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                               November 29, 2023

       Jingjing Zhang
       Chief Financial Officer
       MINISO Group Holding Ltd
       8F, M Plaza, No. 109, Pazhou Avenue
       Haizhu District, Guangzhou 510000, Guangdong Province
       The People's Republic of China

                                                        Re: MINISO Group 
Holding Ltd
                                                            Form 20-F for the 
Fiscal Year Ended June 30, 2023
                                                            Filed October 19, 
2023
                                                            File No. 001-39601

       Dear Jingjing Zhang:

              We have reviewed your filing 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 a
       comment applies 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 June 30, 2023

       Item 3. Key Information, page 4

   1.                                                   We note that you do not 
clearly define China or the PRC to include Hong Kong and that
                                                        your corporate 
structure chart on page 7 depicts your Hong Kong subsidiaries as "outside
                                                        China." In future 
filings, please clarify that the legal and operational risks associated with
                                                        operating in China also 
apply to any operations in Hong Kong. Please discuss in this
                                                        section the applicable 
laws and regulations in Hong Kong as well as the related risks and
                                                        consequences. Examples 
of applicable laws and regulations to discuss include, but are not
                                                        limited to:
                                                            enforceability of 
civil liabilities in Hong Kong;
 Jingjing Zhang
FirstName  LastNameJingjing
MINISO Group    Holding Ltd Zhang
Comapany 29,
November   NameMINISO
               2023       Group Holding Ltd
November
Page  2    29, 2023 Page 2
FirstName LastName
                China's Enterprise Tax Law; and
                regulatory actions related to data security or anti-monopoly 
concerns in Hong Kong
              and their potential impact on your ability to conduct business, 
accept foreign
              investment, or maintain listing on a U.S. or foreign exchange.

         Please also include risk factor disclosure explaining whether there 
are laws and
         regulations in Hong Kong that result in oversight over data security, 
how this oversight
         impacts the company's business, and to what extent the company 
believes it is compliant
         with the regulations or policies that have been issued.
2.       We note your disclosure on page 4 that you face various risks and 
uncertainties related to
         doing business in China and that such risks could cause the value of 
your securities to
         "significantly decline." In future filings, please expand this 
statement to clarify whether
         such risks could cause your securities to be worthless. Please also 
supplement the
         disclosure in this section to 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 impacted or may impact your 
ability to conduct
         your business, accept foreign investments, or maintain listing on a 
U.S. or other foreign
         exchange.
Permissions Required from the PRC Authorities, page 5

3.       You state that you and certain subsidiaries are not required to obtain 
permissions or
         approvals from the China Securities Regulatory Commission (CSRC), the 
Cyberspace
         Administration of China (CAC), or any other PRC authority in 
connection with prior or
         future issuances of securities to foreign investors. In future 
filings, please revise and
         expand this disclosure:
             to disclose any such permissions or approvals from the CSRC, the 
CAC, or any other
             governmental agency that you or your subsidiaries are required to 
obtain to operate
             your business;
             to clarify, if true, that these statements apply to all of your 
subsidiaries, not just your
                PRC subsidiaries    or    mainland China subsidiaries,    as 
suggested by the disclosure
             on pages 5 and 6, respectively;
             to discuss how you came to the conclusion that these permissions 
and approvals are
             not required and the basis on which you made that determination; 
and
             to describe the consequences to you and your investors if you or 
your subsidiaries
             inadvertently conclude that such permissions or approvals are not 
required, or if
             applicable laws, regulations, or interpretations change and you 
are required to obtain
             such permissions or approvals in the future.

         Additionally, we note that you do not appear to have relied upon an 
opinion of counsel
         with respect to your conclusions that you do not need any permissions 
and approvals to
 Jingjing Zhang
FirstName  LastNameJingjing
MINISO Group    Holding Ltd Zhang
Comapany 29,
November   NameMINISO
               2023       Group Holding Ltd
November
Page  3    29, 2023 Page 3
FirstName LastName
         offer securities to investors. If true, state as much and explain why 
such an opinion was
         not obtained.
Our Holding Company Structure, page 7

4.       We note your disclosure that you are a Cayman Islands holding company 
with operations
         primarily conducted by your subsidiaries in China and that this 
structure involves certain
         risks. In future filings, please revise this disclosure to acknowledge 
the risk that Chinese
         regulatory authorities could disallow this structure, which would 
likely result in a material
         change in your operations and/or a material change in the value of 
your securities,
         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 
this risk.
Transfer of Funds and Other Assets Within Our Organization, page 8

