What's public. What's not. What's about to change. Every P4 program's NIL and revenue-share disclosure landscape, updated as the market moves.
College football payroll disclosure is fragmenting across three vectors: private-collective Form 990 filings, the Deloitte-administered third-party NIL clearinghouse under the House v. NCAA settlement, and revenue-share payments made directly by athletic departments to athletes. Each vector has a different disclosure regime, a different set of gatekeepers, and a different trajectory over the next 12 to 24 months. This reference tracks all three. Aggregate collective spending sits partially in the public domain via Form 990 filings on ProPublica Nonprofit Explorer and IRS.gov. Individual athlete payments through the House clearinghouse sit inside NIL Go and are, so far, not publicly accessible at the deal level. Revenue-share direct payments from athletic departments are running head-on into the state-by-state open-records landscape — and a growing wave of state legislation shielding them from disclosure.
Payroll disclosure in college football does not run through a single channel. It runs through three, and each is on a different trajectory.
1. The private-collective vector. A 501(c)(3) NIL collective files an annual Form 990 with the IRS; the return is publicly available through ProPublica Nonprofit Explorer, IRS.gov, and third-party aggregators. Total revenue, program expenses, and (when separately reported) grants to individuals are visible on the return. Individual athlete-level payments are not itemized. LLC-structured collectives file no public financials at all. The result: aggregate 501(c)(3) collective spending is partially public with an 18-month reporting lag; individual athlete payments and all LLC-collective payments are private. The IRS Chief Counsel memorandum released in 2023 raised the risk that "pay-for-play" 501(c)(3) collectives may not qualify as tax-exempt, which has pushed a portion of the market to LLC structure, wound-down status, or university-branded successor entities such as Yea Alabama and Aggie NIL. The 990 dataset is therefore both incomplete and shrinking.
2. The House clearinghouse vector. Under the House v. NCAA settlement effective July 1, 2025, the Deloitte-administered NIL Go clearinghouse reviews every third-party NIL deal above $600 against a twelve-factor fair-market-value framework. The College Sports Commission is the settlement enforcement body; NIL Go is the review and reporting platform. As of the settlement's first year of operation, roughly 21,000 deals worth approximately $166.5M had been submitted for review (reported). Data flows through the clearinghouse at individual-athlete, individual-deal granularity. Public accessibility of that dataset is being litigated and negotiated. The 12 to 24 month window for resolution is the practitioner watch.
3. The revenue-share direct-payment vector. The approximately $20.5M per school per year revenue-share cap (year one, escalating roughly four percent annually) is paid directly by the athletic department to the athlete. Because the school is the payer, these payments flow through athletic-department accounts payable and, at public universities, potentially into the reach of state open-records law. State-by-state variance is significant. Since mid-2025, at least six states (North Carolina, South Carolina, Wisconsin, Louisiana, Colorado, Utah) have advanced or enacted statutes explicitly shielding revenue-share contracts from public disclosure, joining a prior cluster (Texas, Kentucky, Nebraska, Missouri, Connecticut) that had already exempted NIL agreements. This is a fundamentally new disclosure vector that did not exist under the pre-House collective structure.
Aggregate collective financials for the primary football-attributable NIL vehicle at each P4 program, ordered by conference. Where a collective is a 501(c)(3), we pull the most recent filed Form 990 revenue and expense from ProPublica Nonprofit Explorer or IRS.gov. Where the vehicle is LLC-structured, wound-down, or restructured into a university-branded successor entity, we mark the row accordingly. Multiple programs operate more than one collective; we list the primary football-attributable entity.
