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体育预测市场是否会在3月31日之前在美国任何州被禁止?

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体育预测市场是否会在3月31日之前在美国任何州被禁止?

>99% 概率
Polymarket

$29,879 交易量

>99% 概率
Polymarket

$29,879 交易量

This market will resolve to "Yes" if, by March 31, 2026, 11:59 PM ET, sports event contracts listed by a CFTC-regulated Designated Contract Market (DCM), whether accessed directly or through a Futures Commission Merchant (FCM), are legally prohibited or blocked for users in at least one U.S. state or nationwide. Otherwise, this market will resolve to "No." A qualifying ban must have gone into effect during the market window and may occur through any of the following: CFTC Action: A final order, rule, or directive under Regulation 40.11 or other CFTC authority that results in the removal or suspension of sports event contracts, either nationally or within one or more states. Court Order or Judgment: A temporary restraining order, preliminary injunction, permanent injunction, or final judgment issued by a U.S. federal or state court that has the effect of suspending or terminating user access to sports event contracts in one or more states or nationwide. This includes situations where a court denies an exchange’s claim of federal preemption and thereby allows a state to enforce its gambling laws against sports event contracts while adjudication is pending, leading to blocked access in that state. State Enforcement Upheld by Courts: If a state action (such as a cease-and-desist order or regulatory enforcement) is challenged on preemption grounds and the court declines to enjoin the state, resulting in blocked access to sports event contracts in that state, this will qualify. To resolve “Yes,” the block or ban must actually take effect (users lose access or ability to trade/maintain positions). Mere announcements, proposed rules, or pending litigation without effect do not qualify. Voluntary pauses or withdrawals by a DCM or FCM, absent legal compulsion, do not qualify. If a qualifying block takes effect and is implemented, the market will still resolve “Yes” regardless of whether it is later stayed, reversed, or vacated. Actions ordered before the deadline but which take effect only after, will not qualify. The resolution source will be a consensus of credible reporting.

This market will resolve to "Yes" if, by March 31, 2026, 11:59 PM ET, sports event contracts listed by a CFTC-regulated Designated Contract Market (DCM), whether accessed directly or through a Futures Commission Merchant (FCM), are legally prohibited or blocked for users in at least one U.S. state or nationwide. Otherwise, this market will resolve to "No."

A qualifying ban must have gone into effect during the market window and may occur through any of the following:

CFTC Action: A final order, rule, or directive under Regulation 40.11 or other CFTC authority that results in the removal or suspension of sports event contracts, either nationally or within one or more states.

Court Order or Judgment: A temporary restraining order, preliminary injunction, permanent injunction, or final judgment issued by a U.S. federal or state court that has the effect of suspending or terminating user access to sports event contracts in one or more states or nationwide. This includes situations where a court denies an exchange’s claim of federal preemption and thereby allows a state to enforce its gambling laws against sports event contracts while adjudication is pending, leading to blocked access in that state.

State Enforcement Upheld by Courts: If a state action (such as a cease-and-desist order or regulatory enforcement) is challenged on preemption grounds and the court declines to enjoin the state, resulting in blocked access to sports event contracts in that state, this will qualify.

To resolve “Yes,” the block or ban must actually take effect (users lose access or ability to trade/maintain positions). Mere announcements, proposed rules, or pending litigation without effect do not qualify.

Voluntary pauses or withdrawals by a DCM or FCM, absent legal compulsion, do not qualify.

If a qualifying block takes effect and is implemented, the market will still resolve “Yes” regardless of whether it is later stayed, reversed, or vacated.

Actions ordered before the deadline but which take effect only after, will not qualify.

