
Quas
3K posts

Quas
@TalkingTensor
Subnet hodler. $TAO hodler. Permanently bullish on Bittensor. Still a human account , Class of 2017 🇨🇦 All posts and opinions are NFA & DYOR. 1/137



$TAO $SN62 - Managed to exit my position in profit and it seems I did good to do so. Pretty sad to watch such a project breaking support after support. The @ridges_ai soldier needs to be saved.


Real estate intelligence starts with property pricing you can trust. RESI is making it faster, more transparent, and easier to validate by 100x. We've achieved 98% accuracy with only $240K emissions. Catch @Sebyverse shed light on building RESI in public👇

Highlights from my @CFTC comment: Main thesis: Properly designed and regulated prediction markets serve the public interest through two primary mechanisms: 1. hedging, by enabling participants to hedge otherwise unhedgeable risks associated with one-off or non-standard events, and 2. information aggregation, by aggregating diffuse, private, and specialized information into a publicly available price signal. Five principles should guide the Commission's rulemaking: 1. The statutory framework requires a contract-specific, two-step analysis. The default for any given event contract is that it is not contrary to the public interest. Categorical prohibitions of entire classes of event contracts, without individualized public interest analysi, exceed the Commission's statutory authority. 2. Event contracts serve the public interest when they address risks and information about events that exist externally and independently of the markets themselves. The vast majority of markets currently offered, including sports, politics, current events, satisfy this condition. 3. Market structure, not contract subject matter, determines susceptibility to manipulation. Price manipulation is self-correcting in liquid markets; outcome integrity is the responsibility of the institutions that govern the underlying event, not the market operator or the Commission. 4. The Commission should distinguish information advantage from outcome control. Trading on superior information is the mechanism by which markets aggregate information. Without explicit and concrete evidence of a violation, the Commission must protect participants' right to confidentiality and anonymity. Neither the CFTC nor operators should be empowered to require individual participants to divulge confidential or proprietary information or trade secrets without substantial evidence to justify. 5. The CFTC's guiding mantra should be Serve and Protect: operators serve the public by offering the best product they can today and an even better product tomorrow; regulators protect the integrity of markets by fostering competition and innovation. But neither the Commission nor its operators should be compelled to protect participants from every adverse outcome that could occur in a prediction market. Trading on prediction markets, as on any financial market, is inherently adversarial and risky. The guiding principle for market participants is: protect yourself at all times. Participants should be made aware of and acknowledge these risks before trading. The stakes: the Commission's rulemaking will determine whether prediction markets mature into a transparent, federally regulated source of hedging and price discovery, or migrate offshore and to state-regulated sportsbook products where the Commission lacks surveillance authority and customers are stripped of fair-access protections. Full comment linked below.

I just re-ran the $TAO math and my jaw dropped


Underwriting has been a broken process for as long as property loans have existed. That ends now. RESI has been accepted to the @Plaid partner program, bringing KYC and income verification directly into the platform. The full-stack real estate hub is loading...

Vidaio x Pip Studios — Joint Venture We are beyond excited to announce this joint venture! This is bigger than a partnership. It’s a gateway to the global media ecosystem. Through this joint venture, VidaioOS is now positioned directly within Pip Studios’ network spanning major studios, platforms, and content owners, including Netflix, Amazon, Sony, Universal, Paramount, and more. This means: → Direct access to enterprise workflows → Real-world video workloads entering the network → Faster adoption at scale Pip Studios is part of the TPN (Trusted Partner Network), the industry standard for secure content handling. That places VidaioOS inside trusted pipelines used by the world’s biggest players. This isn’t about selling individual tools, its about embedding an AI-native video infrastructure layer across an existing global client base. Think of this as a gateway to 50+ major partnerships. We’re not just building the future of video infrastructure; we’re now connected to where it already operates.

Treasury Wallets are finally here. With @opentensor's latest update, the final barriers are gone and we’ve deployed the first-ever Treasury Contract on mainnet. Wallet: 5GvJQCF5nmnp9y8E6pGKaXqner8LPq7NjDJAgZbPrGaETnun This is a huge step for both Enigma and the #Bittensor ecosystem in building truly permissionless infrastructure. While we work with validators to test our subnet code, we’re dropping a live challenge with ~$5k on the line. Breaking Treasury Wallets Treasury Wallets enable zero-trust, winner-take-all incentive mechanisms—emission can safely be pooled in a single wallet, since it can only be removed when validator consensus is reached. This completely removes the ability for owners to run off with pooled miner emission. These wallets are powerful… but largely untested. Which makes them vulnerable. That’s where Enigma comes in -- a subnet designed to solve exactly this kind of problem. Your Challenge Break the Treasury Wallet. By any means necessary. If you can find a way to access it, the 2500 #SN63 alphas (~$5k) in the wallet are yours. You can find the full challenge details here: qbittensorlabs.com/enigma/challen…










