Have you been through all kinds of things:One failed transplant at a time.,markers go up and down, the doctor said "to not observe for another three months" - and birthdays go forward every year.Families who are single, in same-sex couples, or unable to conceive due to uterine factorsIn addition, it is not even possible to enter the door of "trying". Domestic surrogacy is expressly prohibited, the so-called "underground channels" look close, but the risk is close at hand: money, parental authority, on the household registration, which is not a small matter.
In the past two years, we've clearly felt a trend taking shape:Leave the quality of the embryos to Japan and theLegal SurrogacyHanded over to Kyrgyzstan.Sound like a cross-country puzzle? It is. But it happens to hold three of the most important things steady--Success Rate, Compliance, Controllable Costs.Japan's rigor is reassuring, and Kyrgyz law on surrogacy is clear and relatively expat-friendly. Surrogacy is hardly done in Japan itself, but the level of its embryo labs and personalized protocols for ovulation promotion thatVery "right" for advanced age/repeated failures.;And Kyrgyzstan explicitly allows surrogacyThe existence of a notarized contract and the path to paternity is a crucial step in bringing the child "home legally".

You may ask:
"I've already done several IVFs, what could be different in Japan?" The difference is in the details: microstimulation strategies, the pace of transfer, the understanding of ovarian function in advanced age, the Japanese style of 'slow work', and the careful judgment of whether additional technologies (PGT/IMSI/assisted incubation, etc.) are truly 'necessary'.
"Is surrogacy really legal in Kyrgyzstan?" --Yes. Surrogacy is included in the framework of the Law on the Protection of Citizen's Health, requiring medical indications, a notarized contract, age of the surrogate mother/previous births, etc., and is explicitly "feasible" on a practical level by the British government's National Records and External Services page. (Of course, compliance doesn't mean risk-free, and we'll break down the details one by one later.)
"Where is the money going to be spent? Are there sinkholes?" --Money is spent at both ends: IVF & embryo freezing/transportation in Japan, and surrogacy medical care, surrogate mother compensation & legal services in Yoshikuni. It varies a lot from organization to organization, and we'll give"Budget Snapshot" and "Hidden Costs List", helps you take the uncontrollable and make it predictable.
90-Second Snapshot|Route Logic and Key Differences (Preview Version)
| dimension (math.) | Japan (IVF/embryo) | Kyrgyzstan (surrogacy/birth) |
|---|---|---|
| Legal position | Surrogacy is prohibited at the level of the Japanese Academy; 2007 Supreme Court precedent: "The mother of the birth is the mother" (the person who gives birth is the legal mother). It is not recommended to arrange any surrogacy in Japan. | Surrogacy is permitted by law, with notarized contracts, medical indications; there are operational paths for foreigners (details depend on contracts and court/registry processes). |
| What are you doing here? | Ovulation, egg retrieval, IVF/ICSI, PGT (if applicable), freezing and stage transfer strategy development; polishing embryo quality to your satisfaction. | Selection of agency and surrogate mother, contracting and medical examination, transplantation/natal examination/delivery, establishment of paternity and documentation (birth, notarization, DNA, etc.). |
| Legitimacy Core | No surrogacy, only IVF; following Japanese professional guidelines and hospital compliance processes. | Take the explicit legal path: contract + medical + notary/court closure to reduce parental rights disputes. |
| Cost style (reference) | Itemized billing, line items are transparent but "additively cumulative"; large variations between hospitals (drug costs, lab add-ons, refrigeration/administration fees, etc.). | "Packages + add-ons": compensation for surrogate mothers, maternity check-ups and deliveries, legal notarization, interpreters for court appearances, and additions for twin births/Cesarean sections should all be asked for in advance. |
| Risk focus | Excessive additions vs. true necessity, balance of program pace and physical load. | Timeline of contract terms, agency qualifications, surrogate mother screening, maternity coverage and immigration/nationality documents. |
Evidence Threshold Tip:
- Japan:The prohibition of surrogacy at the academic level and the Supreme Court's jurisprudence confirming that "the person who delivers the child is the mother of the law" have made local surrogacy unfeasible at the judicial and practical levels; however, IVF and add-on technologies are well-developed.
- Kyrgyzstan:Recognition of surrogacy arrangements in national law and practice guidelines, requiring notarization of contracts and medical conditions.
What will this article, help you with?
- Break down "success or failure" into "how to increase success":Who is suitable for microstimulation in Japan and when is PGT worth doing? How to avoid "add-ons for the sake of numbers"? (We will speak with clinical logic.)
- Break down "legal or illegal" into "how to go through it in a compliant manner":How many steps each for contract, notarization, and paternity confirmation in Jigoku? How do I get my China Travel Permit after the baby is born? How does the timeline line up? (Complete with flowchart and list of materials.)
- Break down "how much to spend" into "where to spend the money and how to minimize pitfalls":We will list the common itemized costs of IVF in Japan (egg retrieval/ICSI/freezing/administration fee, etc.) and the common add-ons to the Yoshikuni package (twin pregnancy, cesarean section, bed-rest nutrition, courtroom interpreter), and mark them as "mandatory/optional/cautious".
A word from the heart:
We don't encourage blindness."Overseas surrogacy", nor does it deify any country. Japan + Yoshikuni is just an in-the-moment compliant and relatively manageable combination for those who medically need a third-party pregnancy and want to take as much success as possible into their own hands at the embryo stage. If you're on this path, may you have clear information, a manageable budget, a predictable timeline - and, on the final day, hold the child you've been waiting for for a long, long time.
I. Why choose "Japanese in vitro fertilization + Kyrgyz surrogacy"?
Let's get this straight: if you wish to"Science pulls success rates upward while keeping legal risks down."In 2025, the most "convenient" combination would be to have high-quality embryos and evaluations (including personalized ovulation, PGT, etc.) in Japan, and then legally complete the pregnancy and delivery in Kyrgyzstan. This is not a gimmick, but a combination of the two regions' "specialties":Japan = embryo quality and a solid laboratory system; Yoshikuni = a commercial surrogacy path clearly written into the law, and foreigner-friendly on-the-ground operations.I'll break down the technical and legal threads below.

