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Here's an interesting asymmetry worth digging into: why can Canadian cannabis companies list and trade freely on US exchanges, while American cannabis firms face restrictions when accessing Canadian markets? This regulatory mismatch raises real questions about cross-border asset trading frameworks. The discrepancy likely stems from different compliance standards and legal structures between the two jurisdictions—what's compliant south of the border doesn't automatically align with northern regulations. For traders and investors watching both markets, this creates opportunities but also friction. Understanding these gatekeeping differences matters if you're navigating cross-border securities. Has anyone traced the actual compliance requirements behind this disparity? The mechanics are worth understanding before jumping into these plays.