) of the Inheritance Tax Act 1984 the description of a business is a business in an EEA State ... which—
(a) holds itself out at all normal times, in compliance with the rules of a regulated market ..., as willing to buy and sell securities, stocks and shares at a price specified by it, and
(b) is recognised as doing so by that regulated market.
7 
For the purposes of section 234(3)(c)(ii) of the Inheritance Tax Act 1984 the description of a company is a company in an EEA State ... which—
(a) holds itself out at all normal times, in compliance with the rules of a regulated market ..., as willing to buy and sell securities, stocks and shares at a price specified by it, and
(b) is recognised as doing so by that regulated market.
8. 
In these Regulations “regulated market” means—
(a) a UK regulated market within the meaning given by Article 2.1(13A) of Regulation (EU) No 600/2014 of the European Parliament and of the Council of 15 May 2014 on markets in financial instruments,
(b) an EU regulated market within the meaning given by Article 2.1(13B) of that Regulation, and
(c) a Gibraltar regulated market within the meaning given by Article 26(11)(b)(i) of that Regulation.
Ruth Owen
Jim Harra

Two of Her Majesty's Commissioners for Revenue and Customs