(1) How does IVF in Japan guarantee a high success rate?
IVF in Japan, winning "Steady, fine, accurate"The
steadyIt is a national level of registration and ethical gatekeeping;
finely particulateThe process of microstimulation, frozen embryos, and single embryo transfers are "reduced fluctuation" processes;
quasi-, is to use PGT (third generation test tube) under strict indications to screen out the embryos that will make it to the finish line.
In Japan, all assisted reproduction data are reported annually and summarized periodically by the Japan Society of Obstetricians and Gynecologists (JSOG).
The latest publicly available data for 2022: 543,600 ART cycles and 77,200 newborns born nationwide.The proportion of single embryo transfers is over 80%, and the live birth rate of single embryos is close to 97%.(Single birth = safer and fewer complications), which is a visual representation of "risk control and stability".
01. Characteristics of Japanese test tube technology
Microstimulation/natural cycles (represented by Kato Woman/Kato) have long been popular in Japan, with the concept of "less is more".Try to avoid endocrine fluctuations and decreased egg quality associated with excessive ovulation.; in conjunction with single embryo (single blastocyst) transfer with frozen embryo prioritization, piling up cumulative live birth rates with more rounds of small steps. Multiple studies and long-term practice provide evidence and replicable experience for this set.
In Japan, Freeze-all + Freeze-thaw transfer is widely used, whereby high-quality embryos are frozen first and transferred when the endometrial state is optimal; this helps to reduce complications such as ectopic pregnancy and OHSS, and allows for a more controlled pace of transfer.
Both Japanese and international studies suggest that frozen embryo transfer is friendlier in terms of safety and controllability.

02. How and for whom does PGT (third generation test tube) work?
Japan's approach to PGT-A/PGT-M is "prudent use under strict indications", and the JSOG is gradually liberalizing its use in high-risk populations such as recurrent miscarriage and repeated implantation failures by means of clinical studies and guidelines, and there are Japanese cohorts suggesting that the per-transplantation live-birth rate can be improved in specific populations, but not "one-size-fits-all PGT-A" for all - ensuring ethical compliance and medical cost-effectiveness. Japan does not encourage "one-size-fits-all PGT-A for all" - this ensures ethical compliance and cost-effectiveness of care.
03. Sequential / two-stage embryo transfer: a proven "plus one" in Japanese hospitals
For patients with repeated failures, some centers in Japan perform a two-stage transfer: an early embryo (D2/3) is transferred in the same cycle, followed by a blastocyst (D5/6) a few days later, to improve endometrial receptivity by using "embryo-endometrial signaling". The Japanese Fertility Society and other sources have documented that this method originated in Japan (Shiga Medical University, 1999), and subsequent studies have shown that it may improve pregnancy rates in certain populations, but that the risk of multiple births needs to be weighed against individual differences - it is a plus, but not a standard for everyone.
04. Japanese thoughts on patients with high age/low response (DOR/POI)
Japanese doctors prefer the path of gentle ovulation + multiple egg retrievals to accumulate good quality embryos when ovarian reserve is limited, to minimize the fallout of a one-time "rush"; at the same time, the bottom line is single-embryo transfers and the reduction of complications, which is especially important for the 38+ age group.
05. Costs and realistic expectations of egg freezing in Japan
In Tokyo, for example, the total cost of social egg freezing commonly starts at around 300,000 to 600,000 yen, with some going higher; there are also local subsidies (e.g., annual one-time subsidy + subsidy for subsequent storage) in Tokyo, but the policy and amount varies from one municipality to the next - be sure to check the current year's bylaws before you do it.
My attitude:In order to pursue the "steady state success rate", the Japanese combination of "microstimulation - frozen embryo - single blastocyst - strictly indicated PGT - two-stage transfer if necessary" is particularly friendly to the elderly and repeated failures; it does not pursue the one-time "wonderful", but reduces the randomization and piles up the win rate with the process. The Japanese "microstimulation - frozen embryo - single blastocyst - strictly indicated PGT - two-stage transfer if necessary" combination is especially friendly to the elderly and repeated failures; it does not pursue a one-time "brilliant" but reduces the randomness, and piles up the winning rate with the process.

06. Core Technical Points and Applicable People of IVF in Japan
| Technology/Strategy | Core practices | People who are suitable for | value point |
|---|---|---|---|
| Microstimulation/Natural Cycle | Accumulation of small amounts of drugs and multiple egg retrievals | High age, low response, fear of side effects | Improved stability of individual egg quality and reduced complications |
| Frozen embryos first (Freeze-all) | Freezing before transplantation, timing of transplantation | Hormone fluctuations, OHSS risk | More controllable, less risky |
| single embryo transfer (SET) | 1 embryo at a time | Whole population (Japanese regular) | High singleton rate, mother and child safety |
| PGT-A/PGT-M (limited indications) | For RIF/RPL etc. | Advanced age, repeated failures, familial genetic disorders | Enhancement of hit rate per graft (limited to specific populations) |
| Two-stage transplantation | D2/3 + D5/6 Same-cycle sequential | repeat loser | Potential to improve acceptability and planting rates (individualized trade-offs) |
(2) Why are Kyrgyz surrogacy laws so friendly to the Chinese?
Conclusion first: commercial surrogacy in Kyrgyzstan is there"Legal texts"underpinned and the object of the application of the law clearly encompasses"Foreigners."For Chinese families, this means that the process is not one of "exploiting loopholes" but of working within the framework of statutory law. For Chinese families, this means that the process is not a "loophole", but rather a way of working within the framework of statutory law.
01. Law on surrogacy in Kyrgyzstan
The Law of the Kyrgyz Republic "On the protection of public health", adopted on January 12, 2024, which will remain in force until 2025, includes the definition and terminology of assisted reproduction technologies (including surrogacy), and in the General Provisions it is stated that this law applies to foreign citizens and stateless persons. The direct presence of the term "surrogacy agreement" in the legal terminology (which must be signed by the parties) provides the legal framework for the existence and contractual validity of commercial surrogacy.

