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                               June 27, 2022

       Gaofei Wang
       Chief Executive Officer
       Weibo Corporation
       8/F, QIHAO Plaza, No. 8 Xinyuan S. Road
       Chaoyang District, Beijing 100027
       People   s Republic of China

                                                        Re: Weibo Corporation
                                                            Form 20-F for the 
Fiscal Year Ended December 31, 2021
                                                            Filed March 10, 
2022
                                                            File No. 001-36397

       Dear Mr. Wang:

              We have limited our review of your filing to the financial 
statements and related
       disclosures 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 these comments 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 our
       comments apply to your facts and circumstances, please tell us why in 
your response.

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

       Form 20-F for the Fiscal Year Ended December 31, 2021

       Introduction, page 1

   1.                                                   Please revise your 
definition of "we," "us," "our company," "the Company" or "our" to
                                                        clarify what is meant 
by "consolidated affiliated entities" in China. In this regard, refer to
                                                        the named entities here 
as variable interest entities (VIEs) and explain that you do not
                                                        have any equity 
ownership in such entities but rather include them in your consolidated
                                                        financial statements 
based solely on contractual arrangements.
   2.                                                   Please revise your 
definition of "China" or "PRC" to remove the exclusion of Hong Kong
                                                        and Macau.
 Gaofei Wang
FirstName  LastNameGaofei Wang
Weibo Corporation
Comapany
June       NameWeibo Corporation
     27, 2022
June 27,
Page 2 2022 Page 2
FirstName LastName
Item 3. Key Information
Our Holding Company Structure and Contractual Arrangements with Our 
Consolidated VIEs
and Their Respective Individual Shareholders, page 4

3.       Please revise to refrain from using terms such as    we    or    our   
 when describing activities
         or functions of the VIEs. In this regard, we note numerous references 
to "our" and "the
         Company's" VIEs throughout the filing.
4.       We note your discussion regarding the risks associated with your 
contractual
         arrangements with the VIEs. Please disclose here, if true, that these 
contracts have not
         been tested in court. We also note your disclosure that PRC regulatory 
authorities could
         disallow the VIE structure, which could result in a material adverse 
change in your
         operations and the value of your ADS, or cause the value of such 
securities to
         significantly decline. Please revise here to clarify that the value of 
your securities could
         become worthless. Similarly, revise your risk factor disclosures 
beginning on page 38
         where you discuss your VIE structure as well as anywhere in the 
related summary of the
         risk factor disclosures.
5.       We note your disclosure regarding the legal and operational risks 
associated with being
         based in or having your operations primarily in China. Please also 
disclose here how
         recent statements and regulatory actions by China   s government have 
or may impact the
         company   s ability to conduct its business, accept foreign 
investments, or list on a U.S. or
         other foreign exchange. Specifically disclose in the forepart of Item 
3 how the Holding
         Foreign Companies Accountable Act (HFCAA) and Accelerating HFCAA, if 
enacted,
         will affect your company, including the timeframes of implementation. 
In addition, your
         disclosure should make clear whether these risks could cause the value 
of your
         ADSs to become worthless.
6.       We note the diagram of corporate structure on page 108. At the onset 
of Part I, please
         provide a diagram of the company   s corporate structure, identifying 
the person or
         entity that owns the equity in each depicted entity. When discussing 
how the
         contractual agreements between the entities may be less effective than 
ownership of the
         VIE, revise to disclose the person(s) that hold the equity interests 
in the VIEs. Disclose
         the uncertainties regarding the status of the rights of the Cayman 
Islands holding company
         with respect to the contractual arrangements with the VIE, its 
founders and owners, and
         the challenges the company may face enforcing these contractual 
agreements due to
         legal uncertainties and jurisdictional limits.
Permissions Required from the PRC Authorities for Our Operations, page 5

