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icon for US lifts CAATSA sanctions on Turkey by...?

US lifts CAATSA sanctions on Turkey by...?

icon for US lifts CAATSA sanctions on Turkey by...?

US lifts CAATSA sanctions on Turkey by...?

新規
2026/07/31
Polymarket

$0.00 Vol.

Polymarket

July 31

$0 Vol.

13%

October 31

$0 Vol.

47%

12月31日

$0 Vol.

71%

On December 14, 2020, the United States imposed CAATSA sanctions on Turkey’s Presidency of Defense Industries (SSB) in response to Turkey’s acquisition of the Russian S-400 air defense system (see: https://2017-2021.state.gov/the-united-states-sanctions-turkey-under-caatsa-231/). On July 7, 2026 U.S. President Donald Trump indicated his intent to lift ​sanctions off Turkey(see: https://www.reuters.com/world/middle-east/trump-says-will-lift-turkey-sanctions-decide-selling-f-35s-2026-07-07/) This market will resolve to “Yes” if the United States federal government issues a waiver, license, termination, revocation, or equivalent sanctions-relief mechanism lifting CAATSA sanctions on Turkey, Turkey’s Presidency of Defense Industries (SSB), or covered Turkish officials by the specified date, 11:59 PM ET. Otherwise this market will resolve to “No”. Actions which direct partial or full sanction relief will both qualify. However, qualifying actions must reverse, remove, waive, terminate, or suspend US penalties imposed on Turkey, SSB, or covered Turkish officials under CAATSA Section 231, in whole or in part. Qualifying actions need not be permanent; temporary suspensions of sanctions will qualify. Relief issued for either entity-level sanctions or individual sanctions will qualify. The full removal of any CAATSA sanction imposed on Turkey, SSB, or covered Turkish officials will also qualify. Actions affecting only separate legal restrictions, including restrictions on F-35 transfers to Turkey under the National Defense Authorization Act, will not qualify unless they also include a qualifying CAATSA sanctions-relief action. Mere statements of intent, negotiations, or announcements that sanctions may be lifted in the future will not qualify without issuance of a qualifying sanctions-relief action. Once a qualifying sanctions relief action has been taken, this market will resolve to “Yes,” regardless of any subsequent revocation. The primary resolution source for this market will be official information from the United States federal government.US President Donald Trump’s July 7, 2026, announcement during bilateral talks with Turkish President Recep Tayyip Erdoğan at the NATO summit in Ankara has sharply shifted expectations around CAATSA sanctions relief. Trump stated the administration would “take the sanctions off” over Turkey’s 2019 S-400 purchase, citing close coordination with Secretary of State Marco Rubio and other officials while framing Turkey as a key ally. Turkish officials responded positively, urging removal of all defense-industry restrictions and linking the move to renewed F-35 access. Earlier 2026 discussions had already explored workarounds ahead of US midterms, though congressional review and the ongoing S-400 presence remain procedural hurdles. Traders are pricing elevated near-term probability of executive action, tempered by implementation timelines and any legislative pushback.

On December 14, 2020, the United States imposed CAATSA sanctions on Turkey’s Presidency of Defense Industries (SSB) in response to Turkey’s acquisition of the Russian S-400 air defense system (see: https://2017-2021.state.gov/the-united-states-sanctions-turkey-under-caatsa-231/). On July 7, 2026 U.S. President Donald Trump indicated his intent to lift ​sanctions off Turkey(see: https://www.reuters.com/world/middle-east/trump-says-will-lift-turkey-sanctions-decide-selling-f-35s-2026-07-07/)

This market will resolve to “Yes” if the United States federal government issues a waiver, license, termination, revocation, or equivalent sanctions-relief mechanism lifting CAATSA sanctions on Turkey, Turkey’s Presidency of Defense Industries (SSB), or covered Turkish officials by the specified date, 11:59 PM ET. Otherwise this market will resolve to “No”.

Actions which direct partial or full sanction relief will both qualify. However, qualifying actions must reverse, remove, waive, terminate, or suspend US penalties imposed on Turkey, SSB, or covered Turkish officials under CAATSA Section 231, in whole or in part.

Qualifying actions need not be permanent; temporary suspensions of sanctions will qualify. Relief issued for either entity-level sanctions or individual sanctions will qualify. The full removal of any CAATSA sanction imposed on Turkey, SSB, or covered Turkish officials will also qualify.

Actions affecting only separate legal restrictions, including restrictions on F-35 transfers to Turkey under the National Defense Authorization Act, will not qualify unless they also include a qualifying CAATSA sanctions-relief action. Mere statements of intent, negotiations, or announcements that sanctions may be lifted in the future will not qualify without issuance of a qualifying sanctions-relief action.

Once a qualifying sanctions relief action has been taken, this market will resolve to “Yes,” regardless of any subsequent revocation.