"Can a foreigner go to Yoshi's country for surrogacy?"
Yes. Chapter 1 of the Act states that the scope of application covers "foreigners who are temporarily or permanently residing in the territory of Kyrgyzstan". This is very important - it clarifies the subject of admission (not only nationals).
02. How does birth registration/paternity land?
In practice, a notarized surrogacy contract is used as the core basis for birth registration (which may vary slightly from region to region, so local lawyers/agencies are often involved). The UK government's passport/knowledge base also clearly states that "surrogacy is permitted in Kyrgyzstan", and this type of "third-party official information" is critical to the acceptance of transnational documents - for subsequent Notarization/certification/translation to link up with repatriation materials.
03. Will the baby's nationality get stuck?
You will generally not get ji nationality. Jus sanguinis is a jus sanguinis nationality law - a child with foreign parents will not be automatically naturalized by birth (unless statelessness is avoided). This is compatible with the Chinese family's path of "returning home for a travel permit/certification of naturalization".
04. What is China's domestic attitude?
Any form of surrogacy by medical institutions is prohibited in China (as repeatedly emphasized in the norms on assisted human reproduction and subsequent circulars since 2001), so do not try surrogacy in China; however, "legally completed outside the country, how to prove paternity and nationality back in China" belongs to a different set of paths (commonly used DNA paternity testing + consular certification, etc.). (The material connection will be discussed in detail in the practical chapter).
My clear point:
If your goal is to"Make the success rate high, the timeline short, and the uncertainty minimized in compliance" - then use Japan as a production line for embryo quality and evaluation(microstimulation, frozen embryos, single embryos, PGT with limited indications, two-stage transfer if necessary), treating Kyrgyzstan as the legal production end (contracts, notarization, registration of births in the legal text), this "Japan-Kyrgyzstan union" is one of the most optimal solutions in 2025, both technologically and legally.Japan lets you "win at the embryo starting line" and Yoshikuni lets you "reach the finish line safely".That's the trend, and that's the reality.
Secondly, the list of costs of going to Jiji Surrogacy, how much does it really cost to budget for 2025?
Let's be clear: the budget is not a "total price", but an assembly line - the Japanese end of the line makes the embryos "stable, accurate and good", and then sends them across the border to Bishkek, where a surrogate mother completes the pregnancy and delivery. Then the embryos are sent across the border to Bishkek, where the surrogate mother completes the pregnancy and delivery. Each section has a "checklist" and a "small amount of money" that can be easily overlooked, which add up to the real cost. I've pulled out the most common pitfalls and put together a list of price ranges and things to consider.
(1) IVF Stage in Japan: Detailed Costs from Preliminary Examination to Embryo Freezing
Two things cost the most money in Japan:
①One egg retrieval + laboratory operations (IVF/ICSI, culture to blastocyst, freezing);
② Subsequent annual embryo storage.
Below is an example of a public "fee simulation" by Oak Clinic, a leading fertility center in Osaka/Tokyo, so you can see the price range for each item (both tax-exclusive and tax-inclusive are shown on the hospital's page):

The total amount of eggs retrieved in a single retrieval to "total freezing" in a low-stimulation/natural cycle, depending on the number of eggs and whether or not they are ICSI, is approximately336,000-776,000 yen (tax included)This area fluctuates; where the freezing fee (by number of embryos) is a separate item from the storage fee (by time).
01. Breakdown of IVF in Japan (using the hospital's "cost simulation" as an example)
| sports event | Typical price (tax included, yen) | clarification |
|---|---|---|
| Egg retrieval OPU (2-5) | 85,800-99,000 | Higher cost when there are more eggs (up to 165,000/20 eggs) |
| IVF/ICSI Laboratory Operations | ivf 20,900-47,300; icsi 88,000-187,000 | Depends on whether ICSI and number of eggs |
| Embryo culture (to D3/D5) | 66,000 / 99,000 | D5 (blastocyst) is more expensive |
| Embryo freezing fees | 1 35,200; 3 44,000; 5 52,800 | cost per piece |
| Cryopreservation costs | 1 piece/6 months 7,920; 3 pieces/1 year 46,530; 5 pieces/1 year 73,260 | Storage is billed by the hour |
| Fresh/frozen embryo transfer | 77,000 for fresh grafts; additional drug costs for grafts on total freezing | Japan often follows the strategy of "freezing before moving". |
02. About PGT (third generation) costs
In Japan, PGT-A/M is performed only under strict indications. in the English price list of the Reproductive Center at Sanno Hospital, for example, PGT-A is about88,000 yen per embryo. Whether or not it is appropriate to do it and how many pieces to do, the doctor will decide based on the indications and ethical requirements.

03. Egg freezing and subsidies
The out-of-pocket price of social egg freezing (not equivalent to treatment) in Japan is usually300,000-600,000 yenThe amount varies slightly from city to city and from hospital to hospital; in recent years, Tokyo has also had a one-time subsidy for residents (the upper limit is usually about 300,000 yen, and applicants are very popular).Please be aware that patients from outside Japan are generally not eligible for Japanese residents' health insurance/local subsidies.
04. "Soft costs" during the trip to Japan
- Accommodation:Average hotel prices in Japan have risen significantly since 2024, with the average Tokyo rate once exceeding26,000 yen/night(Business/mid-range segments are more expensive and tighter). Be sure to book in advance during peak season.
- Visa:Chinese nationals seeking medical treatment in Japan can apply for a Medical Stay Medical Visa (the same type of visa can be obtained for accompanying persons), with the required documents related to the period of stay and purpose of use; the Ministry of Foreign Affairs of Japan suggests preparing medical insurance for overseas travel.
- Medical interpreter/chaperone:There are international medical coordination organizations in Japan that can assist with appointments and visa communication (JIMCA). Fees are quoted on an hourly or per package basis and vary by organization.
My advice:The budget for the Japanese end of the program is based on "one egg retrieval + total freezing + 1 year of storage" as a base, with flexibility for PGT (per egg) and follow-up appointments/medicine as needed; accommodation is based on25,000-35,000 yen/night × daysEstimates that can be relatively close to the true landed price.
Note: 1 RMB is equal to 20.80 yen.
(2) Full analysis of the costs of the surrogacy stage in Kyrgyzstan
Let's start with the premise of "official legality": Surrogacy is enshrined in law in Yoshikuni (Public Health Protection Act and Reproductive Rights Act), which applies to foreigners as well, and the process requires notarization/contracts and other compliance steps - which means that many of the costs you'll have to pay are in fact "documented". "documented".
You'll see three bands of offers on the market (below is a sample of packages/samples of 2024-2025 that are publicly available to the public from various organizations, which varies widely depending on the items included):
| gear level (i.e. first gear, high gear etc) | Public Interval (Currency as per original station) | Usually contains | Remarks/Source |
|---|---|---|---|
| Lowest advertised price | $25,000-30,000 | Basic match + one transplant + some labor and delivery | Mostly excludes multiple transplants/complex obstetrics/legal paperwork full set, read terms and conditions with caution.Not recommended! |
| Mainstreaming Standard Package | $55,000-70,000 | Matching, 2-4 transplants, surrogate mother compensation, pregnancy management, legal/notary, birth registration support, etc. | Some state"2/4 transplants", including paternity testing, clerical assistance, etc.; the breakdown and liability boundaries must be read. |
| "Successful/unlimited." | $100,000+ | Multiple transplants until live birth, more legal/translation/accompanying | Ideal for families looking for time certainty, but contractual details are more critical. |
01, you can easily ignore, but in the end will pay the "invisible items" (it is recommended to write in the contract):
- Compensation for twin/multiple births. $3,000-5,000 (higher risk, more intensive labor and delivery, many contracts include a separate "twin fee").
- Compensation for caesarean section. $1,000-2,000 (higher surgical risk/recovery for segment C, mostly classified as "cesarean benefit").
- Transnational transportation of embryos (Japan → Yoshikuni). $1,000-3,000 (common), customized$3,000-5,000+ (Depends on distance, whether or not portable cold evaporator tanks are hand-carried, insurance coverage, customs clearance & information. Be sure to ask about insurance/delay plans).
- Legal/Notarization/Translation & Hague Certification. Ranging from several hundred to thousands of dollars (Yoshikuni wasStates Parties to the Hague Convention on AccreditationMost of the Chinese/foreign instruments are available in Apostille).
- Documentation of newborns. Institutional package or per piece (birth certificates, notarization, paternity tests, preparation of travel documents, etc., please include timelines and responsibilities in the list of services).

