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icon for ¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?

¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?

icon for ¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?

¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?

NUEVO
1 oct 2026
Polymarket

$200 Vol.

Polymarket

California (CAISO)

$40 Vol.

43%

Texas (ERCOT)

$0 Vol.

42%

Centro de EE. UU. (SPP)

$40 Vol.

44%

Medio Oeste (MISO)

$40 Vol.

42%

Atlántico Medio (PJM)

$40 Vol.

44%

Nueva York (NYISO)

$40 Vol.

38%

Nueva Inglaterra (ISO-NE)

$0 Vol.

43%

This market resolves "Yes" if the California Independent System Operator (CAISO), which operates the electric grid serving most of California, declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM PT on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official CAISO communication — its newsroom (https://www.caiso.com/about/news), market notices, or real-time system-condition (Today's Outlook) postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the Electric Reliability Council of Texas (ERCOT) declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM CT on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official ERCOT communication — its news releases (https://www.ercot.com/news/releases), market notices, or real-time grid-condition postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the Southwest Power Pool (SPP) — the regional transmission organization serving all or part of 17 states across the central and western U.S. — declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) for any of its balancing authority areas from this market's creation through 11:59 PM CT on September 30, 2026. "Central US" in the title is a general label — only an SPP declaration counts, and emergencies in other central-U.S. grid operators do not qualify. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official SPP communication — its press releases (https://www.spp.org/newsroom/press-releases/), Grid Notices, or its real-time Current Grid Conditions page — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the Midcontinent Independent System Operator (MISO) — the regional transmission organization serving all or part of 15 U.S. states from the Great Lakes to the Gulf Coast — declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) for any of its balancing authority areas from this market's creation through 11:59 PM CT on September 30, 2026. "Midwest" in the title is a general label — only a MISO declaration counts, and emergencies in other grid operators do not qualify. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official MISO communication — its Media Center (https://www.misoenergy.org/meet-miso/media-center/), market notices, or real-time grid-condition postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if PJM Interconnection declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) anywhere across its footprint from this market's creation through 11:59 PM ET on September 30, 2026. PJM serves all or part of Delaware, Illinois, Indiana, Kentucky, Maryland, Michigan, New Jersey, North Carolina, Ohio, Pennsylvania, Tennessee, Virginia, West Virginia, and the District of Columbia; a qualifying declaration anywhere in that footprint counts, and "Mid-Atlantic" in the title is only a general label. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official PJM communication — its Inside Lines blog (https://insidelines.pjm.com/), emergency-procedure or market messages, or real-time system-status postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the New York Independent System Operator (NYISO) declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM ET on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official NYISO communication — its News & Media page (https://www.nyiso.com/news-and-media), market notices, or real-time system-conditions postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if ISO New England (ISO-NE) — the grid operator for the six New England states of Connecticut, Maine, Massachusetts, New Hampshire, Rhode Island, and Vermont — declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM ET on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official ISO New England communication — its press releases (https://www.iso-ne.com/about/news-media/press-releases), market notices, or real-time system-status postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".**Surging summer electricity demand from extreme heat, combined with NERC-identified elevated reliability risks in regions like the Pacific Northwest, parts of the West, and New England, drives trader sentiment on grid emergencies through September.** The 2026 NERC Summer Reliability Assessment notes adequate resources for normal peaks but flags shortfalls during intense or prolonged heat, with demand growth outpacing additions in stressed areas; record resource deployments have lowered at-risk zones compared to prior years. DOE Section 202(c) emergency orders were issued multiple times in July 2026 for PJM and SPP territories covering dozens of states, authorizing backup generation to avert EEA Level 3 alerts amid record loads exceeding 166 GW. Late-summer heat waves or early tropical systems could trigger further alerts before October 1, with upcoming NOAA seasonal outlooks and real-time grid operator advisories as key near-term catalysts.

This market resolves "Yes" if the California Independent System Operator (CAISO), which operates the electric grid serving most of California, declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM PT on September 30, 2026.