The primary resolution source for this market will be official information from the United States federal government.
音量
$0
終了日
2026/12/31
マーケット開始日
Jul 11, 2026, 2:48 PM ET
On December 14, 2020, the United States imposed CAATSA sanctions on Turkey’s Presidency of Defense Industries (SSB) in response to Turkey’s acquisition of the Russian S-400 air defense system (see: https://2017-2021.state.gov/the-united-states-sanctions-turkey-under-caatsa-231/). On July 7, 2026 U.S. President Donald Trump indicated his intent to lift ​sanctions off Turkey(see: https://www.reuters.com/world/middle-east/trump-says-will-lift-turkey-sanctions-decide-selling-f-35s-2026-07-07/) This market will resolve to “Yes” if the United States federal government issues a waiver, license, termination, revocation, or equivalent sanctions-relief mechanism lifting CAATSA sanctions on Turkey, Turkey’s Presidency of Defense Industries (SSB), or covered Turkish officials by the specified date, 11:59 PM ET. Otherwise this market will resolve to “No”. Actions which direct partial or full sanction relief will both qualify. However, qualifying actions must reverse, remove, waive, terminate, or suspend US penalties imposed on Turkey, SSB, or covered Turkish officials under CAATSA Section 231, in whole or in part. Qualifying actions need not be permanent; temporary suspensions of sanctions will qualify. Relief issued for either entity-level sanctions or individual sanctions will qualify. The full removal of any CAATSA sanction imposed on Turkey, SSB, or covered Turkish officials will also qualify. Actions affecting only separate legal restrictions, including restrictions on F-35 transfers to Turkey under the National Defense Authorization Act, will not qualify unless they also include a qualifying CAATSA sanctions-relief action. Mere statements of intent, negotiations, or announcements that sanctions may be lifted in the future will not qualify without issuance of a qualifying sanctions-relief action. Once a qualifying sanctions relief action has been taken, this market will resolve to “Yes,” regardless of any subsequent revocation. The primary resolution source for this market will be official information from the United States federal government.
On December 14, 2020, the United States imposed CAATSA sanctions on Turkey’s Presidency of Defense Industries (SSB) in response to Turkey’s acquisition of the Russian S-400 air defense system (see: https://2017-2021.state.gov/the-united-states-sanctions-turkey-under-caatsa-231/). On July 7, 2026 U.S. President Donald Trump indicated his intent to lift ​sanctions off Turkey(see: https://www.reuters.com/world/middle-east/trump-says-will-lift-turkey-sanctions-decide-selling-f-35s-2026-07-07/) This market will resolve to “Yes” if the United States federal government issues a waiver, license, termination, revocation, or equivalent sanctions-relief mechanism lifting CAATSA sanctions on Turkey, Turkey’s Presidency of Defense Industries (SSB), or covered Turkish officials by the specified date, 11:59 PM ET. Otherwise this market will resolve to “No”. Actions which direct partial or full sanction relief will both qualify. However, qualifying actions must reverse, remove, waive, terminate, or suspend US penalties imposed on Turkey, SSB, or covered Turkish officials under CAATSA Section 231, in whole or in part. Qualifying actions need not be permanent; temporary suspensions of sanctions will qualify. Relief issued for either entity-level sanctions or individual sanctions will qualify. The full removal of any CAATSA sanction imposed on Turkey, SSB, or covered Turkish officials will also qualify. Actions affecting only separate legal restrictions, including restrictions on F-35 transfers to Turkey under the National Defense Authorization Act, will not qualify unless they also include a qualifying CAATSA sanctions-relief action. Mere statements of intent, negotiations, or announcements that sanctions may be lifted in the future will not qualify without issuance of a qualifying sanctions-relief action. Once a qualifying sanctions relief action has been taken, this market will resolve to “Yes,” regardless of any subsequent revocation. The primary resolution source for this market will be official information from the United States federal government.US President Donald Trump’s July 7, 2026, announcement during bilateral talks with Turkish President Recep Tayyip Erdoğan at the NATO summit in Ankara has sharply shifted expectations around CAATSA sanctions relief. Trump stated the administration would “take the sanctions off” over Turkey’s 2019 S-400 purchase, citing close coordination with Secretary of State Marco Rubio and other officials while framing Turkey as a key ally. Turkish officials responded positively, urging removal of all defense-industry restrictions and linking the move to renewed F-35 access. Earlier 2026 discussions had already explored workarounds ahead of US midterms, though congressional review and the ongoing S-400 presence remain procedural hurdles. Traders are pricing elevated near-term probability of executive action, tempered by implementation timelines and any legislative pushback.

On December 14, 2020, the United States imposed CAATSA sanctions on Turkey’s Presidency of Defense Industries (SSB) in response to Turkey’s acquisition of the Russian S-400 air defense system (see: https://2017-2021.state.gov/the-united-states-sanctions-turkey-under-caatsa-231/). On July 7, 2026 U.S. President Donald Trump indicated his intent to lift ​sanctions off Turkey(see: https://www.reuters.com/world/middle-east/trump-says-will-lift-turkey-sanctions-decide-selling-f-35s-2026-07-07/)

This market will resolve to “Yes” if the United States federal government issues a waiver, license, termination, revocation, or equivalent sanctions-relief mechanism lifting CAATSA sanctions on Turkey, Turkey’s Presidency of Defense Industries (SSB), or covered Turkish officials by the specified date, 11:59 PM ET. Otherwise this market will resolve to “No”.