02. On "What is the compensation for surrogate motherhood?"
The caliber of each institution is different, and is usually counted into the "package price" is not listed separately; from the media and scattered information from institutions, individual cases of surrogate mothers can be charged to about$30,000, but please refer to the payment node of your contract.
03. Payment of surrogacy expenses
Most organizations use installments (first time, heartbeat confirmation, 12 weeks, 28 weeks, labor/birth, etc.), and some claim six installments and "pay the bulk of the payment after birth" - which is more friendly to multinational families in terms of money and risk control. It is recommended to use bothThird-party hostingTo walk away from the money, so that "evidence can be traced".
(3) Japan + Yoshikuni strung together in a "2025 budget snapshot" table
| annular ring | Recommended budget | Key Variables |
|---|---|---|
| Japanese end: one egg retrieval → blastocyst freezing → 1 year storage | 400,000-80 yen per session (excluding PGT) | ICSI or not, number of blastocysts, length of storage; PGT-A separately88,000 yen/embryoThe |
| Japanese end: Accommodation/Visa/Translation | 25,000-35,000 yen/night × days; visa/coordination quoted by agency | Tokyo's average price has been high in recent years; be sure to allow for peak season spreads and interpreter availability. |
| Embryo transportation (Tokyo → Bishkek) | $1,000-5,000+ | Routing, coverage, whether portable cold evaporator tanks, customs clearance paperwork. |
| Yoshikuni Tuan: Surrogacy Package | $55,000-70,000 (mainstream) | Does it include multiple transplants/inclusive success, does it include paternity test/full set of paperwork, accommodation pick up and drop off. |
| Yoshikuni Tuan: Hidden items | $0-8,000+ | Reimbursement for twin births/Cesarean section, NICU for preterm labor (multiple exclusions), and additional labor and delivery tests. |
Two reminders
The offer must be broken down to the "terms and conditions" level: medical standards for surrogate mothers, number of transplants, restarting after miscarriage, who pays for preterm labor/complications, who pays for errors in documentation - all written into the contract.
Reverse the budget with a "timeline": if you want to have a baby in 12-18 months, prioritize multiple transplants/stronger legal support packages over "starting prices" that look good; low prices often mean failing and then coming back for another round! The low price often means the time and cost of another round after a failure.
III. Step-by-step practical guide: from Tokyo in vitro to Bishkek surrogacy
This part is not empty words, it is written according to the timeline and the points of doing things. What you need to prepare for each step, what key questions to ask, what materials must be kept in reserve - all given.

(1) First step (Japan): What to do about medical visa? How to choose a reproduction center?
Visa and pathways to care" first, then hospitals.
A. Medical Stay Visa Highlights
The Ministry of Foreign Affairs of Japan has special provisions for the "Medical Stay Visa", which can be applied for at the local embassy or consulate with a medical treatment plan issued by a Japanese medical institution or an international medical coordination organization, and with all the documents in order; if the stay is longer than 90 days, a medical institution or a relative in Japan is usually required to apply for a certificate of eligibility from the Immigration Bureau on behalf of the applicant.
In most countries (including China), a recognized international medical coordinating organization will assist in matching hospitals, itineraries, and documents (e.g., "medical plan", "letter of introduction from guarantor", etc.) when applying. There is a Japanese industry association, JIMCA, where you can search for member companies.
Medical Visa Preparation Checklist (condensed version)
- Medical Plan/Appointment Confirmation. Write down the department, treatment plan, and timeline from the hospital or health care coordinator.
- Economic/security materials. Deposit/Insurance/Fee Description, Medical and Trip Insurance is recommended for treatment in Japan.
- Status of residence (e.g. >90 days). Hospitals and family members in Japan will issue a "Certificate of Eligibility" on behalf of the applicant from the Immigration Bureau of Japan.
B. Selection of Japanese test-tube hospitals
There is no official "Fertility Hospital Ranking" in Japan, so we recommend filtering by three steps:
- Disease Matching:Advanced age/repeated failure/low ovarian response (DOR/POI), with preference for centers with experience in microstimulation, single embryo transfer, and frozen embryo preference (e.g., Kato Women's System in Tokyo is known for its microstimulation; Japanese or full-time interpreters are often required for visits).
- Process and cost transparency:Availability of price lists in English/external and "itemized costs for freezing and storage, ICSI, culture to blastocyst, PGT (if applicable)". Sanno Hospital in Tokyo has made its out-of-pocket prices available in English, with a special reminder that the cost of transporting the specimen is at the patient's own expense - critical for multinational patients.
- Technical focus:
- Microstimulation/natural cycle + single embryo transfer + frozen embryo prioritization is a common "homeostatic combination" in Japan;
- PGT is mostly used under strict indications (recurrent miscarriages, repeated implant failures, etc.), following the Society/ethical framework;
- For cryopreservation/resuscitation, Japan has long used vitrification technology in conjunction with sophisticated laboratory quality control.
Tip:Does the hospital support cross-country embryo transfer articulation (original cryopreservation/exit/testing report, English version, copy of temperature control records)? Ask for this at the time of consultation.
(2) Step 2 (cross-country): How can embryos be transported across borders, both safely and in compliance?

