T. Rowe Price Exchange-Traded Funds, Inc. 485BPOS

Exhibit 99(j)(2)

 

July 27, 2026

 

 

Daniel Greenspan, Esquire
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street, N.E.
Washington, D.C. 20549

 

Re: T. Rowe Price Exchange-Traded Funds, Inc.
    Floating Rate ETF
    Multi-Sector Income ETF
    Total Return ETF
  File Nos.: 333-235450/811-23494

 

Dear Mr. Greenspan:

 

I am counsel to T. Rowe Price Associates, Inc., which serves as the sponsor and investment adviser to all outstanding series of the above-referenced registrant. The registrant proposes to file a Post-Effective Amendment to its registration statement pursuant to Rule 485(b) under the Securities Act of 1933.

 

I have reviewed the amendment to the registration statement and represent that it does not contain disclosures that, in my opinion, would render the amendment ineligible to become effective pursuant to Rule 485(b).

 

Sincerely, 

 

/s/ Sara Pak    
Sara Pak

Managing Legal Counsel and Vice President, T. Rowe Price Associates, Inc.

 

 

 

 

 

July 27, 2026

 

 

Daniel Greenspan, Esquire
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street, N.E.
Washington, D.C. 20549

 

Re: T. Rowe Price Exchange-Traded Funds, Inc.
    U.S. High Yield ETF
  File Nos.: 333-235450/811-23494

 

Dear Mr. Greenspan:

 

I am counsel to T. Rowe Price Associates, Inc., which serves as the sponsor and investment adviser to all outstanding series of the above-referenced registrant. The registrant proposes to file a Post-Effective Amendment to its registration statement pursuant to Rule 485(b) under the Securities Act of 1933.

 

I have reviewed the amendment to the registration statement and represent that it does not contain disclosures that, in my opinion, would render the amendment ineligible to become effective pursuant to Rule 485(b).

 

Sincerely,  

 

/s/ Sonia Kurian
Sonia Kurian

Managing Legal Counsel and Vice President, T. Rowe Price Associates, Inc.

 

 

 

 

July 27, 2026

 

 

Daniel Greenspan, Esquire
U.S. Securities and Exchange Commission
Division of Investment Management
100 F Street, N.E.
Washington, D.C. 20549

 

Re: T. Rowe Price Exchange-Traded Funds, Inc.
    Ultra Short-Term Bond ETF
  File Nos.: 333-235450/811-23494

 

Dear Mr. Greenspan:

 

I am counsel to T. Rowe Price Associates, Inc., which serves as the sponsor and investment adviser to all outstanding series of the above-referenced registrant. The registrant proposes to file a Post-Effective Amendment to its registration statement pursuant to Rule 485(b) under the Securities Act of 1933.

 

I have reviewed the amendment to the registration statement and represent that it does not contain disclosures that, in my opinion, would render the amendment ineligible to become effective pursuant to Rule 485(b).

 

Sincerely,  

 

/s/ Vicki Booth
Vicki Booth

Managing Legal Counsel and Vice President, T. Rowe Price Associates, Inc.