Recent extreme heat in July drove PJM Interconnection demand near all-time records, prompting a U.S. Department of Energy emergency order authorizing backup generation and demand response to avert Energy Emergency Alert Level 3 conditions across the Mid-Atlantic. NERC’s 2026 Summer Reliability Assessment notes record resource additions strengthening reserves overall, yet flags elevated risk in PJM, MISO, and parts of ERCOT and WECC under above-normal temperatures, driven by rising peak loads and transmission constraints. With August still featuring high cooling demand, traders monitor official NERC and grid operator updates for any formal emergency declarations before the October 1 resolution window.
基於Polymarket數據的AI實驗性摘要。這不是交易建議,也不影響該市場的結算方式。 · 更新於加利福尼亞(CAISO)
43%
德克薩斯州(ERCOT)
42%
美國中部(SPP)
42%
中西部(MISO)
42%
中大西洋地區(PJM)
44%
紐約(NYISO)
38%
新英格蘭(ISO-NE)
43%
$200 交易量
加利福尼亞(CAISO)
43%
德克薩斯州(ERCOT)
42%
美國中部(SPP)
42%
中西部(MISO)
42%
中大西洋地區(PJM)
44%
紐約(NYISO)
38%
新英格蘭(ISO-NE)
43%
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".
市場開放時間: Aug 12, 2026, 5:25 PM ET
Resolver
0x65070BE91...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".
Resolver
0x65070BE91...Recent extreme heat in July drove PJM Interconnection demand near all-time records, prompting a U.S. Department of Energy emergency order authorizing backup generation and demand response to avert Energy Emergency Alert Level 3 conditions across the Mid-Atlantic. NERC’s 2026 Summer Reliability Assessment notes record resource additions strengthening reserves overall, yet flags elevated risk in PJM, MISO, and parts of ERCOT and WECC under above-normal temperatures, driven by rising peak loads and transmission constraints. With August still featuring high cooling demand, traders monitor official NERC and grid operator updates for any formal emergency declarations before the October 1 resolution window.
基於Polymarket數據的AI實驗性摘要。這不是交易建議,也不影響該市場的結算方式。 · 更新於



警惕外部連結哦。
警惕外部連結哦。
Frequently Asked Questions