A. Carrier selection: "qualification + program"
Use of specialized reproductive cold chain (dry liquid nitrogen tanks, full temperature control and positioning, delayed backup), such as Cryoport/ArkCryo/ReproTech and other industry service providers; regular services will provide tank calibration, temperature profiling, insurance and customs clearance support.
Allow carriers to interface directly with departing/arriving hospitals to confirm handover manifests and shipping windows (avoid long holidays and extreme weather).
B. Chain of documents: Hague certification (Apostille)
Kyrgyzstan is a party to the Hague Convention on Authentication; the Convention has been in force in mainland China since 2023-11-07. Both countries are parties to the Convention, and cross-border use of birth certificates, power of attorney and notary public certificates usually goes through Apostille rather than multiple rounds of consular authentication (individual bilateral exceptions are subject to HCCH notification).
C. Safety: what are the "hard indicators" for cryo-resuscitation?
Human embryo cryopreservation with vitrification as the dominant technique has been reported in authoritative guidelines and most centers to have resuscitation survival rates in the range of 90% or higher (depending on the laboratory process, carrier, duration, etc.); don't take a laboratory's "best" as a given.
Cross-Country Transportation Highlights vs. Risk Comparison Table
| pivot | What are you getting? | Possible risks if not done |
|---|---|---|
| Contracts and insurance | Contracts of carriage, insurance limits and claims provisions | Delays/extreme weather losses are not covered. |
| Temperature control and tracking | Temperature profiles, positioning records | Abnormal temperature → increased resuscitation failure rate. |
| adaptation of instruments | Freezing/testing report in English + Hague certification (if required) | No receipt of documents at the hospital/need to make up documents, delaying the transplant slot. |
(3) Step 3 (Kyrgyzstan): Screening of reliable organizations and surrogate mothers, and inclusion of "red line clauses" in the contract.

A. Looking first at "legitimacy and process closure"
Surrogacy has been incorporated into the national legal framework and is applicable to foreigners; in practice, the notarized surrogacy contract is the core of the birth registration and subsequent documents (the specific caliber of the registration varies slightly from region to region, so it is important to cooperate with the local lawyers/institutions).
B. Agency/intermediary screening: four questions and answers
- Qualifications and Medical Networks:Is the list of fertility centers/maternity homes that have signed up to collaborate publicly available? Is it possible to arrange for high-risk obstetrics/NICU?
- Surrogate mother screening criteria:Is there a written SOP for age, previous birth history, BMI, screening for infectious diseases, and psychological evaluation? (Some organizations publicize thresholds such as surrogate mother's age ≤ 38 years old, which can be used as a reference but is based on the contract.)
- Porting and Failure Reboot:The number of appointments, the post-abortion cooling-off period, and the attribution of medical decision-making authority for adjustments to the medication regimen.
- Legal and clerical:Whether DNA paternity tests, birth certificates, translations, notarization/Apostille are included, and who is responsible for interfacing with which level of authority.

C. Contractual "red-line clauses" (always verbatim)
| clause (of contract or law) | pivot | Why it matters. |
|---|---|---|
| Parental rights and birth registration | Clarify the path, required documents, and time point for expected parents to become legal parents | It directly affects the naming of birth certificates and repatriation procedures. |
| Medical complications and costs | Coverage of costs for preterm birth/NICU, twin births, cesarean sections | Most "package prices" do not include, need to set aside a budget. |
| Risk event scenarios | Complications of surrogate mother's pregnancy, force majeure, place of dispute settlement | Reducing the cost of transnational dispute resolution. |
| Funds escrow and staging | Milestone Disbursement (Heartbeat, Week of Pregnancy, Delivery) + Third Party Escrow | Control performance risk and avoid one-time payments. |
(4) Step 4 (Returning to China): After the baby is born, how do I get a birth certificate and a China Travel Permit?
A. Birth registration (Djibouti)
A birth notification is issued by the hospital and a birth certificate is obtained from ZAGS (Civil Registry); U.S. consular information shows that the birth certificate is issued by the registry under the National Registry/Digital Development Department, in standardized format, can be expedited, and can be reissued with corrections. Once completed, it can be processed for translation and Apostille.
B. Articulation of Chinese documents: following the path of "birth certificate (including Apostille) → travel certificate".
- Handling location:Chinese Embassy in Kyrgyzstan (Bishkek). For the latest contact information/website, see the directory of foreign embassies of the Ministry of Foreign Affairs of China.
- Processing Channels:In recent years, embassies and consulates have generally made passport/travel document reservations and submissions through the "China Consular App"; specific documents are subject to notification by the resident embassy (usually including birth certificates, parental documents and marital status documents, photographs, etc., and individual embassies may require proof of paternity/DNA when necessary).
- Apostille in effect:China has implemented the Hague Certification Convention since 2023-11-07, Ji has long been a contracting party, usually can directly mutual recognition Apostille, reduce the bilateral multiple rounds of certification time.

Repatriation Documentation and Timing (Schematic)
| nodal | responsible party | note |
|---|---|---|
| Birth certificate (original) | ZAGS Registry | Can apply for expedited; do certification/translation when you get it. |
| Translation + Apostille | Accreditation body/notary public | For use by Chinese embassies and consulates/border control. |
| Application for a travel permit | Chinese Embassy in Kyrgyzstan (APP appointment) | Documents are subject to notification by the Embassy; with proof of parentage if necessary. |
| Repatriation and Settlement | After returning to your home country, follow the local public security/entry/exit/household registration policies. | It is recommended to consult the police station/entry/exit window of your household registration in advance. |
Little reminder:The rules and regulations of different embassies may vary slightly, subject to the current release of the embassy in Kyrgyzstan; in case of complicated situations (e.g. single parent, unmarried, special paternity certificates), be sure to check the documents with the embassy's document window in advance by e-mail/telephone.
IV. Who are the most suitable people for the "Nikkichi Union" program?
To put it bluntly: it's not a silver bullet. But for certain groups of people, it does feel like a "surgical glove sewn just for you" - stable, compliant, and straightens out the timeline. I'm going to break it down for two major groups: senior/repeat losers, and singles and the LGBT community.
(1) Advanced Age and Repeated Failure
If you are over 35, or even 40+, or have experienced 2-3+ failed transplants (RIFs), the value of the Japanese end of the spectrum is to break down the "success rate" into a number of controllable variables: the intensity of ovulation, the pace of the transplantation, whether to go to total freezing, whether to do PGT, whether to try a "two-stage transplant", etc. "Second-stage transplantation" and so on. Japan's hundreds of thousands of ART registrations/year, with single embryo transfers + high singleton rates as the bottom line, is designed to offset age and fitness uncertainties with "homeostasis". 2022 national summary shows that single embryo transfers accounted for more than 80% of all transfers, with a singleton rate of ~97%, and that frozen embryo transfers are very commonly used! --This means taking the risk of complications and multiple births to the floor price, and then fighting for every "hit".
One more realistic but gentle reminder: the effect of age on outcomes is real. In Japan, when some IVF programs will be included in health insurance from 2022, the threshold will be set at "women under 43 years old at the time of initiation of treatment" (maximum 6 transplants <40 years old, maximum 3 transplants between 40-42 years old), which is a balancing act between "giving opportunity" and "respecting medical probability". The starting point is to find a balance between "giving chances" and "respecting medical probability". At age ≥43 years, attempts can still be made at some institutions at one's own expense, but with a longer timeline and a larger financial cushion.
Why is the Japanese program better for you? My experience is summarized in three points:
- Oxygenation is more restrained and quality is prioritized:Microstimulation/natural cycles + multiple egg retrieval accumulations, reducing the drain on the ovaries from a single surge, with freeze-all strategy (Freeze-all) to move again on the "best day for the lining". It is especially friendly to DOR/POI and advanced age. Long-term data in Japan also shows that "single embryo + high single fetus rate" is a hard standard.
- The PGT "limitation of indications" is used for the purpose of the knife edge:Not everyone is on PGT-A; in populations at high risk for recurrent miscarriages, repeated implant failures, and chromosomal abnormalities in advanced age, physicians are more likely to discuss "hits per transplant" rather than indiscriminate additions.
- The process is transparent and the pace is controlled:Frozen embryo preservation, single embryo transfer, and attempting a second-stage transfer if necessary (for specific RIF individuals) are all "toolboxes" that are clearly written in the hospital's procedures, not in the head.