A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it.

The declaration will be confirmed by any official CAISO communication — its newsroom (https://www.caiso.com/about/news), market notices, or real-time system-condition (Today's Outlook) postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward.

Otherwise, this market resolves "No".
Volumen
$200
Fecha de finalización
1 oct 2026
Mercado abierto
Aug 12, 2026, 5:25 PM ET
This market resolves "Yes" if the California Independent System Operator (CAISO), which operates the electric grid serving most of California, declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM PT on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official CAISO communication — its newsroom (https://www.caiso.com/about/news), market notices, or real-time system-condition (Today's Outlook) postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".
This market resolves "Yes" if the California Independent System Operator (CAISO), which operates the electric grid serving most of California, declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM PT on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official CAISO communication — its newsroom (https://www.caiso.com/about/news), market notices, or real-time system-condition (Today's Outlook) postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the Electric Reliability Council of Texas (ERCOT) declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM CT on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official ERCOT communication — its news releases (https://www.ercot.com/news/releases), market notices, or real-time grid-condition postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the Southwest Power Pool (SPP) — the regional transmission organization serving all or part of 17 states across the central and western U.S. — declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) for any of its balancing authority areas from this market's creation through 11:59 PM CT on September 30, 2026. "Central US" in the title is a general label — only an SPP declaration counts, and emergencies in other central-U.S. grid operators do not qualify. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official SPP communication — its press releases (https://www.spp.org/newsroom/press-releases/), Grid Notices, or its real-time Current Grid Conditions page — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the Midcontinent Independent System Operator (MISO) — the regional transmission organization serving all or part of 15 U.S. states from the Great Lakes to the Gulf Coast — declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) for any of its balancing authority areas from this market's creation through 11:59 PM CT on September 30, 2026. "Midwest" in the title is a general label — only a MISO declaration counts, and emergencies in other grid operators do not qualify. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official MISO communication — its Media Center (https://www.misoenergy.org/meet-miso/media-center/), market notices, or real-time grid-condition postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if PJM Interconnection declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) anywhere across its footprint from this market's creation through 11:59 PM ET on September 30, 2026. PJM serves all or part of Delaware, Illinois, Indiana, Kentucky, Maryland, Michigan, New Jersey, North Carolina, Ohio, Pennsylvania, Tennessee, Virginia, West Virginia, and the District of Columbia; a qualifying declaration anywhere in that footprint counts, and "Mid-Atlantic" in the title is only a general label. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official PJM communication — its Inside Lines blog (https://insidelines.pjm.com/), emergency-procedure or market messages, or real-time system-status postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if the New York Independent System Operator (NYISO) declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM ET on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official NYISO communication — its News & Media page (https://www.nyiso.com/news-and-media), market notices, or real-time system-conditions postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".This market resolves "Yes" if ISO New England (ISO-NE) — the grid operator for the six New England states of Connecticut, Maine, Massachusetts, New Hampshire, Rhode Island, and Vermont — declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM ET on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official ISO New England communication — its press releases (https://www.iso-ne.com/about/news-media/press-releases), market notices, or real-time system-status postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".**Surging summer electricity demand from extreme heat, combined with NERC-identified elevated reliability risks in regions like the Pacific Northwest, parts of the West, and New England, drives trader sentiment on grid emergencies through September.** The 2026 NERC Summer Reliability Assessment notes adequate resources for normal peaks but flags shortfalls during intense or prolonged heat, with demand growth outpacing additions in stressed areas; record resource deployments have lowered at-risk zones compared to prior years. DOE Section 202(c) emergency orders were issued multiple times in July 2026 for PJM and SPP territories covering dozens of states, authorizing backup generation to avert EEA Level 3 alerts amid record loads exceeding 166 GW. Late-summer heat waves or early tropical systems could trigger further alerts before October 1, with upcoming NOAA seasonal outlooks and real-time grid operator advisories as key near-term catalysts.

This market resolves "Yes" if the California Independent System Operator (CAISO), which operates the electric grid serving most of California, declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM PT on September 30, 2026.