The resolution source will be a consensus of credible reporting.
交易量
$29,879
结束日期
2026-03-31
市场开放时间
Jan 6, 2026, 4:45 PM ET
This market will resolve to "Yes" if, by March 31, 2026, 11:59 PM ET, sports event contracts listed by a CFTC-regulated Designated Contract Market (DCM), whether accessed directly or through a Futures Commission Merchant (FCM), are legally prohibited or blocked for users in at least one U.S. state or nationwide. Otherwise, this market will resolve to "No." A qualifying ban must have gone into effect during the market window and may occur through any of the following: CFTC Action: A final order, rule, or directive under Regulation 40.11 or other CFTC authority that results in the removal or suspension of sports event contracts, either nationally or within one or more states. Court Order or Judgment: A temporary restraining order, preliminary injunction, permanent injunction, or final judgment issued by a U.S. federal or state court that has the effect of suspending or terminating user access to sports event contracts in one or more states or nationwide. This includes situations where a court denies an exchange’s claim of federal preemption and thereby allows a state to enforce its gambling laws against sports event contracts while adjudication is pending, leading to blocked access in that state. State Enforcement Upheld by Courts: If a state action (such as a cease-and-desist order or regulatory enforcement) is challenged on preemption grounds and the court declines to enjoin the state, resulting in blocked access to sports event contracts in that state, this will qualify. To resolve “Yes,” the block or ban must actually take effect (users lose access or ability to trade/maintain positions). Mere announcements, proposed rules, or pending litigation without effect do not qualify. Voluntary pauses or withdrawals by a DCM or FCM, absent legal compulsion, do not qualify. If a qualifying block takes effect and is implemented, the market will still resolve “Yes” regardless of whether it is later stayed, reversed, or vacated. Actions ordered before the deadline but which take effect only after, will not qualify. The resolution source will be a consensus of credible reporting.

已提议结果: 是

无争议

最终结果: 是

This market will resolve to "Yes" if, by March 31, 2026, 11:59 PM ET, sports event contracts listed by a CFTC-regulated Designated Contract Market (DCM), whether accessed directly or through a Futures Commission Merchant (FCM), are legally prohibited or blocked for users in at least one U.S. state or nationwide. Otherwise, this market will resolve to "No." A qualifying ban must have gone into effect during the market window and may occur through any of the following: CFTC Action: A final order, rule, or directive under Regulation 40.11 or other CFTC authority that results in the removal or suspension of sports event contracts, either nationally or within one or more states. Court Order or Judgment: A temporary restraining order, preliminary injunction, permanent injunction, or final judgment issued by a U.S. federal or state court that has the effect of suspending or terminating user access to sports event contracts in one or more states or nationwide. This includes situations where a court denies an exchange’s claim of federal preemption and thereby allows a state to enforce its gambling laws against sports event contracts while adjudication is pending, leading to blocked access in that state. State Enforcement Upheld by Courts: If a state action (such as a cease-and-desist order or regulatory enforcement) is challenged on preemption grounds and the court declines to enjoin the state, resulting in blocked access to sports event contracts in that state, this will qualify. To resolve “Yes,” the block or ban must actually take effect (users lose access or ability to trade/maintain positions). Mere announcements, proposed rules, or pending litigation without effect do not qualify. Voluntary pauses or withdrawals by a DCM or FCM, absent legal compulsion, do not qualify. If a qualifying block takes effect and is implemented, the market will still resolve “Yes” regardless of whether it is later stayed, reversed, or vacated. Actions ordered before the deadline but which take effect only after, will not qualify. The resolution source will be a consensus of credible reporting.

This market will resolve to "Yes" if, by March 31, 2026, 11:59 PM ET, sports event contracts listed by a CFTC-regulated Designated Contract Market (DCM), whether accessed directly or through a Futures Commission Merchant (FCM), are legally prohibited or blocked for users in at least one U.S. state or nationwide. Otherwise, this market will resolve to "No."

A qualifying ban must have gone into effect during the market window and may occur through any of the following:

CFTC Action: A final order, rule, or directive under Regulation 40.11 or other CFTC authority that results in the removal or suspension of sports event contracts, either nationally or within one or more states.

Court Order or Judgment: A temporary restraining order, preliminary injunction, permanent injunction, or final judgment issued by a U.S. federal or state court that has the effect of suspending or terminating user access to sports event contracts in one or more states or nationwide. This includes situations where a court denies an exchange’s claim of federal preemption and thereby allows a state to enforce its gambling laws against sports event contracts while adjudication is pending, leading to blocked access in that state.

State Enforcement Upheld by Courts: If a state action (such as a cease-and-desist order or regulatory enforcement) is challenged on preemption grounds and the court declines to enjoin the state, resulting in blocked access to sports event contracts in that state, this will qualify.

To resolve “Yes,” the block or ban must actually take effect (users lose access or ability to trade/maintain positions). Mere announcements, proposed rules, or pending litigation without effect do not qualify.

