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Comment for Proposed Rule 89 FR 48968

  • From: Dave Zarbane
    Organization(s):

    Comment No: 74106
    Date: 8/6/2024

    Comment Text:

    Dear Commodity Futures Trading Commission,
    I am writing to express my concern regarding the proposed ban on election-related event contracts and to advocate for the importance of prediction markets in our democratic process.
    Prediction markets serve a vital role in aggregating information and providing valuable insights into public sentiment and likely electoral outcomes. These markets offer several key benefits:
    Enhanced forecasting: Prediction markets have often proven more accurate than traditional polling methods in forecasting election results.
    Risk management: They allow businesses and investors to hedge against political and policy risks that may impact their operations or portfolios.
    Increased transparency: The data generated by these markets can be a valuable tool for economists, journalists, and policymakers to gauge voter sentiment.
    Public engagement: Prediction markets can increase civic engagement by providing citizens with a tangible way to express their views on electoral outcomes.
    While I understand the concerns about potential manipulation or the appearance of "gambling" on elections, I believe these risks can be mitigated through proper regulation and oversight. Banning these markets outright would deprive us of a valuable source of information and a legitimate financial tool.
    Furthermore, pushing these markets offshore or underground may actually increase the risks of manipulation and fraud, as they would operate without the safeguards and transparency provided by CFTC oversight.
    I urge the CFTC to reconsider its position and work towards developing a regulatory framework that allows for the responsible operation of election-related prediction markets while addressing legitimate concerns about market integrity and public trust in the electoral process.

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