5.       In future filings, please amend your disclosure here and in the 
summary risk factors and
         risk factors sections to state that, to the extent cash in the 
business is in a PRC or Hong
         Kong entity, the funds may not be available to fund operations or for 
other use outside of
         the PRC or Hong Kong due to interventions in or the imposition of 
restrictions and
         limitations on the ability of you or your subsidiaries by the PRC 
government to transfer
         cash. Provide a cross-reference to your discussion of this issue in 
your risk factors section.
         Additionally, we note your quantification of certain transfers and 
dividends from the
         holding company to PRC subsidiaries and shareholders on page 9. In 
future filings, please
         affirm whether any other transfers, dividends, or distributions have 
been made between
         the holding company and its subsidiaries (including transfers from 
subsidiaries to the
         holding company) and quantify any such amounts and their tax 
consequences. Provide
         cross-references to the condensed consolidating schedule and the 
consolidated financial
         statements.
6.       To the extent you have cash management policies that dictate how funds 
are transferred
         between you, your subsidiaries, and investors, summarize the policies 
in this section and
         disclose the source of such policies (e.g., whether they are 
contractual in nature, pursuant
         to regulations, etc.) in future filings. Alternatively, state in this 
section that you have no
         such cash management policies that dictate how funds are transferred.
D. Risk Factors
Summary of Risk Factors, page 12

7.       In future filings, disclose in your summary of risk factors the risks 
that your corporate
         structure and being based in and having operations in China pose to 
investors. In
         particular, describe the significant regulatory, liquidity, and 
enforcement risks with cross-
         references to the more detailed discussion of these risks in the risk 
factors section. In this
         regard, we note your cross-references to the "Risks Related to Doing 
Business in China"
 Jingjing Zhang
FirstName  LastNameJingjing
MINISO Group    Holding Ltd Zhang
Comapany 29,
November   NameMINISO
               2023       Group Holding Ltd
November
Page  4    29, 2023 Page 4
FirstName LastName
         section. Please revise to cross-reference relevant individual risk 
factors. Specifically
         discuss risks arising from the legal system in China, including risks 
and uncertainties
         regarding the enforcement of laws and that rules and regulations in 
China can change
         quickly with little advance notice, and the risk that the Chinese 
government may intervene
         or influence your operations at any time, or may exert more control 
over offerings
         conducted overseas and/or foreign investment in China-based issuers, 
which could result
         in a material change in your operations and/or the value of your 
securities. Acknowledge
         any risks that any actions by the Chinese government to exert more 
oversight and control
         over offerings that are conducted overseas and/or foreign investment 
in China-based
         issuers 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.
Risks Related to Our Business and Industry
Our business is operated globally. Global inflationary pressures could 
negatively..., page 34

8.       We note your risk factor indicating that global inflationary pressures 
could negatively
         affect your results of operations and stating that you could    fail 
to expand [y]our stores
         network    due to such pressures. Please update this risk factor in 
future filings if
         inflationary pressures materially impact your operations, particularly 
in light of the
         globalization and store network expansion strategies discussed on page 
117. Identify the
         types of inflationary pressures you face and how your business and 
strategies have been
         affected.
Risks Related to Doing Business in China, page 50

9.       In light of recent events indicating greater oversight by the CAC over 
data security,
         particularly for companies seeking to list on a foreign exchange, 
please revise your
         disclosure in future filings to explain how this oversight impacts 
your business and to
         what extent you believe that you are in compliance with the 
regulations or policies that
         have been issued by the CAC to date.
The ADSs may be prohibited from trading in the United States under the 
HFCAA..., page 51

10.      In future filings, please update your risk factor disclosure regarding 
the HFCAA to
         describe the potential consequences to you if the PRC adopts positions 
at any time in the
         future that would prevent the PCAOB from continuing to inspect or 
investigate
         completely accounting firms headquartered in mainland China or Hong 
Kong, including
         an acknowledgement that the PCAOB's December 2022 statement that it 
could inspect all
         China- and Hong Kong-based auditors in 2022 can be changed and does 
not grant an
         automatic grace period.
 Jingjing Zhang
FirstName  LastNameJingjing
MINISO Group    Holding Ltd Zhang
Comapany 29,
November   NameMINISO
               2023       Group Holding Ltd
November
Page  5    29, 2023 Page 5
FirstName LastName
The PRC government's oversight and regulation over our business operations..., 
page 51

11.      Given the Chinese government   s significant oversight and discretion 
over the conduct and
         operations of your business, please revise to describe any material 
impact that
         intervention, influence, or control by the Chinese government has or 
may have on your
         business or on the value of your securities. Also, given recent 
statements by the Chinese
         government indicating an intent to exert more oversight and control 
over offerings that are
         conducted overseas and/or foreign investment in China-based issuers, 
acknowledge the
         risk that any such action 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. We remind you that, pursuant to 
federal securities
         rules, the term    control    (including the terms    controlling,     
  controlled by,    and    under
         common control with   ) means    the possession, direct or indirect, 
of the power to direct or
         cause the direction of the management and policies of a person, 
whether through the
         ownership of voting securities, by contract, or otherwise."
Item 10. Additional Information
B. Memorandum and Articles of Association
Exclusive Forum, page 160

