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                              September 13, 2022

       Qi Chen
       Chief Executive Officer
       MOGU Inc.
       Huanglong Wanke Center, 23/F, Building No. G, No. 77 Xueyuan Road
       Xihu District, Hangzhou, 310012
       People   s Republic of China

                                                        Re: MOGU Inc.
                                                            Form 20-F for
Fiscal Year Ended March 31, 2022
                                                            Filed July 15, 2022
                                                            File No. 001-38748

       Dear Mr. Chen:

              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 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.

       Annual Report on Form 20-F

       Item 3. Key Information, page 3

   1.                                                   Please 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 companies. We note your disclosure that this structure
                                                        could be unenforceable,
but please also state 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 the securities you are registering for sale,
                                                        including that it could
cause the value of such securities to significantly decline or become
                                                        worthless.
   2.                                                   Please expand your
discussion regarding the legal and operational risks associated with
 Qi Chen
FirstName
MOGU Inc.LastNameQi Chen
Comapany 13,
September NameMOGU
              2022     Inc.
September
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         being based in or having the majority of the company's operations in
China to make clear
         that these risks also could cause your securities to 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 that
         your auditor is subject to the determinations announced by the PCAOB
on December 16,
         2021 and how the Holding Foreign Companies Accountable Act and related
regulations
         will affect your company (for example, by discussing the consequences
to the company
         and its operations, stock, potential offerings and investors if you
are unable "to remain
         listed on a United States or other foreign stock exchange"). Please
also discuss the
         Accelerating HFCAA wherever you discuss the HFCAA.
3.       Please disclose whether your Hong Kong subsidiary has any operations.
If so, please
         clarify that the legal and operational risks associated with operating
in China also apply to
         operations in Hong Kong, and discuss the applicable laws and
regulations in Hong Kong,
         as well as the related risks and consequences.
Our Holding Company Structure and Contractual Arrangements with the VIEs, page
4

4.       Please revise your diagram of the company's corporate structure to
identify the persons or
         entities that own the equity in MOGU Inc. Please also remove the
arrows on the dashed
         lines representing relationships with the VIEs. Please include in this
section the
         disclosure that appears in "Contractual Arrangements with the VIEs and
Their Respective
         Shareholders" on pages 78-80. Additionally, please expand your
discussion to include
         why the contractual arrangements may be less effective than direct
ownership and disclose
         the challenges the company may face enforcing the contractual
agreements with the VIEs
         due to jurisdictional limits.
5.       Please revise any references to control or benefits that accrue to you
because of the VIEs
         to limit them to a clear description of the conditions you have
satisfied for consolidation
         of the VIEs under U.S. GAAP. Additionally, your disclosure should
clarify that you are
         the primary beneficiary of the VIEs for accounting purposes. Please
also disclose, if true,
         that the VIEs agreements have not been tested in a court of law.
Please revise the
         disclosure throughout the filing to comply with this comment.
Permissions Required from the PRC Authorities for Our Operations, page 6

6.       Please expand your discussion of the permissions or approvals that
you, your subsidiaries,
         or the VIEs are required to obtain from Chinese authorities to include
permissions or
         approvals needed to offer your securities to foreign investors. Please
state affirmatively
         whether you have received all requisite permissions or approvals and
whether any
         permissions or approvals have been denied. Please also describe the
consequences to you
         and your investors if you, your subsidiaries, or the VIEs: (i) do not
receive or maintain
         such permissions or approvals, (ii) inadvertently conclude that such
permissions or
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              2022     Inc.
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         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. In addition,
         your disclosure suggests that you, your subsidiaries and the VIEs are
not covered by
         permissions requirements from the China Securities Regulatory
Commission or
         Cyberspace Administration of China; if true, please affirmatively make
this statement.
7.       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
operate your
         business and to offer securities to investors, other than as
specified. If true, state as much,
         explain why such an opinion was not obtained, and explain the basis
for your
         conclusions. If you relied on an opinion of counsel, then counsel
should be named.
Transfers of Cash within the Group, page 11

8.       Please disclose your intentions to settle amounts owed under the VIE
agreements. Please
         also quantify the amounts of transfers, dividends and distributions
between the holding
         company, its subsidiaries, and consolidated VIEs, or to investors.
Please also provide
         cross-references to the condensed consolidating schedule and the
consolidated financial
         statements.
9.       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 the
PRC/Hong Kong or a
         PRC/Hong Kong entity, the funds may not be available to fund
operations or for other use
         outside of the PRC/Hong Kong due to interventions in or the imposition
of restrictions
         and limitations on the ability of you, your subsidiaries, or the
consolidated VIEs by the
         PRC government to transfer cash. Please provide cross-references to
these other
         discussions.
10.      Please expand your disclosure regarding the inability of MOGU and its
subsidiaries to
         make direct capital contributions to the VIEs. Provide a
cross-reference of your
         discussion of limitations on your ability to transfer cash between
you, your subsidiaris, the
         consolidated VIEs or investors to your discussion of this issue in
your summary risk
         factors and risk factors sections, as well.
11.      To the extent you have cash management policies that dictate how funds
are transferred
         between you, your subsidiaries, the consolidated VIEs or investors,
summarize the
         policies and disclose the source of such policies (e.g., whether they
are contractual in
         nature, pursuant to regulations, etc.); alternatively, state that you
have no such cash
         management policies that dictate how funds are transferred.
Summary of Risk Factors, page 13

12.      In your summary of risk factors, discuss the risks 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
 Qi Chen
MOGU Inc.
September 13, 2022
Page 4
         China-based issuers, which could result in a material change in your
operations and/or the
         value of your securities. Please revise the first summary risk factor
on page 14 to state
         that the risks could cause the value of your securities to
significantly decline or be
         worthless. Please note that each summary risk factor should have a
cross-reference to the
         relevant risk factor that includes the title of the relevant risk
factor.
Risk Factors
Risks Related to Our Corporate Structure
If the PRC government finds the agreements that established the structure for
our operations in
China do not comply..., page 34

13.      Please revise your risk factor to describe the impact on your
securities if the PRC
         government determines that the contractual arrangements constituting
part of the VIE
         structure do not comply with PRC regulations, specifically that they
may decline in value
         or become worthless.
Risks Related to Doing Business in China, page 38

14.      Please expand your disclosure regarding 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 to
acknowledge the risk that
         any such action could cause the value of your securities to
significantly decline or be
         worthless.
        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.

       You may contact Scott Stringer at 202-551-3272 or Adam Phippen at
202-551-3336 if
you have questions regarding comments on the financial statements and related
matters. Please
contact Alyssa Wall at 202-551-8106 or Lilyanna Peyser at 202-551-3222 with any
other
questions.



FirstName LastNameQi Chen                                     Sincerely,
Comapany NameMOGU Inc.
                                                              Division of
Corporation Finance
September 13, 2022 Page 4                                     Office of Trade &
Services
FirstName LastName