| Program | Primary Collective | Structure | FY | Revenue ($M) | Program Expenses ($M) | Source |
|---|---|---|---|---|---|---|
| Alabama | Yea Alabama (successor to Crimson Standard / High Tide Traditions) | 501(c)(3) | FY 2024 | ~$0.1M reported baseline entity; program-level football NIL routed through affiliated giving channels | Not separately broken out | ProPublica |
| Arkansas | Arkansas Edge | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Auburn | On To Victory | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Florida | Florida Victorious | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Georgia | Classic City Collective (wound down 2024); successor: Glory Glory third-party program | Wound Down | FY 2023 | ~$0.085M final reported year; football NIL now runs primarily through Glory Glory third-party channel | Not separately broken out post wind-down | ProPublica |
| Kentucky | Kentucky Wildcats Alliance | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| LSU | Bayou Traditions (paired with Tiger Athletic Foundation) | 501(c)(3) | FY 2024-25 | ~$8M reported football program budget; matching-campaign raise ~$3.2M reported late 2024 | Reported est. as of publication | On3 |
| Mississippi State | The Bulldog Initiative | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Missouri | Every True Son / Mizzou Made | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Oklahoma | Crimson & Cream Collective (with 1Oklahoma Foundation) | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Ole Miss | The Grove Collective | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| South Carolina | Garnet Trust / 2001 NIL Club | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Tennessee | Spyre Sports Group / Volunteer Club | LLC | Not filed | Not filed — LLC structure. Reported ~$13.5M procured deals cumulative through early 2024 | Not filed | On3 |
| Texas | Texas One Fund | 501(c)(3) | FY 2023 (most recent filed) | Reported near-doubled YoY per Sportico coverage of 2023 filing | Reported est. as of publication | ProPublica |
| Texas A&M | 12th Man+ Fund (shut down 2023); successor: Aggie NIL (Oct 2025) | Shut Down / Restructured | N/A | Shut down following IRS memo threatening 12th Man Foundation 501(c)(3) status; successor Aggie NIL launched Oct 2025 as athletic-department NIL entity | N/A | ESPN |
| Vanderbilt | Anchor Impact | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Illinois | Illinois Fighting Illini NIL Collective / Icon | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Indiana | Hoosiers For Good | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Iowa | Swarm Collective | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Michigan | Champions Circle (Hail! Impact 501(c)(3) affiliate) | 501(c)(3) | FY 2023-24 | Reported top-15 national collective per On3; specific 990 revenue reported est. as of publication | Reported est. as of publication | ProPublica |
| Michigan State | Spartan Dawgs 4 Life | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Minnesota | Dinkytown Athletes | LLC | Not filed | Not filed — LLC structure. Aggregate program NIL spend reported est. as of publication | Not filed | On3 Collectives |
| Nebraska | 1890 Initiative | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Ohio State | The Foundation (501(c)(3)) + The 1870 Society (LLC / for-profit) | 501(c)(3) + LLC | FY 2023-24 | Reported ~$20M aggregate NIL disbursed 2024 per AD Ross Bjork (across both vehicles) | Reported ~$20M aggregate | Yahoo Sports |
| Oregon | Division Street (LLC) + Opportunity Fund | LLC | Not filed | Not filed — LLC structure. Reported top-5 national collective per On3; ~$23M program NIL budget reported | Not filed | Sportico |
| Penn State | Happy Valley United / Lions Legacy Club | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Purdue | Boilermaker Alliance | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| UCLA | Champions of Westwood | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| USC | House of Victory / BLVD LLC | LLC | Not filed | Not filed — LLC structure. Aggregate program NIL spend reported est. as of publication | Not filed | On3 Collectives |
| Washington | Montlake Futures | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Wisconsin | VC Connect / Varsity Collective | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Clemson | 1110 Society (Dear Old Clemson) | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Florida State | The Battle's End | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Louisville | 502Circle | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Miami | Canes Connection (LifeWallet-linked historically) | LLC | Not filed | Not filed — LLC structure | Not filed | On3 Collectives |
| NC State | Wolfpack Collective / Savage Club | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| North Carolina | Heels4Life / Carolina Connection | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Virginia Tech | Commonwealth Madness | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Baylor | Baylor Bear Foundation NIL / 1845 Bears NIL | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| BYU | Built4Life / Royal Blue NIL | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Kansas | Mass Street Collective | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Kansas State | Wildcat NIL | 501(c)(3) | FY 2023-24 | Reported est. as of publication | Reported est. as of publication | ProPublica |
| Notre Dame | FUND / Friends of the University of Notre Dame (winding down 2024); successor: Fighting Irish NIL third-party program | Wound Down / Restructured | FY 2023 (last filed) | Sportico coverage of 2023 filing reported strong revenue; entity announced wind-down late 2024 | Not separately broken out post wind-down | Sportico |
Form 990 data typically lags 12-18 months from calendar year-end; figures shown reflect the most recent filed 990 or reported disclosure and should be verified against ProPublica Nonprofit Explorer, the IRS Exempt Organizations database, and each entity's own filings before public deployment. LLC-structured collectives file no public financials — program-level aggregate spend for those programs is estimated by trade-press aggregation (On3, 247Sports, The Athletic, Sportico) and marked accordingly. Multiple programs operate more than one collective; this ledger lists the primary football-attributable entity. Where an entity has wound down or restructured (Classic City, 12th Man+, FUND), we mark the transition and note the successor vehicle.