Adaptation list (put yourself in the right place):
| Your situation. | The Japanese end of the more "symptomatic" points | I'd suggest you focus on what to ask your doctor. |
|---|---|---|
| ≥38 years old, low ovarian response(low AMH/low sinus follicles) | Microstimulation/natural cycles, multiple egg retrieval cumulative, total frozen elective period | How do you set the intensity of ovulation? How many rounds of egg retrieval are needed to save the expected number of blastocysts? Is PGT recommended? |
| Multiple transplant negative/biochemical (RIF) | Endothelial evaluation + freeze-thaw grafting, discussion of "two-stage grafting" if necessary | Which tests are filled first? Are there immune/endo window issues? Is a second stage transplant worth a try? |
| Multiple birth concerns/combined medical risks | Single embryo as standard, pursuing a high single-fetus rate | Doctors' "single embryo" compliance and multiple birth control strategies? (Japan is usually very strict) |
The attitude is bright:If you're looking for a "steady state success rate", the Japanese style of play is friendly and restrained to the elderly and repeat losers - no risks, no gimmicks, and a process to get the win rate up.
(2) Single Persons / LGBT Community
Let's be honest: in Japan, under the ethical and healthcare framework, married heterosexual couples are more "taken care of"; JSOG and policy discussions have long emphasized the predominantly married heterosexual couples as the target group, and there are many public controversies about the accessibility of sperm and egg donation and single/LGBT people, which will not be fully liberalized even after 2022! --That's why it's hard to get to the "right path" of third-party pregnancy or single use of sperm/egg donation in Japan.
Kyrgyzstan, on the other hand, has written the door squarely into the law: the Law on Public Health Protection, which entered into force in 2024 and will remain in force in 2025, explicitly defines assisted reproduction (including surrogacy) and applies to foreign nationals; and, crucially, the law defines a "surrogacy agreement" using the term"persons/persons (plural/singular)" - i.e., allowing "a person" to be the principalSigning a surrogacy contract. Together with the previous practical elements, such as the need for a notarized contract, the age and reproductive history of the surrogate mother, and the consent of the spouse (if the surrogate mother is married), this constitutes a path that can be implemented.
What does that mean?
- Single female/male:It can be contracted as a "single client"; the interpretation of medical indications usually revolves around the objective inability to conceive naturally (e.g. absence of a uterus, serious illnesses) or the social need to procreate - in practice, this is controlled by the legal and notarial offices of the organization.
- Same-sex couples:As same-sex marriages are not recognized in Kyrgyzstan, it is common practice for one of the parties to be the "single principal" for the entire process and birth registration; the other party's parental rights are aligned with the Chinese end, and can then be dealt with in accordance with the rules of their respective territories of origin (early planning is required). The legal framework allows you to legally give birth to a child and obtain a birth document, but the establishment of parental rights has to be designed in a separate step-by-step process.
Adaptation checklist (getting the path down step by step):
| Your situation. | Why "Yoshikuni is more appropriate"? | The first question should be what |
|---|---|---|
| Single male, planning own sperm + surrogacy | Law recognizes "single principal" for surrogacy agreements; applicable to foreigners | Does the birth registration just say I am the father/mother? What notarization/certification is required and when is the DNA done? |
| Single woman, planning 3rd party sperm + surrogacy | Japanese end limited; Yoshikuni can move forward with compliance under contract + medical indication | Sperm supply and laboratory compliance, whether embryos are done first in Japan, cross-country transportation and reception standards at the hospital? |
| same-sex couple | Legalize the birth first by using one of them as a "single principal". | What is the strategy for signing birth certificates, the path to future parental rights for the other party with the required documents, and the timeline? |
Another "plus" for those who are not ready for surrogacy right away, but want to lock in the possibility of fertility first: Tokyo's egg freezing subsidy will be explicitly open to unmarried women (18-39 years old), regardless of their marital status, from 2024 onwards, and you can store your eggs in a high-standard laboratory in Japan first! --In the future, whether you want to have a natural birth in Japan or go through the "Nikkoshi Joint Program", you will be more comfortable.
V. Legal, medical and intermediary pitfalls that must be understood prior to transnational surrogacy
Let's put the conclusion up front: cross-border reproduction = triple collaboration of medicine + law + logistics. Any mistake in any part of the process will affect the entire process and cost. Below I will show you the "pits" one by one, and give you "avoidance actions that can be realized".
(1) How to avoid transnational medical disputes and parental rights disputes?
- Don't touch the red line of surrogacy in Japan.
There is no specific legislation on surrogacy in Japan, but the Japan Society of Obstetricians and Gynecologists (JSOG) has long prohibited its members from engaging in surrogacy; more critically, a 2007 Supreme Court decision clarified that "the person who delivers the child is the legal mother," and Japan's family registry doesn't recognize out-of-country surrogacy as a direct source of legal parental authority. --This means that any attempts at surrogacy in Japan will be caught in a judicial dilemma of paternity determination. - In Kyrgyzstan, a "legalized" process.
Yoshikuni is a country where surrogacy is expressly permitted (also for foreigners), and the actual procedure is based on a notarized surrogacy contract and medical indications, from which the birth is registered and subsequent documents are issued. This is not a "loophole" approach, but rather an approach within the framework of statutory law. - The chain of documents should be "Hagueized".
Cross-border instruments are now commonly usedHague Convention on Accreditation (Apostille): The Convention entered into force for China on November 7, 2023; Kyrgyzstan has long been a State party. When both countries are parties, birth certificates, notary certificates, etc., can be used directly after adding Apostille, without the need for multiple rounds of consular authentication. - A key step on the Chinese end: the travel permit.
The Chinese Embassy in Kyrgyzstan has written very clearly about the material requirements for travel permits/passports: in addition to parental documents, you must submit a birth certificate or a document that proves paternity (in individual cases, DNA authentication, etc., may be required). This point determines that your birth certificate + notarization / Apostille on the Kyrgyz side must be complete and standardized. - Transnational parental authority is inherently at "gray-belt risk".
The Hague Conference from 2023Working group on "Parenthood/surrogacy"It is precisely because of the lack of uniform rules for the recognition of parental rights in cross-border surrogacy. You have only one response: weld the chain with contracts and evidence (surrogacy agreement, medical records, DNA, birth registration, notarization/Apostille package) and hire a local lawyer to put the place of dispute resolution and applicable law in the contract. - Embryo transportation also involves compliance and payouts.
When choosing a professional reproductive cold chain, it is important to include in your contract temperature control records (temperature profiles), Chain of Custody, insurance coverage for delays/damage and the claims process. This is your only buffer against the risk of "lost embryos/failed resuscitation". - Surrogate motherhood safety and the risk of multiple births: medical decisions ≠ business options.
International guidelines are very clear: "Single embryo transfer" is strongly recommended during a surrogacy (GC) cycle in order to minimize the risk of multiple pregnancies for both mother and baby. By including this in your informed consent with the agency/doctor, you are protecting the surrogate mother, the child, and yourself.
Recommended Reading:2025 pick up the baby to return to the country documents for the whole process guide

