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                              July 6, 2023

       Mingzhou Sun
       Chief Financial Officer
       Datasea Inc.
       20th Floor, Tower B, Guorui Plaza, 1 Ronghua South Road
       Technological Development Zone
       Beijing, People   s Republic of China 100176

                                                        Re: Datasea Inc.
                                                            Registration 
Statement on Form S-3
                                                            Filed June 23, 2023
                                                            File No. 333-272889

       Dear Mingzhou Sun:

              We have limited our review of your registration statement to 
those issues we have
       addressed in our 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.

       Registration Statement on Form S-3

       Cover Page

   1.                                                   Please disclose 
prominently on the prospectus cover page that you are not a Chinese
                                                        operating company but a 
Nevada holding company with operations conducted by your
                                                        subsidiaries and 
through contractual arrangements with a variable interest entity (VIE)
                                                        based in China and that 
this structure involves unique risks to investors. If true, disclose
                                                        that these contracts 
have not been tested in court. Explain whether the VIE structure is
                                                        used to provide 
investors with exposure to foreign investment in China-based companies
                                                        where Chinese law 
prohibits direct foreign investment in the operating companies, and
                                                        disclose that investors 
may never hold equity interests in the Chinese operating company.
                                                        Your disclosure should 
acknowledge that Chinese regulatory authorities could disallow
 Mingzhou Sun
FirstName
Datasea Inc.LastNameMingzhou Sun
Comapany
July 6, 2023NameDatasea Inc.
July 6,2 2023 Page 2
Page
FirstName LastName
         this structure, which would likely result in a material change in your 
operations and/or a
         material change in the value of the securities you are registering for 
sale, including that it
         could cause the value of such securities to significantly decline or 
become worthless.
         Provide a cross-reference to your detailed discussion of risks facing 
the company and the
         offering as a result of this structure.
2.       Provide prominent disclosure about the legal and operational risks 
associated with being
         based in or having the majority of the company   s operations in 
China. Your disclosure
         should make clear whether these risks could result in a material 
change in your operations
         and/or the value of the securities you are registering for sale or 
could significantly limit or
         completely hinder your ability to offer or continue to offer 
securities to investors and
         cause the value of such securities to significantly decline or be 
worthless. Your disclosure
         should address how recent statements and regulatory actions by China   
s government, such
         as those related to the use of variable interest entities and data 
security or anti-monopoly
         concerns, 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. 
Please disclose the
         location of your auditor   s headquarters and whether and how the 
Holding Foreign
         Companies Accountable Act, as amended by the Consolidated 
Appropriations Act, 2023,
         and related regulations will affect your company.. Your prospectus 
summary should
         address, but not necessarily be limited to, the risks highlighted on 
the prospectus cover
         page.
3.       Clearly disclose how you will refer to the holding company, 
subsidiaries, and VIEs when
         providing the disclosure throughout the document so that it is clear 
to investors which
         entity the disclosure is referencing and which subsidiaries or 
entities are conducting the
         business operations. Refrain from using terms such as    we    or    
our    when describing
         activities or functions of a VIE. For example, disclose, if true, that 
your subsidiaries
         and/or the VIE conduct operations in China, that the VIE is 
consolidated for accounting
         purposes but is not an entity in which you own equity, and that the 
holding company does
         not conduct operations. Disclose clearly the entity (including the 
domicile) in which
         investors are purchasing an interest.
4.       Provide a description of how cash is transferred through your 
organization and disclose
         your intentions to distribute earnings or settle amounts owed under 
the VIE agreements.
         State whether any transfers, dividends, or distributions have been 
made to date between
         the holding company, its subsidiaries, and consolidated VIEs, or to 
investors, and quantify
         the amounts where applicable. Provide cross-references to the 
condensed consolidating
         schedule and the consolidated financial statements.
Prospectus Summary, page 1

5.       We note your disclosure that the Nevada holding company controls and 
receives the
         economic benefits of the VIE   s business operations through 
contractual agreements
         between the VIE and your Wholly Foreign-Owned Enterprise (WFOE) and 
that those
         agreements are designed to provide your WFOE with the power, rights, 
and obligations
 Mingzhou Sun
Datasea Inc.
July 6, 2023
Page 3
       equivalent in all material respects to those it would possess as the 
principal equity holder
       of the VIE. We also note your disclosure that the Nevada holding company 
is the primary
       beneficiary of the VIE. However, neither the investors in the holding 
company nor the
       holding company itself have an equity ownership in, direct foreign 
investment in, or
       control of, through such ownership or investment, the VIE. Accordingly, 
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. Additionally, your disclosure 
should clarify
       that you are the primary beneficiary of the VIE for accounting purposes. 
Please also
       disclose, if true, that the VIE agreements have not been tested in a 
court of law.
        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.

        Refer to Rule 461 regarding requests for acceleration. Please allow 
adequate time for us
to review any amendment prior to the requested effective date of the 
registration statement.

       Please contact Marion Graham, Staff Attorney, at (202) 551-6521 of Jeff 
Kauten, Staff
Attorney, at (202) 551-3447 with any questions.



                                                             Sincerely,
FirstName LastNameMingzhou Sun
                                                             Division of 
Corporation Finance
Comapany NameDatasea Inc.
                                                             Office of 
Technology
July 6, 2023 Page 3
cc:       David Manno
FirstName LastName