是
$29,879 交易量
$29,879 交易量
Mar 31, 2026
是
$29,879 交易量
$29,879 交易量
Mar 31, 2026
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.
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.
市场开放时间: Jan 6, 2026, 4:45 PM ET
交易量
$29,879结束日期
Mar 31, 2026市场开放时间
Jan 6, 2026, 4:45 PM ETResolver
0x65070BE91...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.
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
Mar 31, 2026市场开放时间
Jan 6, 2026, 4:45 PM ETResolver
0x65070BE91...已提议结果: 是
无争议
最终结果: 是

警惕外部链接哦。
警惕外部链接哦。
Frequently Asked Questions