Legal Risk-Action Comparison Table
| risk point | Immediate action | You need to get the paper. |
|---|---|---|
| Japanese parental authority does not recognize surrogacy | Not initiating any surrogacy in Japan | -(IVF/embryo on day only) |
| Geographical differences in the Yoshikuni process | Review of contract terms and registration requirements by a local attorney | Surrogacy contract (notarized version), list of maternity homes/registration offices |
| Mutual recognition of cross-border instruments | Apostille link for all instruments | Birth Certificate + Notarized Certificate + Apostille Return/No. |
| repatriation document | Check the list of materials of the Embassy in Kyrgyzstan in advance | Notice of Travel Permit Application, Notice of Supplementary Documents |
| Embryo transportation accidents | Cold chain contracts specify insurance/temperature control/tracking | Transportation policies, temperature profiles, handover sheets |
| Multiple births/complications | Clarifying single embryo transfer and complication cost attribution | Informed consent, cost-bearing provisions |
(2) Selection of organizations: identification of specialized medical services to Japan and Kyrgyz surrogacy organizations
A word of caution about hollowing out:Truly reliable organizations have places where they "leave their mark" - registration licenses, hospital requirements, industry associations. Scammers are most afraid of you asking for "details and paperwork".
A. How can Japanese hospitals be recognized as reliable?
- See the official directory:The Ministry of Foreign Affairs of Japan has made public the list of registered sponsoring organizations (including medical coordination companies/travel agencies) for "medical stay visas", and many major hospitals require international patients to go through a registered coordinating organization.
- Look at trade associations:In Japan, there is the Japan International Medical Coordination Organization Association (JIMCA), which aims to improve the quality and safety of foreign services. Being able to find a record and contact information in such an association is a basic first endorsement.
- See the hospital requirements:Many hospitals' international patient guidelines will explicitly ask to go through a designated coordinating organization, and will specify details such as visa type, advance payment, and interpreter arrangements - all "hard information" that only a real organization would put on its website.