12.      Article 175 of your Third Amended and Restated Memorandum of 
Association provides
         that certain actions, including    derivative action[s],    will be 
submitted to the jurisdiction
         of the courts of the Cayman Islands and the courts of Hong Kong. In 
future filings, please
         revise your disclosure in this section and in your risk factors to 
discuss this exclusive
         forum provision and how it operates in relation to the exclusive forum 
provisions in
         Article 176 of your Third Amended and Restated Memorandum of 
Association and
         Section 7.7 of your Deposit Agreement with The Bank of New York 
Mellon. For
         example, please clarify whether Article 175 applies to    derivative 
action[s]    under the
         Securities Act and Exchange Act.
Item 16I. Disclosure Regarding Foreign Jurisdictions that Prevent Inspections, 
page 182

13.      We note your statement that you reviewed the Company   s register of 
members and public
         filings made by its shareholders in connection with your required 
submission under
         paragraph (a). Please supplementally describe any additional materials 
that were reviewed
         and tell us whether you relied upon any legal opinions or third party 
certifications such as
         affidavits as the basis for your submission. In your response, please 
provide a similarly
         detailed discussion of the materials reviewed and legal opinions or 
third party
         certifications relied upon in connection with the required disclosures 
under paragraphs
         (b)(2) and (3).
 Jingjing Zhang
FirstName  LastNameJingjing
MINISO Group    Holding Ltd Zhang
Comapany 29,
November   NameMINISO
               2023       Group Holding Ltd
November
Page  6    29, 2023 Page 6
FirstName LastName
14.      In order to clarify the scope of your review, please supplementally 
describe the steps you
         have taken to confirm that none of the members of your board or the 
boards of your
         consolidated foreign operating entities are officials of the Chinese 
Communist Party. For
         instance, please tell us how the board members    current or prior 
memberships on, or
         affiliations with, committees of the Chinese Communist Party factored 
into your
         determination. In addition, please tell us whether you have relied 
upon third party
         certifications such as affidavits as the basis for your disclosure.
15.      We note that your disclosures pursuant to Items 16I(b)(2) and (b)(3) 
are provided solely
         for    MINISO Group Holding Limited.    We also note that your list of 
principal
         subsidiaries and consolidated affiliated entities in Exhibit 8.1 
appears to indicate that you
         have consolidated foreign operating entities in Hong Kong and 
countries outside China.
         Please note that Item 16I(b) requires that you provide disclosures for 
yourself and your
         consolidated foreign operating entities, including variable interest 
entities or similar
         structures.
             With respect to (b)(2), please supplementally clarify the 
jurisdictions in which your
              material consolidated foreign operating entities are organized or 
incorporated and
              provide the percentage of your shares or the shares of your 
consolidated operating
              entities owned by governmental entities in each foreign 
jurisdiction in which you
              have consolidated operating entities in your supplemental 
response.
             With respect to (b)(3), please provide the required information 
for you and all of your
              consolidated foreign operating entities in your supplemental 
response.
16.      With respect to your disclosure pursuant to Item 16I(b)(5), we note 
that you have included
         language that such disclosure is    to our knowledge." Please 
supplementally confirm
         without qualification, if true, that your articles and the articles of 
your consolidated
         foreign operating entities do not contain wording from any charter of 
the Chinese
         Communist Party.
General

17.      In future filings, please affirmatively state, if true, that you do 
not use a variable interest
         entity structure.
18.      We note that one or more of your directors and officers are located in 
the PRC/Hong
         Kong. In future filings, please (i) disclose that is the case and 
identify the relevant
         individuals, and (ii) include a separate "Enforceability" section and 
a risk factor
         addressing the challenges of bringing actions and enforcing judgments 
and liabilities
         against such individuals.
        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.
 Jingjing Zhang
MINISO Group Holding Ltd
November 29, 2023
Page 7

        You may contact Robert Shapiro at 202-551-3273 or Doug Jones at 
202-551-3309 if you
have questions regarding comments on the financial statements and related 
matters. Please
contact Austin Pattan at 202-551-6756 or Andrew Mew at 202-551-3377 if you have 
any
questions about comments related to your status as a Commission-Identified 
Issuer during your
most recently completed fiscal year. Please contact Rebekah Reed at 
202-551-5332 or Dietrich
King at 202-551-8071 with any other questions.



                                                         Sincerely,
FirstName LastNameJingjing Zhang
                                                         Division of 
Corporation Finance
Comapany NameMINISO Group Holding Ltd
                                                         Office of Trade & 
Services
November 29, 2023 Page 7
cc:       Haiping Li
FirstName LastName