Voluntary pauses or withdrawals by a DCM or FCM, absent legal compulsion, do not qualify.

If a qualifying block takes effect and is implemented, the market will still resolve “Yes” regardless of whether it is later stayed, reversed, or vacated.

Actions ordered before the deadline but which take effect only after, will not qualify.

The resolution source will be a consensus of credible reporting.
交易量
$29,879
结束日期
2026-03-31
市场开放时间
Jan 6, 2026, 4:45 PM ET
This market will resolve to "Yes" if, by March 31, 2026, 11:59 PM ET, sports event contracts listed by a CFTC-regulated Designated Contract Market (DCM), whether accessed directly or through a Futures Commission Merchant (FCM), are legally prohibited or blocked for users in at least one U.S. state or nationwide. Otherwise, this market will resolve to "No." A qualifying ban must have gone into effect during the market window and may occur through any of the following: CFTC Action: A final order, rule, or directive under Regulation 40.11 or other CFTC authority that results in the removal or suspension of sports event contracts, either nationally or within one or more states. Court Order or Judgment: A temporary restraining order, preliminary injunction, permanent injunction, or final judgment issued by a U.S. federal or state court that has the effect of suspending or terminating user access to sports event contracts in one or more states or nationwide. This includes situations where a court denies an exchange’s claim of federal preemption and thereby allows a state to enforce its gambling laws against sports event contracts while adjudication is pending, leading to blocked access in that state. State Enforcement Upheld by Courts: If a state action (such as a cease-and-desist order or regulatory enforcement) is challenged on preemption grounds and the court declines to enjoin the state, resulting in blocked access to sports event contracts in that state, this will qualify. To resolve “Yes,” the block or ban must actually take effect (users lose access or ability to trade/maintain positions). Mere announcements, proposed rules, or pending litigation without effect do not qualify. Voluntary pauses or withdrawals by a DCM or FCM, absent legal compulsion, do not qualify. If a qualifying block takes effect and is implemented, the market will still resolve “Yes” regardless of whether it is later stayed, reversed, or vacated. Actions ordered before the deadline but which take effect only after, will not qualify. The resolution source will be a consensus of credible reporting.

已提议结果: 是

无争议

最终结果: 是

警惕外部链接哦。

常见问题

"体育预测市场是否会在3月31日之前在美国任何州被禁止?"是 Polymarket 上一个拥有 2 个可能结果的预测市场,交易者根据自己的判断买卖份额。当前领先结果为"到3月31日,美国是否有任何一个州会禁止体育预测市场?",概率为 100%。价格反映社区的实时概率。例如,价格为 100¢ 的份额意味着市场集体认为该结果的概率为 100%。这些赔率会随着交易者的反应而不断变化。正确结果的份额在市场结算时可兑换为每份 $1。

截至目前,"体育预测市场是否会在3月31日之前在美国任何州被禁止?"已产生 $29.9K 的总交易量(自Jan 6, 2026市场上线以来)。这一活跃度反映了 Polymarket 社区的高度参与,并确保当前赔率由广泛的市场参与者共同形成。你可以直接在本页追踪实时价格变动并交易任何结果。

要在"体育预测市场是否会在3月31日之前在美国任何州被禁止?"上交易,浏览本页上列出的 2 个可用结果。每个结果显示一个代表市场隐含概率的当前价格。要建仓,选择你认为最可能的结果,选择"是"支持或"否"反对,输入金额并点击"交易"。如果你选择的结果在市场结算时正确,你的"是"份额每份支付 $1。如果不正确,支付 $0。你也可以在结算前随时卖出份额。

"体育预测市场是否会在3月31日之前在美国任何州被禁止?"的当前领先者是"到3月31日,美国是否有任何一个州会禁止体育预测市场?",概率为 100%,意味着市场对该结果的概率评估为 100%。这些赔率随着交易者买卖份额而实时更新。请经常回来查看或将本页加入书签。

"体育预测市场是否会在3月31日之前在美国任何州被禁止?"的结算规则明确定义了每个结果被宣布为获胜者所需满足的条件——包括用于确定结果的官方数据来源。你可以在本页评论上方的"规则"部分查看完整的结算标准。我们建议在交易前仔细阅读规则,因为它们规定了精确的条件、特殊情况和数据来源。