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                              May 10, 2022

       Pijun Liu
       Chief Executive Officer
       WeTrade Group, Inc.
       No 1 Gaobei South Coast
       Yi An Men 111 Block 37, Chao Yang District
       Beijing City, People Republic of China 100020

                                                        Re: WeTrade Group, Inc.
                                                            Amendment No. 9 to
Registration Statement on Form S-1
                                                            Filed May 3, 2022
                                                            File No. 333-252149

       Dear Mr. Liu:

             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.

       Amendment No. 9 to Registration Statement on Form S-1

       Cover Page

   1.                                                   Clearly disclose how
you will refer to the holding company and subsidiaries 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.
Disclose clearly the entity (including the domicile) in which
                                                        investors are
purchasing an interest.
   2.                                                   Please disclose whether
you have cash management policies and procedures that dictate
                                                        how funds are
transferred, and if so, describe these policies and procedures. Please
                                                        include corresponding
disclosure in the prospectus summary.
 Pijun Liu
WeTrade Group, Inc.
May 10, 2022
Page 2
Prospectus Summary
Risk Factor Summary, page 7

3.       For each risk applicable to China-based companies, please provide a
cross-reference to the
         section of the risk factors related to being a China-based issuer.
4.       We note your statement that you have obtained all requisite
permissions and that you are
         not required to obtain permission from the Chinese authorities to
offer the securities being
         registered to foreign investors. Please disclose each permission or
approval that you or
         your subsidiaries are required to obtain from Chinese authorities to
operate your business.
         With respect to your statement that you are not required to obtain
permission from the
         Chinese authorities to offer the securities being registered to
foreign investors please
         disclose the basis for this belief. If you relied upon the opinion of
counsel you should
         identify counsel and file a consent. If you did not rely on counsel,
explain why you did
         not consult counsel and why you believe you do not need any
permissions or approvals.
         Please also describe the consequences to you and your investors if you
or your
         subsidiaries: (i) do not receive or maintain such 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.
Risk Factors
We may become subject to a variety of laws..., page 23

5.       Please disclose that the draft CAC measures proposed in July 2021
became effective in
         February 2022.
General

6.     We note that one or more of your officers or directors are located in
China. Please revise
       to include a separate Enforceability section to address the difficulty
of bringing actions
FirstName LastNamePijun Liu
       against these individuals and enforcing judgments against them. Please
add a cross-
Comapany    NameWeTrade
       reference              Group,
                  to this section     Inc.risk factor titled "You may have
difficulty effecting service
                                  in the
May 10,of2022
          legalPage
                process..."
                      2     on page 30.
FirstName LastName
 Pijun Liu
FirstName  LastNamePijun Liu
WeTrade Group,  Inc.
Comapany
May        NameWeTrade Group, Inc.
     10, 2022
May 10,
Page 3 2022 Page 3
FirstName LastName
        You may contact Jeff Kauten, Staff Attorney, at (202) 551-3447, or in
his absence, Jan
Woo, Legal Branch Chief, at (202) 551-3453, with any questions. If you require
further
assistance, please contact Larry Spirgel, Office Chief, at (202) 551-3815.



                                                            Sincerely,

                                                            Division of
Corporation Finance
                                                            Office of
Technology
cc:      Yarona L. Yieh, Esq.