B. How is due diligence done on the Kyrgyz end (surrogacy)?
- Legal Base:first confirmsurrogacy agencyWhether it is a team of lawyers/notaries who work together year-round and whether they routinely go Apostille.
- Medical Network:Go to the list of available hospitals for obstetrics & NICU (write it in the contract attachment) and label the high-risk transfer process.
- Transparency of costs:Number of transplants, compensation for twin/c-section, who pays for preterm NICU, whether restart fee after miscarriage is reduced or not - line by line into the contract.
- Compliance Boundaries:Resolutely avoid the "multinational, seemingly clever" route (country A agency, country B clinic, country C delivery). The longer the chain, the more uncontrollable the risk.
C. 10 signals to recognize a "red light agency" at a glance
- Refusal to provide a sample contract or giving only "brochures";
- Hanging on to the success of the package without writing a time/cost plan for when it fails;
- Nice offer, but lawyers, notaries, translators, Apostille all "extra";
- Encouragement of double/polyembryo transfer is contrary to international guideline endorsement;
- Let you make a large one-time payment and refuse third-party escrow;
- Avoidance of "temperature control records/insurance coverage" for embryo transportation;
- The "we have connections" selling point persuades you to ignore Apostille/not go through the notary;
- The official website/social media does not have a fixed address or corporate information;
- The contract states that the place of dispute resolution is in a country that you are not familiar with and is not related to the project site;
- agitate for"Wherever it's cheap."of the transnational portfolio.
D. "Organizational Comparison Sheet" I gave you (print out and bring with you)
| dimension (math.) | Coordination of medical treatment in Japan | Yoshikuni Surrogacy Agency | Your verification action |
|---|---|---|---|
| identity endorsement | Registered sponsoring organization of the Ministry of Foreign Affairs and whether or not it is a member of JIMCA. | Local attorney/notary long term, is Apostille by default | Check the directory on the official website; ask for a copy of the attorney's license/notary's letterhead. |
| medical network | Hospital acceptance letter, visit plan | List of Reproductive Centers/Maternity Homes, NICU Availability | Ask for an intake/referral letter on the hospital's letterhead with a checklist. |
| terms of contract | Clear pricing and refunds | Parental rights pathway, number of transplants, complication costs, place of dispute resolution | Allow the lawyer to itemize and not make verbal promises. |
| risk control | Transparent translation/deposit/visa path | Staging + escrow, insurance, complication planning | Adhere to third-party escrow with milestone lending. |
One last word of caution: the words "low price, fast, and everything is included" cannot all be true at the same time. In cross-border reproduction, information transparency and paper evidence is the real "insurance". As long as you have in your hands a verifiable list, traceable contracts, mutually recognizable documents, and a timeline with no shortcuts, the risk will drop from the "ceiling" to the "floor".
VI. Frequently Asked Questions (FAQ):
Let's get the "heart" out of the way first: those who have actually made it this far often have two things fighting in their heads - will they have a healthy child as they had hoped? And how reliable is it, legally and practically? In the following Q&A, I'm going to talk about the bottom line of medicine and the law while giving you an actionable checklist, minus the platitudes.
1. What is the approximate total success rate of the entire process?
Don't let "a number" fool you. The success rate of a cross-border project = multiplication of multiple probabilities:
(1) Egg retrieval in Japan → formation of blastocysts; (2) PGT screening to aneuploid embryos; (3) cryopreservation/transportation/resuscitation; and (4) transfer of single embryos to surrogate mothers → clinical pregnancy → live birth.
"Reference intervals" for key components
| annular ring | Key indicators (recent studies/registrations) | What do you read into it? |
|---|---|---|
| General Background of IVF in Japan | JSOG registration 2022: Japan tops the world in ART activity (data volume and monoembryonic trend evident) | Scale and standardization facilitate single embryo strategies with PGT. |
| embryonic aneuploidy rate(strongly correlated with age) | Large sample study: about ~55% aneuploidy in D5 embryos at ≤35 years of age; rapid decline after >35 years of age | The older you are, the tighter your chances of "screening to a usable embryo". |
| Outcome of transfer of a single aneuploid embryo | Multiple studies: single freeze-thawed single embryo transfer with common live birth ratesApprox. 50-60%corridor | Having 1 integer = about a 50/50 chance of winning with "one transplant". |
| Cryopreservation/resuscitation | Modern vitrification techniques are common>85-95%Survival, up to higher | Minimize losses with regulated vitrification and rewarming. |
Two examples of "link estimation" (decision-awareness only, no guarantees)
| sight | (a person's) age | Expecting "usable aneuploid blastocysts". | Chance of live birth in a single transplant | Cumulative live births within 2 (approximate) |
|---|---|---|---|---|
| A: Well-founded | ≤35 years old | There is ≥1 (whole-ploidy rate ~55%) | 50-60% | ~75-84% (1-(1-p)^2) |
| B: Border age | 39-41 years | With ≥1 (significant decrease in the rate of aneuploidy) | 50-60% | Ditto, but it's harder to get the first whole haploid itself. |
Explain the table above:It's not the "single aneuploid transplant" win rate that really separates the two, it's theCan you get enough of the whole-ploid embryos.This step is strongly dependent on age and laboratory strength - which is exactly where the value of "doing PGT screening in Japan first" lies. >After the age of 35, the proportion of aneuploidy decreases steeply, and the probability of "no aneuploidy in the current cycle" at the age of 42-44 can be as high as 30-50%, which is why many people will choose to collect more eggs and combine a batch of screened embryos.
Three things that put wins in your hands
- Toward a monoembryonic strategy (reducing risk of multiple births and improving maternal-fetal safety) versus natural cycle/endothelial management with light stimulation.
- Choose a well-documented embryo transporter with a rigorous cold chain (ask for temperature control curves and insurance terms).
- Leave the "last mile" from rewarming to implantation to a team that has been doing surrogate cycles for a long time (more familiar process, fewer variables).
2. What are the local living and medical conditions in Kyrgyzstan?
Bottom line: cost of living friendly, private healthcare resources are concentrated in Bishkek, but the overall level of care falls short of high-income countries - target hospitals in advance for maternity and newborn care, and match insurance and reserves.
Cost of living (Bishkek, median level 2025)
- Monthly living expenses for a single person (excluding rent):≈ $490 (average with meals, transportation, etc.)
- Downtown one bedroom rentals:commonly seen $300-600 (Neighborhoods, housing conditions vary widely)
- Taxi/Internet Rental:Cheap, good coverage, easy daily commute
This kind of crowdsourcing data is only for budgetary reference, the price on the ground may fluctuate, but the judgment of "overall not expensive" is stable.
Medical & Mother & Child
- Systemic gaps:The UK FCDO and various guides have warned that the overall healthcare facilities and availability of medicines in J&K are not as good as in high-income countries, and that non-emergency treatments should be avoided as much as possible. This is not to "scare you", but to make arrangements for labor and delivery and neonatal care in better resourced hospitals.
- Available institutions are centralized:Neonatal Intensive Care Unit (NICU) and maternal and child resources are primarily located in Bishkek, such as the National Center for Maternal, Infant and Child Health. The U.S. Embassy in Kyrgyzstan also maintains a list of medical resources that can be used as a starting point for checking.
- Group health indicators:Maternal mortality rates, although declining over time, are still higher than in high-income countries - again illustrating the importance of "hospital choice + insurance and reserve funds".
Inventory of in situ operations
- :: Include the "Maternity Hospital and NICU Transfer Program" as an annex to the contract (with a list of hospitals, emergency telephone numbers, and transfer vehicle contacts).
- Purchase international insurance that covers pregnancy/newborns and ask "whether the cost of the post-natal NICU will be covered on the side of the surrogate mother or the delegate", and include this in the terms and conditions.
- After arriving in Bishkek, I personally visited the hospital (path, waiting area, NICU visitation rules) and put the reserve and interpreter contacts in my cell phone's "favorites".
Conclusion:
This route isn't the cheapest or the most hassle-free, but atFacts and Rules for 2025Underneath, it isVerifiable, executable, and reviewableOne way to go. Japan polishes the quality of embryos; Kyrgyzstan legalizes "pregnancy and birth"; Chinese embassies and consulates complete the "homecoming" step. May you hold on to the certainty.Step by step, the "desired life" is born.The
My wife is 42 years old, her health is not very good, and she has done one IVF in China and failed. She also wants to know about Japanese IVF technology, how can I communicate with her?
Hello, look at the article below the WeChat QR code, add a good, specific details can be communicated in detail.
Can you do IVF in Japan, my partner is 32 years old, the doctor said the body to carry a baby or no problem, not to the point of surrogacy
You can just do IVF, the technology there may be more friendly to the woman's body, and the price is around $150,000, which is slightly more expensive than in China.