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United States securities and exchange commission logo





                              December 26, 2023

       Robert Reilly
       Chief Financial Officer
       PNC Financial Services Group, Inc.
       The Tower at PNC Plaza, 300 Fifth Avenue
       Pittsburgh, Pennsylvania 15222-2401

                                                        Re: PNC Financial
Services Group, Inc.
                                                            Form 10-K for the
Fiscal Year Ended December 31, 2022
                                                            File No. 001-09718

       Dear Robert Reilly:

                                                        We have reviewed your
filing and have the following comments.

              Please respond to this letter within ten business days by
providing the requested
       information or advise us as soon as possible when you will respond. If
you do not believe a
       comment applies to your facts and circumstances, please tell us why in
your response.

                                                        After reviewing your
response to this letter, we may have additional comments.

       Form 10-K for the Fiscal Year Ended December 31, 2022

       Item 7 - Management's Discussion and Analysis of Financial Condition and
results of Operations
       Funding Sources, page 47

   1.                                                   We note your disclosure
regarding the composition and change in your deposits. In future
                                                        filings, please revise
to disclose:
                                                            quantitative and
qualitative detail regarding any brokered deposits outstanding at
                                                             each period date,
as well as any related trends or impacts regarding the usage of
                                                             brokered deposits;
and
                                                            if applicable,
whether you have policies or internal limits regarding concentrations in
                                                             uninsured and / or
brokered deposits, in total or by type of depositor, and whether you
                                                             have complied with
any such internal requirements for the periods presented.
       Loan Portfolio Characteristics and Analysis, page 60

   2.                                                   Please revise future
filings to expand the discussion of the commercial real estate
                                                        portfolio to provide
further disaggregation by owner and non-owner occupied and
                                                        characteristics, such
as loan-to-value ratios, where material.
 Robert Reilly
FirstName LastNameRobert    Reilly
PNC Financial  Services Group, Inc.
Comapany26,
December  NamePNC
              2023 Financial Services Group, Inc.
December
Page 2    26, 2023 Page 2
FirstName LastName
Liquidity and Capital Management, page 70

3.       We note your liquidity and capital management disclosures regarding
management
         oversight and monitoring of liquidity, which includes reference to
certain established
         limits. In future filings, please address the items below.
             Expand your discussion of liquidity policy guidelines and provide
examples of
              specific metrics used to manage liquidity, including whether you
have been in
              compliance with internal guidelines and liquidity related limits
for periods covered in
              each filing and, if not, planned actions to remediate
non-compliance.
             Consider expanding discussion of your contingency funding plan to
describe actions
              that would be taken to address liquidity risk during a stress
event, such as balance
              sheet repositioning, capital raises, promotional efforts for
deposits, increased usage of
              brokered deposits, etc., as applicable.
             When there have been changes in deposit composition (such as a
shift between non-
              interest-bearing and interest-bearing deposit levels) or the
level of reliance on
              different funding sources (such as a heavier reliance on Federal
Home Loan Bank
              borrowings), expand your disclosures to discuss and quantify the
impact these
              changes have had on liquidity and funding costs.
4.       Please disclose a table summarizing your total available sources of
liquidity, by type of
         borrowing capacity, showing total borrowing capacity less borrowings
outstanding to
         arrive at remaining capacity, then adding in other sources of
liquidity such as cash,
         securities, etc. to arrive at total available liquidity, or tell us
where this information is
         disclosed in the aggregate.
Market Risk Management - Interest Rate Risk, page 76

5.       Please expand your disclosures, in future filings, to include a
discussion of your deposit
         beta and/or cumulative deposit beta to the extent that it is monitored
and used by
         management. In this regard, we note that you appear to include a slide
addressing
         cumulative deposit in your earnings call presentation slides (e.g.,
slide 5 of the October
         13, 2023 Form 8-K). In addition, include a discussion of how the
metric is used, how it
         has changed from period to period and how it is calculated.
6.       We note your disclosure regarding interest rate sensitivity analysis.
In future filings,
         please enhance your disclosure to address the items below.
             Discuss key assumptions including, as applicable, future balance
sheet composition;
             loan and deposit pricing; assumptions related to the magnitude of
asset prepayments;
             earlier than anticipated deposit withdrawals; and impacts from
derivatives.
             Provide a discussion of how any assumptions have changed from
period to period,
             including any changes to the data source used or significant
changes in the actual
             assumption itself due to, and for example, internal data, market
conditions or
             significant changes in the judgments and determinations made by
management as you
             refine your modeling over time.
             To the extent that your ALCO or management receives information
and uses any
 Robert Reilly
PNC Financial Services Group, Inc.
December 26, 2023
Page 3
              other metrics, such as economic value of equity ("EVE"), for
purposes of managing
              or monitoring interest rate risk, consider expanding your
disclosure to include
              discussion of those other metrics and how they are used by
management.
                To the extent that your ALCO or management receives information
with interest rate
              shocks (parallel changes) greater than your disclosed 100 basis
point shifts, consider
              expanding your sensitivity disclosures to also include those
wider ranges.

        We remind you that the company and its management are responsible for
the accuracy
and adequacy of their disclosures, notwithstanding any review, comments, action
or absence of
action by the staff.

       Please contact Cara Lubit at 202-551-5909 or Robert Klein at
202-551-3847 if you have
questions regarding comments on the financial statements and related matters.
Please contact
Susan Block at 202-551-3210 or James Lopez at 202-551-3536 with any other
questions.



FirstName LastNameRobert Reilly                                Sincerely,
Comapany NamePNC Financial Services Group, Inc.
                                                               Division of
Corporation Finance
December 26, 2023 Page 3                                       Office of
Finance
FirstName LastName
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