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TDS on certain foreign payments - reimbursements of expenses - independent professional service - The case involves a dispute over the classification of services obtained from foreign entities by the appellant, a law firm proprietor. While the appellant argues that these services constitute legal services exempt from TDS, the Assessing Officer contends that they fall under 'Fees for Technical Services', warranting TDS deductions. The court directs a reevaluation of the nature of services and compliance with DTAA provisions, highlighting the appellant's right to seek exemption under 'Independent professional services'.