What about foreign property?
Until the UK has left the European Union it is difficult to advise fully on this matter. At present, in general, the law of succession relating to “movables” is governed by the law of your domicile whereas the law of succession in relation to immovable is governed by where they are situated. If you own foreign property, for instance a villa in Spain, then we would advise you to consult a lawyer in Spain for advice on succession in that jurisdiction.
We would advise that the law is in a state of uncertainty until the UK has left the European Union and you should revisit your Will once the position is clearer.