Actions which direct partial or full sanction relief will both qualify. However, qualifying actions must reverse, remove, waive, terminate, or suspend US penalties imposed on Turkey, SSB, or covered Turkish officials under CAATSA Section 231, in whole or in part.

Qualifying actions need not be permanent; temporary suspensions of sanctions will qualify. Relief issued for either entity-level sanctions or individual sanctions will qualify. The full removal of any CAATSA sanction imposed on Turkey, SSB, or covered Turkish officials will also qualify.

Actions affecting only separate legal restrictions, including restrictions on F-35 transfers to Turkey under the National Defense Authorization Act, will not qualify unless they also include a qualifying CAATSA sanctions-relief action. Mere statements of intent, negotiations, or announcements that sanctions may be lifted in the future will not qualify without issuance of a qualifying sanctions-relief action.

Once a qualifying sanctions relief action has been taken, this market will resolve to “Yes,” regardless of any subsequent revocation.

The primary resolution source for this market will be official information from the United States federal government.
音量
$0
終了日
2026/12/31
マーケット開始日
Jul 11, 2026, 2:48 PM ET
On December 14, 2020, the United States imposed CAATSA sanctions on Turkey’s Presidency of Defense Industries (SSB) in response to Turkey’s acquisition of the Russian S-400 air defense system (see: https://2017-2021.state.gov/the-united-states-sanctions-turkey-under-caatsa-231/). On July 7, 2026 U.S. President Donald Trump indicated his intent to lift ​sanctions off Turkey(see: https://www.reuters.com/world/middle-east/trump-says-will-lift-turkey-sanctions-decide-selling-f-35s-2026-07-07/) This market will resolve to “Yes” if the United States federal government issues a waiver, license, termination, revocation, or equivalent sanctions-relief mechanism lifting CAATSA sanctions on Turkey, Turkey’s Presidency of Defense Industries (SSB), or covered Turkish officials by the specified date, 11:59 PM ET. Otherwise this market will resolve to “No”. Actions which direct partial or full sanction relief will both qualify. However, qualifying actions must reverse, remove, waive, terminate, or suspend US penalties imposed on Turkey, SSB, or covered Turkish officials under CAATSA Section 231, in whole or in part. Qualifying actions need not be permanent; temporary suspensions of sanctions will qualify. Relief issued for either entity-level sanctions or individual sanctions will qualify. The full removal of any CAATSA sanction imposed on Turkey, SSB, or covered Turkish officials will also qualify. Actions affecting only separate legal restrictions, including restrictions on F-35 transfers to Turkey under the National Defense Authorization Act, will not qualify unless they also include a qualifying CAATSA sanctions-relief action. Mere statements of intent, negotiations, or announcements that sanctions may be lifted in the future will not qualify without issuance of a qualifying sanctions-relief action. Once a qualifying sanctions relief action has been taken, this market will resolve to “Yes,” regardless of any subsequent revocation. The primary resolution source for this market will be official information from the United States federal government.

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よくある質問

「US lifts CAATSA sanctions on Turkey by...?」はPolymarket上の3個の結果が可能な予測市場で、トレーダーが何が起こるかに基づいてシェアを売買します。現在のリード結果は「12月31日」で71%、次いで「October 31」が47%です。価格はコミュニティのリアルタイム確率を反映しています。例えば、71¢で取引されているシェアは、市場がその結果に71%の確率を集合的に割り当てていることを意味します。これらのオッズは継続的に変化します。正しい結果のシェアは市場決済時に各$1で引き換え可能です。

「US lifts CAATSA sanctions on Turkey by...?」はPolymarket上で新しく作成された市場です(Jul 11, 2026開始)。早期の市場として、最初のトレーダーの一人としてオッズを設定し、市場の初期価格シグナルを確立するチャンスです。このページをブックマークして、取引量と活動を追跡することもできます。

「US lifts CAATSA sanctions on Turkey by...?」で取引するには、このページに記載されている3個の利用可能な結果を閲覧します。各結果には市場の暗示確率を表す現在の価格が表示されています。ポジションを取るには、最も可能性が高いと思う結果を選び、「はい」で支持するか「いいえ」で反対するかを選択し、金額を入力して「取引」をクリックします。選んだ結果が市場決済時に正しければ、「はい」のシェアは各$1を支払います。正しくなければ$0です。決済前にいつでもシェアを売却できます。

「US lifts CAATSA sanctions on Turkey by...?」の現在のフロントランナーは「12月31日」で71%であり、市場がこの結果に71%の確率を割り当てていることを意味します。次に近い結果は「October 31」で47%です。これらのオッズはトレーダーがシェアを売買するにつれてリアルタイムで更新されます。頻繁に確認するか、このページをブックマークしてください。

「US lifts CAATSA sanctions on Turkey by...?」の決済ルールは、各結果が勝者と宣言されるために何が起こる必要があるかを正確に定義しています。これには結果を決定するために使用される公式データソースも含まれます。このページのコメント上にある「ルール」セクションで完全な決済基準を確認できます。取引前にルールを注意深く読むことをお勧めします。