7.       We note your disclosure that in connection with previous issuance of 
securities to foreign
         investors, under current PRC laws, regulations and regulatory rules, 
you, your PRC
         subsidiaries and the VIEs are not required to obtain permissions from 
the CSRC and are
         not required to go through cybersecurity review by the Cyberspace 
Administration of
         China (CAC). Please disclose whether you relied on the opinion of 
counsel in making this
 Gaofei Wang
FirstName  LastNameGaofei Wang
Weibo Corporation
Comapany
June       NameWeibo Corporation
     27, 2022
June 27,
Page 3 2022 Page 3
FirstName LastName
         determination. If you did not rely on counsel, explain why you did not 
consult counsel and
         why you believe you do not need such permissions or approvals. Please 
also describe the
         consequences to you and your investors if you, your subsidiaries, or 
the VIEs: (i) do not
         receive or maintain any necessary permissions or approvals, (ii) 
inadvertently conclude
         that such permissions or approvals are not required, or (iii) 
applicable laws, regulations, or
         interpretations change and you are required to obtain such permissions 
or approvals in the
         future.
Cash and Asset Flows through Our Organization, page 6

8.       Please disclose any repayments of debt financing the VIEs received 
from WFOE and your
         intentions to settle amounts owed under the debt financing and VIE 
agreements. Quantify
         any cash flows that have occurred between the holding company and its 
subsidiaries and
         between subsidiaries, and the direction of transfer. Please also 
revise to address
         restrictions and limitations on the ability of the offshore holding 
company to make loans
         and capital contribution to PRC subsidiaries. In addition, describe 
any cash management
         policies and procedures that dictate how funds are transferred within 
your organization,
         such as how you address any limitations on cash transfers due to PRC 
regulations. Lastly,
         provide cross-references to the condensed consolidating schedules and 
the consolidated
         financial statements.
Financial Information Related to the VIEs, page 8

9.       Please address the following as it relates to your Selected Condensed 
Consolidated
         financial statements:
             Revise to present the service fee expense paid by the VIEs to the 
primary beneficiary
             separately from the other costs and expenses of the VIEs.
             Explain what the amount Income (loss) from subsidiaries and VIEs 
included in the
             "Primary Beneficiary" column represents and revise as necessary to 
clarify.
             Revise your reference to primary beneficiary here and elsewhere 
throughout the filing
             to clarify that you are "primary beneficiary" of the VIEs for 
accounting purposes
             only.
             Revise the balance sheet line item reference to "Investment in 
subsidiaries and VIEs,"
             as this implies the VIE arrangements are similar to an equity 
method investment.
             Provide us with a roll-forward of the "Amount due to Group 
companies" for the VIEs
             as of December 31, 2021.
             Revise the schedule headings to refer to these schedules as 
condensed consolidating
             statements.
Risk Factors, page 13

10.      Please include a risk factor that: (1) explains in detail why the 
company believes it is not
         an investment company for purposes of Section 3(a) the Company Act, 
with reference to
         key material facts and characteristics of the business and the 
specific provisions of the
         Company Act relevant to your conclusion; and (2) describes the 
consequences to the
 Gaofei Wang
Weibo Corporation
June 27, 2022
Page 4
         company and its investors were the Commission or its Staff to 
determine that the company
         is an investment company.
Summary of Risk Factors, page 13

11.      We note your discussion in the first bullet point under "Risks 
Relating to Doing Business
         in China" where you state that implementation of industry-wide 
regulations in this nature
         may cause the value of such securities to significantly decline. 
Please also disclose that
         such securities could become worthless.
12.      You disclose that your ADSs may be delisted and your ADSs and shares 
prohibited from
         trading in the over-the-counter market under the HFCAA. Please 
disclose the impact of
         the Accelerating HFCAA, if enacted, including the timeframes for 
implementation. In
         addition, for each summary risk factor related to doing business in 
China, provide a
         specific cross-reference to the more detailed risk factor discussion.
Risks Relating to Our Business
We rely on assumptions and estimates to calculate certain key operating metrics 
. . ., page 25

13.      You disclose that your active user number may include a number of 
false or spam
         accounts and therefore may not accurately represent the actual number 
of active accounts.
         Please tell us and disclose your estimate of the impact that false or 
spam accounts and
         users with multiple accounts has on the monthly active user (MAU) and 
average daily
         active user (DAU) measures disclosed. In addition, explain the extent 
to which accounts
         that have been suspended or terminated during a period impact MAU and 
DAU.
Risks Related to Doing Business in China
Substantial uncertainties exist with respect to the interpretation and 
implementation of
cybersecurity related regulation. . ., page 42

