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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...?

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Jul 31, 2026
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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.
Khối lượng
$0
Ngày kết thúc
Dec 31, 2026
Thị trường mở
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.
Khối lượng
$0
Ngày kết thúc
Dec 31, 2026
Thị trường mở
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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"US lifts CAATSA sanctions on Turkey by...?" là thị trường dự đoán trên Polymarket với 3 kết quả có thể nơi các nhà giao dịch mua và bán cổ phần dựa trên điều họ tin sẽ xảy ra. Kết quả dẫn đầu hiện tại là "December 31" ở mức 53%, tiếp theo là "October 31" ở mức 47%. Giá phản ánh xác suất cộng đồng theo thời gian thực. Ví dụ, cổ phần ở giá 53¢ ngụ ý thị trường tập thể cho rằng có 53% khả năng cho kết quả đó. Tỷ lệ này thay đổi liên tục khi trader phản ứng với diễn biến và thông tin mới. Cổ phần đúng kết quả có thể đổi lấy $1 mỗi cổ phần khi thị trường được giải quyết.

"US lifts CAATSA sanctions on Turkey by...?" là thị trường mới được tạo trên Polymarket, mở vào Jul 11, 2026. Là thị trường sớm, đây là cơ hội để bạn trở thành một trong những trader đầu tiên đặt tỷ lệ và thiết lập tín hiệu giá ban đầu. Bạn cũng có thể đánh dấu trang này để theo dõi khối lượng và hoạt động giao dịch khi thị trường phát triển.

Để giao dịch trên "US lifts CAATSA sanctions on Turkey by...?," duyệt 3 kết quả có sẵn trên trang này. Mỗi kết quả hiển thị giá hiện tại đại diện cho xác suất ngụ ý của thị trường. Để mở vị thế, chọn kết quả bạn tin là có khả năng nhất, chọn "Có" để giao dịch ủng hộ hoặc "Không" để giao dịch chống, nhập số tiền và nhấn "Giao dịch." Nếu kết quả bạn chọn đúng khi thị trường giải quyết, cổ phần "Có" của bạn trả $1 mỗi cổ phần. Nếu sai, chúng trả $0. Bạn cũng có thể bán cổ phần bất cứ lúc nào trước khi giải quyết nếu muốn chốt lời hoặc cắt lỗ.

Ứng viên dẫn đầu hiện tại cho "US lifts CAATSA sanctions on Turkey by...?" là "December 31" ở mức 53%, nghĩa là thị trường cho 53% khả năng cho kết quả đó. Kết quả gần nhất tiếp theo là "October 31" ở mức 47%. Tỷ lệ cập nhật theo thời gian thực khi trader mua và bán cổ phần, phản ánh cái nhìn tập thể mới nhất về điều có khả năng xảy ra nhất. Kiểm tra thường xuyên hoặc đánh dấu trang này để theo dõi tỷ lệ thay đổi khi thông tin mới xuất hiện.

Quy tắc giải quyết cho "US lifts CAATSA sanctions on Turkey by...?" định nghĩa chính xác điều gì cần xảy ra để mỗi kết quả được tuyên bố thắng — bao gồm nguồn dữ liệu chính thức được sử dụng để xác định kết quả. Bạn có thể xem tiêu chí giải quyết đầy đủ trong phần "Quy tắc" trên trang này phía trên bình luận. Chúng tôi khuyên đọc kỹ quy tắc trước khi giao dịch, vì chúng chỉ rõ điều kiện, trường hợp ngoại lệ và nguồn chính xác quản lý cách thị trường được thanh toán.