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                              July 14, 2022

       Yusheng Han
       Chief Executive Officer
       Burning Rock Biotech Ltd
       No. 5 Xingdao Ring Road North
       International Bio Island
       Guangzhou, 510005 The People's Republic of China

                                                        Re: Burning Rock 
Biotech Ltd
                                                            Amendment No. 1 to 
Registration Statement on Form F-3
                                                            Filed June 21, 2022
                                                            File No. 333-264577

       Dear Mr. Han:

             We have reviewed your amended registration statement and have the 
following
       comments. In some of our comments, we may ask you to provide us with 
information so we
       may better understand your disclosure.

              Please respond to this letter by amending your registration 
statement and providing the
       requested information. If you do not believe our comments apply to your 
facts and
       circumstances or do not believe an amendment is appropriate, please tell 
us why in your
       response.

              After reviewing any amendment to your registration statement and 
the information you
       provide in response to these comments, we may have additional comments. 
Unless we note
       otherwise, our references to prior comments are to comments in our May 
16, 2022 letter.

       Amendment No. 1 to Form F-3 filed June 21, 2022

       Cover page

   1.                                                   Please revise to state 
on the cover page that you conduct substantially all of your business
                                                        through the VIEs.
       About this prospectus, page 1

   2.                                                   We note your response 
to prior comment 4 and your revised disclosure indicating that
                                                        "China" or the "PRC" 
includes Taiwan. Please revise or advise. We also note your
                                                        disclosure indicating 
that when used in the case of laws and regulations of    China    or    the
                                                        PRC,       China    or  
  the PRC    refers to the laws and regulations of the People   s Republic
 Yusheng Han
FirstName  LastNameYusheng Han
Burning Rock  Biotech Ltd
Comapany
July       NameBurning Rock Biotech Ltd
     14, 2022
July 14,
Page  2 2022 Page 2
FirstName LastName
         of China, excluding that of Hong Kong, Macau and Taiwan. Please revise 
to clarify that
         the only instances in which    China    or    the PRC    do not 
include Hong Kong or Macau
         are where you reference the specific laws and regulations adopted by 
the People's
         Republic of China. Additionally, please ensure that you address 
throughout your filing
         legal and regulatory risks associated with your operations in Hong 
Kong and having your
         WFOE owned by your Hong Kong subsidiary. Please also revise the 
graphic on page 8 to
         state the jurisdiction of incorporation for each entity and to 
identify the WFOE. As an
         example only, expand your disclosure under the heading "Enforceability 
of Civil
         Liabilities" to address risks related to the enforceability of 
judgments in Hong Kong.
Our Company , page 6

3.       We note your response to prior comment 8 and your disclosure on page 6 
that,    As of the
         date of this prospectus, none of [your] Company, [your] subsidiaries 
or VIEs are required
         to obtain any permissions requirements from the China Securities 
Regulatory Commission
         (the    CSRC   ), Cyberspace Administration of China (the    CAC   ).  
  Please revise to
         explain how you determined that permissions from the CSRC or CAC are 
not required. If
         you relied on advice of counsel, please identify counsel and file 
counsel   s consent as an
         exhibit to the registration statement. If you did not rely on advice 
of counsel, please
         explain why. We note your references to your PRC counsel, Tian Yuan 
Law Firm. Please
         ensure you file counsel   s consent.
Holding Company Structure and Contractual Arrangements with the VIE, page 8

4.       We note your reference to    our VIE    on page 8. Please revise here 
and throughout your
         filing to refer to    the VIE.    We note your responses to prior 
comments 5 and 6. Your
         disclosure continues to imply that you have control over the VIE, such 
as your statement
         on page 8 that your contractual arrangements enable you to    have 
effective control over
         the VIE.    We note also the heading on page 10 that references 
"Agreements that Provide
         Us with Effective Control over the VIE." Please refrain from implying 
that the contractual
         agreements are equivalent to equity ownership in the business of the 
VIE. Any references
         to control or benefits that accrue to you because of the VIE should be 
limited to a clear
         description of the conditions you have satisfied for consolidation of 
the VIE under U.S.
         GAAP.
Prospectus Summary, page 13

5.       We note your response to prior comment 9. You state that the VIE has 
not settled any
         amounts owed to you under the VIE agreements and does not have the 
intention to do so.
         You also state that the WFOE received RMB42.2 million, RMB25.3 million 
and
         RMB88.7 million (US$13.9 million) of service fees from the VIEs in 
2019, 2020 and
         2021, respectively. Please revise to clarify this inconsistency or 
advise. In this regard, we
         also note your statement that the    typical    structure of cash 
flows through your
         organization involves the payment of service fees by the VIE to the 
WFOE and the WFOE
         transferring funds to BR Hong Kong Limited, which, in turn, would 
transfer funds to you.
 Yusheng Han
Burning Rock Biotech Ltd
July 14, 2022
Page 3
       In your revisions please also provide the corresponding amounts in U.S. 
dollars for 2019
       and 2020. We reissue comment 9 in part. Please describe any restrictions 
on foreign
       exchange and your ability to transfer cash between entities, across 
borders, and to U.S.
       investors. Describe any restrictions and limitations on your ability to 
distribute earnings
       from the company, including your subsidiaries and/or the consolidated 
VIEs, to the parent
       company and U.S. investors as well as the ability to settle amounts owed 
under the VIE
       agreements.
Risk Factors
Risks Relating to Doing Business in the PRC
Recent regulatory developments in China may subject us to additional regulatory 
review and
disclosure requirements..., page 20

6.     We note your response to prior comment 12 and your disclosure that,    
Currently, the
       cybersecurity laws and regulations have not directly affected [your] 
business and
       operations   .    We reissue comment 12 in part. Please revise to 
explicitly address the
       impact of cybersecurity laws and regulations on your proposed offering 
and to what extent
       you believe you are compliant with the regulations or policies that have 
been issued by the
       CAC to date.
Enforcement of Civil Liabilities, page 67

7.     We note your disclosure that most of your directors and executive 
officers are nationals or
       residents of jurisdictions other than the U.S., and most of their assets 
are located outside
       the U.S. Please revise your disclosure to affirmatively state whether 
any of your officers,
       directors or other members of senior management are located in China. If 
so, disclose that
       their residence in China may make it even more difficult to enforce any 
judgments
       obtained from foreign courts against such persons compared to other 
non-U.S.
       jurisdictions. Additionally, if your officers, directors or other 
members of management are
       located in China, please include risk factor disclosure and a summary 
risk factor
       describing that it may be difficult to enforce any judgments obtained 
from foreign courts
       against you or your management in mainland China.
      Please contact Christine Westbrook at 202-551-5019 or Celeste Murphy at 
202-551-
3257 with any questions.



                                                             Sincerely,
FirstName LastNameYusheng Han
                                                             Division of 
Corporation Finance
Comapany NameBurning Rock Biotech Ltd
                                                             Office of Life 
Sciences
July 14, 2022 Page 3
cc:       Shuang Zhao, Esq.
FirstName LastName