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                               June 15, 2023

       Kevin Benning
       Property General Manager
       Studio City International Holdings Limited
       71 Robinson Road #04-03
       Singapore 068895

                                                        Re: Studio City
International Holdings Limited
                                                            Form 20-F for the
Fiscal Year Ended December 31, 2022
                                                            File No. 001-38699

       Dear Kevin Benning:

              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.

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

       Item 3. Key Information, page 10

   1.                                                   At the outset of Item
3, please disclose prominently in this section that you are not a
                                                        Chinese operating
company but a Cayman Islands holding company with operations
                                                        conducted by your
subsidiaries based in China (including Hong Kong and Macau).
   2.                                                   At the outset of Item
3, provide prominent disclosure in this section 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 your securities 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 data security or antimonopoly 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
 Kevin Benning
FirstName
Studio CityLastNameKevin    Benning
            International Holdings Limited
Comapany
June       NameStudio City International Holdings Limited
     15, 2023
June 15,
Page 2 2023 Page 2
FirstName LastName
         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.
3.       At the outset of Item 3, provide a description of how cash is
transferred through your
         organization. Quantify any cash flows and transfers of other assets by
type that have
         occurred between the holding company and its subsidiaries, and
direction of transfer.
         Quantify any dividends or distributions that a subsidiary have made to
the holding
         company and which entity made such transfer, and their tax
consequences. Similarly
         quantify dividends or distributions made to U.S. investors, the
source, and their tax
         consequences. Your disclosure should make clear if no transfers,
dividends, or
         distributions have been made to date. Describe any restrictions on
foreign exchange and
         your ability to transfer cash between entities, across borders, and to
U.S. investors.
         Describe any restrictions and limitations on your ability to
distribute earnings from the
         company, including your subsidiaries to the parent company and U.S.
investors as well as
         the ability to settle amounts owed.
4.       At the outset of Item 3, disclose the risks that being based in or
having the majority of the
         company   s operations in China poses 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 annual report. For example,
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.
5.       At the outset of Item 3, disclose in this section each permission or
approval that you or
         your subsidiaries are required to obtain from Chinese authorities to
operate your business
         and to offer securities to foreign investors. State whether you or
your subsidiaries are
         covered by permissions requirements from the China Securities
Regulatory Commission
         (CSRC), Cyberspace Administration of China (CAC) or any other
governmental agency
         that is required to approve your operations, and 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
         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.
 Kevin Benning
FirstName
Studio CityLastNameKevin    Benning
            International Holdings Limited
Comapany
June       NameStudio City International Holdings Limited
     15, 2023
June 15,
Page 3 2023 Page 3
FirstName LastName
Item 16I. Disclosure Regarding Foreign Jurisdictions that Prevent Inspections,
page 150

6.       We note your statement that you reviewed public filings and
stockholder lists of your
         Company, Melco Resorts and Melco International 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).
7.       We note that both Studio City Developments and Studio City
Entertainment are organized
         in Macau, as well as your use of defined terms beginning on page 1
distinguishing
         between mainland China and Macau. Please supplementally tell us the
percentage of
         shares that are owned by governmental entities in Macau and any other
jurisdictions in
         which you have consolidated operating entities, pursuant to paragraph
(b)(2) of Item 16I
         of Form 20-F.
8.       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, if any, of
         your consolidated foreign operating entities are officials of the
Chinese Communist Party.
         For instance, please tell us how 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.
Notes to Consolidated Financial Statements
13. Capital Structure, page F-38

9.       We note that you issued 400M shares to existing shareholders and
holders of your ADSs
         at a price of $3.00 per ADS, a price which appears to be a significant
discount from the
         traded price of your ADSs on the NYSE during that timeframe. Please
tell us if you
         believe the price of $3.00 per ADS represented the fair value of the
shares at those dates
         and provide us with your analysis to determine the fair value.
        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 Eric McPhee at 202-551-3693 or Robert Telewicz at
202-551-3438 if
you have questions regarding comments on the financial statements and related
matters. Please
contact Pearlyne Paulemon at 202-551-8714 or Brigitte Lippmann at 202-551-3713
with any
other questions.
 Kevin Benning
Studio City International Holdings Limited
June 15, 2023
Page 4


FirstName LastNameKevin Benning                        Sincerely,
Comapany NameStudio City International Holdings Limited
                                                       Division of Corporation
Finance
June 15, 2023 Page 4                                   Office of Real Estate &
Construction
FirstName LastName