14.      Please revise here to more clearly disclose to what extent you believe 
you are compliant
         with the regulations or policies that have been issued by the CAC to 
date.
Item 5. Operating and Financial Review and Prospects, page 111

15.      Please revise here to clarify which subsidiaries or entities are 
conducting the business
         operations, quantifying the amount or percentage of revenues 
recognized from the VIEs to
         provide further context to your discussion of operating and financial 
review disclosures.
16.    You state that your business has been and will continue to be 
significantly affected by
       your success in growing and retaining massive active users and 
increasing the overall
       level of engagement on your platform. In an effort to add context to 
your measures of
FirstName LastNameGaofei Wang
       DAU and MAU, please revise to provide such measures for the comparable 
prior period
Comapany    NameWeibo
       or disclose the netCorporation
                           addition over the prior period along with a 
discussion of any material
       changes
June 27,        in your
         2022 Page   4 user growth rate.
FirstName LastName
 Gaofei Wang
FirstName  LastNameGaofei Wang
Weibo Corporation
Comapany
June       NameWeibo Corporation
     27, 2022
June 27,
Page 5 2022 Page 5
FirstName LastName
Results of Operations, page 117

17.      We note that you provide a breakdown of revenue for fiscal 2019 and 
2020 by key
         account and SME customer. Please tell us and revise to disclose a 
similar breakdown for
         fiscal 2021. We also note the continued decline in the total number of 
advertisers with a
         significant increase in the average spending per advertiser, which you 
attribute to the
         churn of individual customers with relatively lower advertising 
budgets. As it appears
         that your revenue growth may be materially impacted by your key 
account customers,
         please revise to clarify how such customers impacted your advertising 
measures. We
         refer you to your response letter dated November 20, 2019.
Consolidated Financial Statements
Note 1. Operations, page F-9

18.      Please quantify and describe for us the nature of the assets and 
operations of WB Online
         Investment Limited, which you include here as a major subsidiary of 
the holding
         company.
Note 6. Goodwill, Intangible Assets and Acquisitions, page F-32

19.      You state on page 27 that a substantial portion of your goodwill and 
intangible assets
         arose, in part, from the acquisition of the live streaming business of 
Yizhibo in 2018.
         Please explain to us your allocation of such goodwill to the 
advertising and marketing
         segment, particularly considering Yizhibo   s revenues are generated 
from live streaming,
         which appears to be part of the value-added services revenue. Tell us 
your determination
         of reporting units for goodwill for the periods presented. Also, 
please tell us how the
         significant decline in the live streaming revenues in fiscal 2021 
factored into your
         qualitative goodwill analysis. Refer to ASC 350-20-35-33 through 35-35 
and ASC 350-
         20-35-3A through 35-3G.
General

20.      Please provide us with a legal analysis of whether you currently meet 
the definition of
            investment company    under Section 3(a)(1)(C) of the Investment 
Company Act (the
            Company Act   ). Please include in your analysis the relevant 
calculation(s) under Section
         3(a)(1)(C) (including, where required by the statute, on an 
unconsolidated basis),
         identifying each constituent part of the numerator(s) and 
denominator(s). Your analysis
         should identify and explain which assets held by the company are    
investment securities   
         for purposes of Section 3(a)(2) of the Company Act, and should provide 
legal support for
         any substantive determinations and/or characterizations of assets that 
are material to your
         calculations.
       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.
 Gaofei Wang
Weibo Corporation
June 27, 2022
Page 6

       You may contact Joyce Sweeney, Senior Staff Accountant, at 202-551-3449 
or Kathleen
Collins, Accounting Branch Chief, at 202-551-3499 with any questions.



FirstName LastNameGaofei Wang                           Sincerely,
Comapany NameWeibo Corporation
                                                        Division of Corporation 
Finance
June 27, 2022 Page 6                                    Office of Technology
FirstName LastName