The current On3 NIL Valuation top-of-the-board for college football, drawn from On3's public NIL rankings. As of July 1, 2026, On3 transitioned its methodology from an algorithm-based model to a deal-based valuation model that reflects current player contract value and tracks athlete compensation from schools and collectives. Rankings shift week-to-week as deals close, transfers move, and the season plays out. Quarterbacks and wide receivers dominate the top of the board; the top 25 is heavily concentrated at those two positions.
| Rank | Athlete | Program | Position | On3 NIL Valuation | Source | Notes |
|---|---|---|---|---|---|---|
| 1 | Darian Mensah | Miami (transfer from Duke) | QB | ~$6.5M reported | On3 | Reported highest-paid QB in college football for 2026 season |
| 2 | Carson Beck | Miami (transfer from Georgia) | QB | ~$4.9M reported | On3 | Reported ~$4.3M valuation on Miami arrival; grew ~2% over 10 weeks |
| 3 | Jeremiah Smith | Ohio State | WR | ~$4.2M reported | On3 | Reported ~$10M+ transfer portal offer declined; returned to Buckeyes |
| 4 | Arch Manning | Texas | QB | ~$2.5M reported (down from ~$6.8M preseason 2025) | On3 | Reported ~$4.3M collapse from preseason peak per 2025 season performance |
| 5 | Trinidad Chambliss | Ole Miss | QB | Reported $5M+ annual rev-share contract | On3 | Reported rev-share contract, not On3 valuation reported at that level |
| 6 | Bryce Underwood | Michigan | QB | ~$3.1M reported | On3 | Reported freshman phenom valuation; top HS recruit reclass |
| 7 | Dante Moore | Oregon | QB | Reported est. as of publication | On3 | Reported top-tier QB valuation post 2025 breakout |
| 8 | Ryan Williams | Alabama | WR | Reported est. as of publication | On3 | Reported top-tier WR valuation, first-year starter track |
| 9 | Julian Sayin | Ohio State | QB | Reported est. as of publication | On3 | Reported top-tier QB valuation post-transfer |
| 10 | Garrett Nussmeier | LSU | QB | Reported est. as of publication | On3 | Reported top-tier SEC QB valuation |
| 11 | Drew Allar | Penn State | QB | Reported est. as of publication | On3 | Reported top-tier Big Ten QB valuation |
| 12 | Cade Klubnik | Clemson | QB | Reported est. as of publication | On3 | Reported top-tier ACC QB valuation |
| 13 | DJ Lagway | Florida | QB | Reported est. as of publication | On3 | Reported top-tier SEC QB valuation post breakout |
| 14 | Jeremiyah Love | Notre Dame | RB | Reported est. as of publication | On3 | Reported top-tier RB valuation post CFP run |
| 15 | LaNorris Sellers | South Carolina | QB | Reported est. as of publication | On3 | Reported top-tier SEC QB valuation |
| 16 | Nico Iamaleava | UCLA (transfer from Tennessee) | QB | Reported est. as of publication | On3 | Reported high-profile transfer; contract dispute preceded move |
| 17 | Jaylen Mbakwe | Alabama | CB | Reported est. as of publication | On3 | Reported top defensive-back valuation |
| 18 | Rueben Bain Jr. | Miami | DE | Reported est. as of publication | On3 | Reported top defensive-line valuation |
| 19 | Caleb Downs | Ohio State | S | Reported est. as of publication | On3 | Reported top DB valuation, All-American |
| 20 | Colin Simmons | Texas | EDGE | Reported est. as of publication | On3 | Reported top edge-rusher valuation |
| 21 | Jeremiah Smith (WR2 comp set) | Ohio State | WR | Reported est. as of publication | On3 | Cross-reference row for WR comparability |
| 22 | Jonah Coleman | Washington | RB | Reported est. as of publication | On3 | Reported top RB valuation Big Ten side |
| 23 | Kevin Jennings | SMU | QB | Reported est. as of publication | On3 | Reported top Group-of-Five-to-ACC QB valuation |
| 24 | Jayden Maiava | USC | QB | Reported est. as of publication | On3 | Reported top-tier USC QB valuation |
| 25 | Ta'ovao Faletau | Oregon | DL | Reported est. as of publication | On3 | Reported top DL valuation Big Ten side |
| 26 | Kadyn Proctor | Alabama | OT | Reported est. as of publication | On3 | Reported top offensive-line valuation |
| 27 | Isaiah Bond | Texas | WR | Reported est. as of publication | On3 | Reported top WR valuation SEC side |
| 28 | Malachi Fields | Notre Dame (transfer from Virginia) | WR | Reported est. as of publication | On3 | Reported top transfer-WR valuation |
| 29 | Anthony Hill Jr. | Texas | LB | Reported est. as of publication | On3 | Reported top LB valuation SEC side |
| 30 | Jerrick Gibson | Texas | RB | Reported est. as of publication | On3 | Reported top RB valuation SEC side |
On3 NIL Valuations are estimates by On3 aggregating reported deals plus valuation methodology; they are not filed-source disclosures. Rankings shift week-to-week. The July 1, 2026 On3 transition to a deal-based valuation model brings the reported figures closer to actual contract value, but athletes and collectives remain free to withhold deal-level detail. Position rows below Rank 6 reflect the general shape of the top-30 board with valuations marked "reported est. as of publication" where On3's live figure has not been captured against a specific citation URL as of the date stamp above.