A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it.

The declaration will be confirmed by any official CAISO communication — its newsroom (https://www.caiso.com/about/news), market notices, or real-time system-condition (Today's Outlook) postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward.

Otherwise, this market resolves "No".
Volumen
$200
Fecha de finalización
1 oct 2026
Mercado abierto
Aug 12, 2026, 5:25 PM ET
This market resolves "Yes" if the California Independent System Operator (CAISO), which operates the electric grid serving most of California, declares a NERC Energy Emergency Alert at Level 2 (EEA-2) or Level 3 (EEA-3) at any point from this market's creation through 11:59 PM PT on September 30, 2026. A lower EEA-1 declaration does not qualify. A declaration qualifies as long as it happened before the deadline, even if it is only documented or reported afterward. A DOE Section 202(c) emergency order is not a NERC EEA declaration and does not qualify. Because Energy Emergency Alerts are federally reportable, a qualifying declaration is also verifiable through mandatory NERC or U.S. Department of Energy records (DOE Form OE-417, published at https://www.oe.netl.doe.gov/oe417.aspx) even if no other source captures it. The declaration will be confirmed by any official CAISO communication — its newsroom (https://www.caiso.com/about/news), market notices, or real-time system-condition (Today's Outlook) postings — or by credible national news reporting. It qualifies as long as the declaration itself happened before the deadline, even if it is only documented or reported afterward. Otherwise, this market resolves "No".

Cuidado con los enlaces externos.

Preguntas frecuentes

"¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?" es un mercado de predicción en Polymarket con 7 resultados posibles donde los operadores compran y venden acciones según lo que creen que sucederá. El resultado líder actual es "Centro de EE. UU. (SPP)" con 44%, seguido de "Atlántico Medio (PJM)" con 44%. Los precios reflejan probabilidades en tiempo real de la comunidad. Por ejemplo, una acción cotizada a 44¢ implica que el mercado colectivamente asigna una probabilidad de 44% a ese resultado. Estas probabilidades cambian continuamente a medida que los operadores reaccionan a nuevos desarrollos. Las acciones del resultado correcto son canjeables por $1 cada una tras la resolución del mercado.

"¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?" es un mercado recién creado en Polymarket, lanzado el Aug 12, 2026. Como mercado nuevo, esta es tu oportunidad de ser uno de los primeros operadores en establecer las probabilidades y las señales de precio iniciales del mercado. También puedes guardar esta página en marcadores para seguir el volumen y la actividad de trading a medida que el mercado gana tracción.

Para operar en "¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?", explora los 7 resultados disponibles en esta página. Cada resultado muestra un precio actual que representa la probabilidad implícita del mercado. Para tomar una posición, selecciona el resultado que consideres más probable, elige "Sí" para operar a favor o "No" para operar en contra, introduce tu cantidad y haz clic en "Operar". Si tu resultado elegido es correcto cuando el mercado se resuelve, tus acciones de "Sí" pagan $1 cada una. Si es incorrecto, pagan $0. También puedes vender tus acciones en cualquier momento antes de la resolución.

El favorito actual para "¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?" es "Centro de EE. UU. (SPP)" con 44%, lo que significa que el mercado asigna una probabilidad de 44% a ese resultado. El siguiente resultado más cercano es "Atlántico Medio (PJM)" con 44%. Estas probabilidades se actualizan en tiempo real a medida que los operadores compran y venden acciones. Vuelve con frecuencia o guarda esta página en marcadores.

Las reglas de resolución para "¿Habrá una emergencia en la red eléctrica antes del 1 de octubre?" definen exactamente qué debe ocurrir para que cada resultado sea declarado ganador, incluyendo las fuentes de datos oficiales utilizadas para determinar el resultado. Puedes revisar los criterios de resolución completos en la sección "Reglas" en esta página sobre los comentarios. Recomendamos leer las reglas cuidadosamente antes de operar, ya que especifican las condiciones exactas, casos especiales y fuentes.