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Gregg Douglas Lemein

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Practice Areas

Licensed since 1976

  1. Tax: 100%

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Contact Info

Baker & McKenzie LLP

One Prudential Plaza
130 East Randolph Drive
Chicago, IL, 60601

Baker & Mckenzie LLP

300 E Randolph St Ste 5000
Chicago, IL, 60601-5015

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License

StateStatusAcquiredUpdated
ILActive And Authorized To Practice Law197608/17/2015

Professional Misconduct

We have not found any instances of professional misconduct for this lawyer.

Avvo Contributions

Legal Answers

Publications

Publication NameTitleDate
Taxes - The Tax Magazine (CCH)Imperfections of Competent Authority Relief (with John McDonald)2007
Taxes - The Tax Magazine (CCH)New Order: Proposed Regulations Alter “Developer-Assister” Regime for Ownership of Intangible Property (with John McDonald)2004
Taxes - The Tax Magazine (CCH)Rev. Rul. 2003-125: IRS Rules Check-the-Box Election Is Identifiable Event for Worthless Stock Loss Purposes (with John McDonald)2004
Taxes - The Tax Magazine (CCH)To File or Not to File: The Interaction of Code Sec. 367(a) and Code Sec. 3042003
Taxes - The Tax Magazine (CCH)Characterization and Foreign Tax Credit Issues in Certain Post-Closing Integration Transactions2003
Taxes - The Tax Magazine (CCH)Boeing Co.: The Supreme Court Interprets the R&D Apportionment Regulations (with John McDonald)2003
Taxes - The Tax Magazine (CCH)Rolling with the Changes: The IRS Provides Guidance on Transition Rule for 10/50 Basket Credit (with John McDonald)2003
Taxes - The Tax Magazine (CCH)Interest Apportionment Rules Can Double-Count Foreign Source Assets in Certain Joint Venture Transactions (with John McDonald)2003
Taxes - The Tax Magazine (CCH)Notice 2003-46: The Extraordinary Transaction Regulations Are Withdrawn (with John McDonald)2003
Taxes - The Tax Magazine (CCH)Cross-Border Hybrid Instruments (Redux) (with John McDonald)2002
Taxes - The Tax Magazine (CCH)Taxable Inversion Transactions (with John McDonald)2002
Taxes - The Tax Magazine (CCH)Foreign Source Income from Maquiladora Operations (with John McDonald);2002
Taxes - The Tax Magazine (CCH)Foreign Source Income from Maquiladora Operations (with John McDonald)2002
Taxes - The Tax Magazine (CCH)FSA 200220005: The IRS Attacks Contract Manufacturing, (with John McDonald)2002
Taxes - The Tax Magazine (CCH)IRS Applies Step-Transaction Principles to Force Recognition of Subpart F Income2002
Journal of International TaxationDHL: Ninth Circuit Sheds Very Little Light on Bright-Line Test (with Marc Levey, Lawrence Shapiro, Robert Cunningham and William Garofalo)2002
Taxes - The Tax Magazine (CCH)Taxpayers are Permitted to Structure Cost-Sharing Buy-in Payments as Royalties (with John McDonald)2002
Taxes - The Tax Magazine (CCH)New Proposed Code Sec. 367(b) Regulations Govern the Carryover of Tax Attributes in Reorganizations Involving Foreign Corporations (with John McDonald)2001
Taxes - The Tax Magazine (CCH)Proposed Regulations Regarding Domestic Reverse Hybrid Entities (with John McDonald)2001
Taxes - The Tax Magazine (CCH)Medchem (P.R.) Inc.: The Confused State of Contract Manufacturing (with John McDonald)2001
Taxes - The Tax Magazine (CCH)Cross-Border Hybrid Instruments (with John McDonald)2001
Taxes - The Tax Magazine (CCH)Tax Court Attributes Contract Manufacturer’s Activities to Principal (with John McDonald)2000
Taxes - The Tax Magazine (CCH)Finally Finalized: IRS Issues Final Regulations Under Code Section 367(b) (with John McDonald)2000
Taxes - The Tax Magazine (CCH)Final Code Sec. 894 Regulations: Treaty Benefits for Hybrid Entity Payments (with John McDonald)2000
Taxes - The Tax Magazine (CCH)Notice 2000-20: Branch Currency Translation Gains and Losses (with John McDonald)2000
Taxes - The Tax Magazine (CCH)The Real World of Transfer Pricing Today1999
Taxes - The Tax Magazine (CCH)Contract Manufacturing: Rev. Rul. 97-48 Revokes Rev. Rul. 75-71998
Taxes - The Tax Magazine (CCH)The IRS Targets Perceived International Tax Abuses1998
Taxes - The Tax Magazine (CCH)Fiscally Transparent Subpart F1998
Taxes - The Tax Magazine (CCH)The Introduction of a Single European Currency1998
Taxes - The Tax Magazine (CCH)New Code Sec. 367 Regulations1998
Taxes - The Tax Magazine (CCH)Single-Member Foreign Entities1998
Miami Inter-American Law ReviewU.S. Tax Planning for U.S. Companies Doing Business in Latin America (with Robert F. Hudson)1996
Taxes - The Tax Magazine (CCH)Using Partnerships in International Tax Planning1995
Taxes - The Tax Magazine (CCH)Intercompany Pricing: Getting It Right and What Happens If You Don't (panel discussion)1994
INTERNATIONAL TRANSFER PRICING LAWS: TEXT AND COMMENTARY(Loose leaf service published by CCH in December 1994 and updated quarterly)1994
Taxes - The Tax Magazine (CCH)International Mergers and Acquisitions (with Debra Falduto Novack)1989

Education

School NameMajorDegreeGraduated
Northwestern University School of LawLawJD - Juris Doctor1976
Northwestern UniversityN/AMM1976
University of IllinoisN/ABS - Bachelor of Science1972

Speaking Engagements

Conference NameTitleDate
University of ChicagovariousN/A
Tax Executives InstitutevariousN/A
George Washington UniversityvariousN/A

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