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                                                            April 7, 2025

Brian K. Miller
Chief Financial Officer
Tyler Technologies, Inc.
5101 Tennyson Parkway
Plano, Texas 75024

        Re: Tyler Technologies, Inc.
            Form 10-K for the Fiscal Year Ended December 31, 2024
            Filed February 19, 2025
            File No. 001-10485
Dear Brian K. Miller:

       We have limited our review of your filing to the financial statements
and related
disclosures 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, 2024
Management   s Discussion and Analysis of Financial Condition and Results of
Operations
Analysis of Results of Operations and Other, page 32

1.     We note your presentation and discussion of revenues by segment.
However, we note
       that you do not include a discussion and analysis of each segment's
profit. Please tell
       us what consideration was given to whether a discussion of segment
profit
       information would be necessary to an understanding of your business.
Refer to Item
       303(b) of Regulation S-K.
Consolidated Financial Statements
Note (2) Segment and Related Information, page F-16

2.     You disclose that the primary measure used by the chief operating
decision maker
       (   CODM   ) is segment income or loss from operations; however, we note
that you
       also present segment gross profit. Please tell us whether the CODM
receives segment
       gross profit for each reportable segment and how it is used. If the CODM
uses more
 April 7, 2025
Page 2

       than one measure of segment profit or loss, such as segment gross profit
and segment
       operating income, to assess segment performance and to decide how to
allocate
       resources, tell us which of the reported segment profit or loss measures
is required to
       be disclosed in accordance with ASC 280-10-50-28A. In this regard, the
measure
       required to be disclosed is that which management believes is determined
in
       accordance with the measurement principles most consistent with those
used in
       measuring the corresponding amounts in the consolidated financial
statements.
       Additional measures may be disclosed pursuant to ASC 280-10-50-28A
through 50-
       28C.
3.     In connection with your response to the preceding comment, if both
segment gross
       profit and segment operating income are used by the CODM and will be
disclosed:
           Please tell us how you considered the disclosures required by ASC
280-10-50-
           29(f) for segment gross profit; and
           Please tell us what consideration was given to identifying the
additional measure
           of segment profit or loss as non-GAAP and providing the disclosures
required by
           Item 10(e)(1)(i) of Regulation S-K in the filing.
4.     Please revise future filings to reconcile the total of the reportable
segments    amount
       for each measure of profit or loss to consolidated income before income
taxes. Refer
       to ASC 280-10-50-30(b) and ASC 280-10-50-28C. The reconciliation should
include
       a single amount for the subtotal of the reportable segments    measures
of profit or loss
       with a reconciliation of that amount to consolidated income before
income taxes. In
       this regard, the segment note currently includes a Corporate column
which appears to
       result in the presentation of non-GAAP measures of consolidated segment
gross profit
       and consolidated segment operating income. Similarly revise to reconcile
other total
       reportable segments    amounts to consolidated amounts, such as the
total of the
       reportable segments    assets to consolidated assets. Refer to ASC
280-10-50-30.
5.     Please provide us with proposed disclosure that is responsive to the
concerns noted in
       the comments above.
        In closing, 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 Christine Dietz at 202-551-3408 with any questions.



                                                            Sincerely,

                                                            Division of
Corporation Finance
                                                            Office of
Technology
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