State-by-state status of NIL and revenue-share payment disclosure obligations at public universities, as of publication. The landscape changed materially during 2024 and 2025 as state legislatures moved to shield NIL and revenue-share contracts from open-records disclosure. The regime is fluid; bills continue to advance. Reference against the current state legislative record before relying on any specific row.
| State | Public P4 Programs | NIL Disclosure Statute | Threshold | Rev-Share Public Records | Notes |
|---|---|---|---|---|---|
| Alabama | Alabama, Auburn | No contract disclosure required | N/A | Partial / Aggregate | Reported no explicit disclosure provision; contracts treated as confidential per state practice |
| Arkansas | Arkansas | No contract disclosure required | N/A | Partial / Aggregate | FOIA-tradition state; no NIL-specific exemption enacted as of publication |
| California | UCLA | Partial — SB 206 framework | Reported | Pending / Under Review | Original 2019 SB 206 framework; disclosure specifics pending under CPRA interpretation |
| Colorado | Colorado | Partial — recent shield legislation | Reported | Recently Shielded | 2025 legislation moved to exempt rev-share and NIL contracts from CORA disclosure |
| Connecticut | UConn (basketball flagship; non-P4 FBS) | Yes — explicit exemption | All NIL info | Shielded | Broad non-disclosure statute; part of the original five-state exemption cluster |
| Florida | Florida, Florida State (Miami is private) | No contract disclosure required | N/A | Partial / Aggregate | No NIL-specific exemption enacted; Florida Sunshine Law framework applies to aggregate athletic-department financials |
| Georgia | Georgia, Georgia Tech | No explicit disclosure requirement | N/A | Partial / Aggregate | No NIL-specific exemption; UGA Athletic Association corporate structure adds an additional layer |
| Illinois | Illinois | No contract disclosure required | N/A | Under Review | FOIA framework applies; no NIL-specific carve-out enacted as of publication |
| Indiana | Indiana, Purdue | Partial | Reported | Under Review | APRA framework; rev-share disclosure treatment under active review |
| Iowa | Iowa, Iowa State | Partial | Reported | Under Review | Iowa Open Records law framework; NIL-specific treatment developing |
| Kansas | Kansas, Kansas State | Partial | Reported | Under Review | Kansas Open Records Act framework applies |
| Kentucky | Kentucky, Louisville | Yes — explicit exemption | All NIL info | Shielded | Original five-state cluster; NIL bill contains broad non-disclosure language |
| Louisiana | LSU | Yes — explicit exemption on contract terms | Contract terms and conditions | Aggregate only | Contract-terms confidential; aggregate rev-share expended per fiscal year subject to public disclosure |
| Michigan | Michigan, Michigan State | Partial | Reported | Under Review | Michigan FOIA framework; no NIL-specific exemption enacted as of publication |
| Minnesota | Minnesota | Partial | Reported | Under Review | Minnesota Government Data Practices Act framework applies |
| Mississippi | Ole Miss, Mississippi State | No contract disclosure required | N/A | Partial / Aggregate | No NIL-specific exemption; standard state open-records practice |
| Missouri | Missouri | Yes — explicit exemption | All NIL info | Shielded | Original five-state cluster; broad NIL non-disclosure language |
| Nebraska | Nebraska | Yes — explicit exemption | All NIL info | Shielded | Original five-state cluster; broad NIL non-disclosure language |
| North Carolina | North Carolina, NC State | Yes — HB 378 (July 2025) | All NIL contracts | Shielded (2025 legislation) | HB 378 signed into law July 2025; rev-share contracts explicitly exempted from public records |
| Ohio | Ohio State | No explicit contract disclosure requirement | N/A | Partial / Aggregate | Ohio Public Records Act framework; no NIL-specific exemption enacted as of publication |
| Oklahoma | Oklahoma, Oklahoma State | Partial | Reported | Under Review | Oklahoma Open Records Act framework applies |
| Oregon | Oregon, Oregon State | Partial | Reported | Under Review | Oregon Public Records Law framework; Division Street LLC structure limits collective-side visibility |
| Pennsylvania | Penn State, Pittsburgh | Partial — Penn State state-related | Reported | Under Review | Penn State state-related status limits standard PA Right-to-Know Law exposure |
| South Carolina | South Carolina, Clemson | Partial — 2025 legislation advancing | Reported | Recently Shielded | 2025 legislature moved to exempt rev-share contracts; institutional support and public funds question is live |
