The Trump administration’s “maximum pressure” campaign, reimposed in early 2025 and reinforced by new designations through May 2026, continues to target Iranian oil networks, shadow fleets, and financial facilitators. Temporary, narrowly tailored general licenses issued in March 2026 allowed limited sales of Iranian crude already at sea to stabilize global energy prices amid prior military operations, but these measures expired in April and did not signal broader relief. Treasury officials have stated any easing would be gradual and conditional, while congressional proposals seek added oversight on waivers. With the market resolution window closing June 30, 2026, trader consensus assigns low probability to substantial OFAC sanctions lifting by that date absent a major diplomatic breakthrough.
Resumen experimental generado por IA con datos de Polymarket. Esto no es asesoramiento de trading y no influye en cómo se resuelve este mercado. · Actualizado$11,199 Vol.
June 30
24%
$11,199 Vol.
June 30
24%
Sanctions could include measures like blocking sanctions, financial restrictions, trade restrictions, travel bans, restrictions on specific Iranian individuals or entities, sectoral sanctions, or any other Iran-related measures administered or enforced by OFAC that are commonly recognized as direct sanctions.
For purposes of this market, qualifying sanctions relief must materially suspend, waive, lift, or ease direct OFAC sanctions on Iran, the Government of Iran, Iranian persons or entities, Iranian sectors, or Iran-related transactions. Partial sanctions relief will qualify, including relief limited to a specific Iranian sector, Iranian state entity, Iranian financial institution, or category of Iran-related transactions. A new or expanded OFAC general license, waiver, regulation, or other official action will qualify if it materially authorizes activity that was previously prohibited under direct Iran-related OFAC sanctions.
Sanctions relief for a non-Iranian third party will not qualify, regardless of whether that party was sanctioned for Iran-related activity.
The passage of an official act/executive order or issuance of an official regulation, license, waiver, or other official action lifting or materially easing OFAC sanctions on Iran within this market's timeframe will count toward a "Yes" resolution, even if the lifting or easing of those sanctions does not come into effect until after this market's resolution date.
The primary resolution source will be official information from the government of the United States, including the U.S. Department of the Treasury and OFAC, however a consensus of credible reporting may be used.
Mercado abierto: May 19, 2026, 1:12 PM ET
Resolver
0x65070BE91...Sanctions could include measures like blocking sanctions, financial restrictions, trade restrictions, travel bans, restrictions on specific Iranian individuals or entities, sectoral sanctions, or any other Iran-related measures administered or enforced by OFAC that are commonly recognized as direct sanctions.
For purposes of this market, qualifying sanctions relief must materially suspend, waive, lift, or ease direct OFAC sanctions on Iran, the Government of Iran, Iranian persons or entities, Iranian sectors, or Iran-related transactions. Partial sanctions relief will qualify, including relief limited to a specific Iranian sector, Iranian state entity, Iranian financial institution, or category of Iran-related transactions. A new or expanded OFAC general license, waiver, regulation, or other official action will qualify if it materially authorizes activity that was previously prohibited under direct Iran-related OFAC sanctions.
Sanctions relief for a non-Iranian third party will not qualify, regardless of whether that party was sanctioned for Iran-related activity.
The passage of an official act/executive order or issuance of an official regulation, license, waiver, or other official action lifting or materially easing OFAC sanctions on Iran within this market's timeframe will count toward a "Yes" resolution, even if the lifting or easing of those sanctions does not come into effect until after this market's resolution date.
The primary resolution source will be official information from the government of the United States, including the U.S. Department of the Treasury and OFAC, however a consensus of credible reporting may be used.
Resolver
0x65070BE91...The Trump administration’s “maximum pressure” campaign, reimposed in early 2025 and reinforced by new designations through May 2026, continues to target Iranian oil networks, shadow fleets, and financial facilitators. Temporary, narrowly tailored general licenses issued in March 2026 allowed limited sales of Iranian crude already at sea to stabilize global energy prices amid prior military operations, but these measures expired in April and did not signal broader relief. Treasury officials have stated any easing would be gradual and conditional, while congressional proposals seek added oversight on waivers. With the market resolution window closing June 30, 2026, trader consensus assigns low probability to substantial OFAC sanctions lifting by that date absent a major diplomatic breakthrough.
Resumen experimental generado por IA con datos de Polymarket. Esto no es asesoramiento de trading y no influye en cómo se resuelve este mercado. · Actualizado
Cuidado con los enlaces externos.
Cuidado con los enlaces externos.
Preguntas frecuentes