United States securities and exchange commission logo




                                                                                
                          October 30, 2023

       Edward Lu
       Chief Financial Officer
       Phoenix New Media Ltd
       Sinolight Plaza, Floor 16
       No. 4 Qiyang Road
       Wangjing, Chaoyang District, Beijing, 100102
       People   s Republic of China

                                                        Re: Phoenix New Media 
Ltd
                                                            Form 20-F for the 
Year Ended December 31, 2022
                                                            Response dated 
October 13, 2023
                                                            File No. 001-35158

       Dear Edward Lu:

              We have reviewed your October 13, 2023 response to our comment 
letter 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. Unless
       we note otherwise, any references to prior comments are to comments in 
our September 29,
       2023 letter.

       Form 20-F for the Year Ended December 31, 2022

       Notes to Consolidated Financial Statements
       Note 1. Organization and Principal Activities, page F-10

   1.                                                   We note your response 
to prior comment 2, including your representation that the
                                                        Company   s management 
and board of directors consulted with the Company   s U.S.
                                                        counsel, and we reissue 
in part. Please confirm whether you have received an opinion
                                                        issued by counsel 
regarding your reliance on the exemption from the definition of
                                                        investment company 
provided by Section 3(b)(1) under the Investment Company Act of
                                                        1940 (the    Act   ).
 Edward Lu
FirstName LastNameEdward Lu
Phoenix New  Media Ltd
Comapany
October 30,NamePhoenix
            2023       New Media Ltd
October
Page 2 30, 2023 Page 2
FirstName LastName
2.       Please (i) provide a detailed description of the material terms of the 
instruments you refer
         to as       Demand deposits    with term-based interest to incentivize 
longer-term deposits,   
         together with your analysis regarding why, specifically, such terms 
indicate that such a
         product is a demand deposit (rather than a time deposit) that should 
be treated as a cash
         item; (ii) provide a description of the    investment in money market 
funds with daily
         redemptions,    including whether such funds are registered with the 
Commission and
         subject to Rule 2a-7 under the Act, and to the extent not, provide 
your detailed legal
         analysis supporting your proposed treatment of the money market funds 
as cash items; and
         (iii) provide your detailed legal analysis supporting your proposed 
treatment of your
            investments in bank products with monthly redemptions    as cash 
items.
3.       Please describe the length of time you have held investment securities 
in amounts
         substantially greater than 40% of your non-cash assets, including how 
this affected your
         analysis of the Company   s    historical development    under the 
Tonopah test.
4.       Please (i) provide the approximate percentage of your non-cash assets 
that would be
         composed of investment securities, if all of the items described in 
comment 2 above
         would be treated as investment securities, and (ii) explain whether, 
if that were the case,
         you would still be able to conclude that the Company is able to rely 
on the exemption
         from the definition of an    investment company    provided at section 
3(b)(1).
5.       We note that, as described in the Company   s correspondence with the 
staff, the Company
         has concluded that approximately 73% of the Company   s non-cash 
assets are composed of
         investment securities. Please revise the proposed risk disclosure to 
(i) disclose the
         approximate percentage of the Company   s non-cash assets composed of 
investment
         securities as of the most recent fiscal quarter ended and (ii) more 
fully describe the
         consequences to the Company if it were deemed to be an unregistered 
investment
         company. Please ensure that the Company addresses, for example, the 
risk that the
         Company would be subject to penalties and that the Company could be 
unable to enforce
         certain contracts.
6.       Please supplement the proposed risk factors entitled    We intend to 
conduct our business
         activities to maintain compliance with the 1940 Act       to describe 
the Company   s plans
         with respect to moving out of its positions in investment securities, 
as described on page
         19 of the Company   s letter to the staff dated September 8, 2023 
within the paragraph
         beginning    Going forward, the Company represents      
 Edward Lu
FirstName LastNameEdward Lu
Phoenix New  Media Ltd
Comapany
October 30,NamePhoenix
            2023       New Media Ltd
October
Page 3 30, 2023 Page 3
FirstName LastName
       Please contact Melissa Walsh at 202-551-3224 or Stephen Krikorian at 
202-551-3488 if
you have questions regarding comments on the financial statements and related 
matters.



                                                         Sincerely,

                                                         Division of 
Corporation Finance
                                                         Office of Technology
cc:      Yi Gao