| Tennessee | Tennessee | Partial — SB 536 (May 2025) | Reported | Under Review | SB 536 authorizes schools to directly facilitate NIL; TPRA framework applies with statute-specific exceptions |
| Texas | Texas, Texas A&M, Texas Tech | Yes — explicit exemption | All NIL info | Shielded | Sixth state to explicitly exempt NIL from public records; the Sportico "Eyes Off Texas" precedent |
| Utah | Utah, BYU (private) | Partial — 2025 legislation advancing | Reported | Recently Shielded | 2025 proposed law would exempt direct rev-share payments from state public records |
| Virginia | Virginia, Virginia Tech | Partial | Reported | Under Review | VFOIA framework applies; NIL-specific treatment developing |
| Washington | Washington, Washington State | Partial | Reported | Under Review | Washington Public Records Act framework applies |
| Wisconsin | Wisconsin | Partial — 2025 legislation advancing | Reported | Recently Shielded | 2025 legislature moved to exempt rev-share contracts from public records |
State NIL legislation and open-records treatment continue to move; verify against current statute and legislative-record status before relying on any specific row. States hosting private P4 programs (Notre Dame at Indiana, Miami and Stanford as private institutions, USC at California, Vanderbilt at Tennessee, Duke and Wake Forest at North Carolina, Northwestern at Illinois, Boston College at Massachusetts) sit outside the state open-records regime as private universities. Public-records exemption legislation is being tracked live by Sportico, the Reporters Committee for Freedom of the Press, the Student Press Law Center, and the Drake Group.
What NIL Go is. Under the House v. NCAA settlement (final approval June 6, 2025; effective July 1, 2025), the College Sports Commission was established as the enforcement body for the settlement's third-party NIL oversight regime. The College Sports Commission engaged Deloitte to build and administer NIL Go, a review and reporting platform through which every third-party NIL deal above the $600 threshold is submitted for a fair-market-value determination. Deloitte's evaluation uses a twelve-factor framework: parties, deal purpose, athlete profile, market comparables, deliverables, deal term, payment structure, market rate benchmarks, deal source, athletic-department relationship, brand-fit alignment, and geography. Each deal receives a "cleared" or "not cleared" determination.
Timing and ramp. The platform went live in June 2025 ahead of the July 1 settlement effective date. Since launch, more than 21,000 deals worth approximately $166.5M in aggregate value have been submitted for review (reported). Deloitte separately disclosed at ACC spring meetings that approximately 70 percent of past booster-collective deals would have been denied under the twelve-factor framework, while approximately 90 percent of deals from public companies would have been approved. That gap is the operational content of the settlement: it shifts the market away from collective-underwritten pay-for-play and toward third-party endorsements at defensible fair-market rates.
What NIL Go sees. The platform holds individual-athlete-level data at deal granularity: contract terms, payment schedule, deliverable set, brand identity, deal length, and clearinghouse determination. Aggregate throughput numbers (deal count, aggregate value, approval rate) are being reported by Deloitte and the College Sports Commission at conference and NCAA governance meetings. Individual deal terms are not currently disclosed to the public.
Where it's headed. Three vectors will determine whether NIL Go data becomes publicly accessible over the next 12 to 24 months. (a) Litigation. Antitrust exposure of the twelve-factor framework itself is live; the National Association of College and University Attorneys and multiple state attorneys general have flagged concerns about the "reasonable range of compensation" standard. Discovery in any resulting suit could push individual-deal data into the record. (b) State legislation. Tennessee's SB 536 (May 2025) authorizes schools to directly facilitate NIL and challenges the clearinghouse's exclusive jurisdiction; other state legislatures are considering statutes that would compel disclosure of clearinghouse-reviewed deals above a threshold, or in the opposite direction, further shield them. (c) Trade-press FOIA analogs. Sportico, The Athletic, ESPN, and On3 are pursuing information requests to obtain clearinghouse metadata — deal counts, aggregate values, approval rates — even where individual deal terms remain shielded.