2026 Membership Book FINAL

Case 3:25-cv-06162-JSC Document 35 Filed 09/04/25 Page 33 of 34

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The Tribes further respectfully request that Court enjoin Kalshi from marketing its sports

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contracts as “legal in all 50 states” or any variation of that phrase or similar representation

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regarding the nationwide legality of these gaming contracts.

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IV.

CONCLUSION

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For all the foregoing reasons, this Motion and the declarations and points and authorities

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in support thereof have established that injunctive relief is appropriate to prevent further harm to

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the Tribes, tribal sovereignty, and consumers of Kalshi’s gaming contracts, and that such relief

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comports with the public interest with minimal harm to Kalshi.

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DATED: September 4, 2025

Respectfully Submitted,

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RAPPORT AND MARSTON

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/s/ Lester J. Marston L ESTER J. M ARSTON , Attorney for Plaintiffs

By:

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24 NOTICE OF MOTION AND MEMORANDUM OF POINTS AND AUTHORITIES [ Case No.: 25-cv-06162-JSC]

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