NHTSA Owner Complaint Log
This page lists owner-reported complaints filed with NHTSA for the 2022 Nissan Leaf. Complaints are unverified consumer reports submitted to NHTSA and do not by themselves prove a defect or defect rate.
Data synced from NHTSA on May 4, 2026
Due to Recall 25V-655, I am unable to safely use level 3 charging. The first notice I received of this issue (in October, 2025), stated that a remedy would be available by December, 2025. I just received a second interim owner notification that states a remedy will be available within the 2026 calendar year. This is not a timely remedy, as I have already waited 5 months for this fix to an important safety problem, and am now being told I may have to wait another 9 months.
Recall R25C8 not resolved in a timely manner
Recall notice has been present for > 1 year and no remedy yet available for dangerous battery overheating.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part for the recall repair was not yet available. The contact stated that the unrepaired recall was a huge inconvenience because only the slow charge function could be used. The manufacturer was contacted; however, the contact was informed that the remedy was not yet developed. The contact had not experienced a failure.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part to do the recall repair was not available. The dealer was contacted, and the contact was informed that parts were not yet available. The contact was concerned that if the fast charger was used, there could potentially be a fire. The contact was pregnant and stated that the slow charger required too much time to recharge the battery. The manufacturer was made aware of the failure, and a case was filed. The contact had not experienced a failure.
There has been a recall on my vehicle for months now, and previously there was a recall on other nissan leafs for over a year at this point before they branched out to include my vehicle. In the contract I signed to purchase my vehicle, I was stated to have access to tier 3 charging. I am unable to do that currently, and I do not live close to a tier 2 charger, so I am forced to use my tier 3 charging. They say not to do that, so I am left with a vehicle that I am unable to use, and have been for months. I iniated a buyback, but they declined it.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical system); however, the part to do the recall repair was not yet available. The contact stated that the recall summary included a possible fire risk. In addition, the contact stated that because of the unrepaired recall, the quick charger was not usable. The manufacturer was contacted; however, the contact was informed that the part for the recall repair was not available. The contact was informed that notification would be provided whenever available. The contact had not experienced a failure.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part to do the recall repair was not yet available. The contact stated that after attempting to recharge the Hybrid battery, the vehicle failed to maintain the charge. The low-power mode warning light was illuminated with another unknown warning light. The local dealer was contacted. The vehicle was not diagnosed or repaired due to parts not being available. The contact stated that the manufacturer had exceeded a reasonable amount of time for the recall repair. The manufacturer was not made aware of the failure. The failure mileage was approximately 60,000.
The contact owns a 2022 Nissan Leaf. The contact stated that while attempting to charge the vehicle, the charging system became inoperable. There was no warning light illuminated. The contact stated that the system failed to charge the battery properly. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part to do the recall repair was not yet available. The dealer was contacted and informed the contact not to use the Level 3 quick charging and confirmed that the part was not yet available for the recall repair. The vehicle was not diagnosed or repaired. The contact stated that the manufacturer had exceeded a reasonable amount of time for the recall repair. The manufacturer was made aware of the failure. The failure mileage was unavailable.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part to do the recall repair was not yet available. The contact stated that the unrepaired recall was dangerous. The dealer was contacted, and the contact was advised not to use the Level 3 quick charging because the vehicle might catch on fire. The manufacturer was not contacted. The contact had not experienced a failure.
I am the original owner of a 2022 Nissan Leaf, purchased new. On the evening of Thursday, 11/20/2025 I became aware of an active recall affecting my vehicle related to a battery fire hazard when using DC fast charging stations. I only learned of this serious safety defect when attempting to trade in my vehicle, at which point the dealership declined to accept it due to the unresolved recall. This recall poses a significant safety risk that I was not informed about despite being registered with Nissan. I have regularly used DC fast charging stations without any knowledge that doing so could result in a fire and potential severe injury. The recall notice does not appear in my Nissan account dashboard, although two other recalls for my vehicle are properly displayed there. However, when I independently search my VIN on the NHTSA website, the recall is clearly linked to my vehicle. As a result of this defect and lack of proper notification, I now own a vehicle with reduced functionality, a documented fire risk, and diminished resale value. On the morning of Friday, 11/21/2025 I contacted Nissan's Consumer Affairs and requested that Nissan repurchase my vehicle given the severity of this safety defect and the impact on my ability to use or sell the vehicle. This morning (Monday 11/24/25) I was informed Nissan has refused to buy back my vehicle. The promptness of their reply is concerning and indicates they do not take this issue seriously. I am deeply concerned about the adequacy of Nissan's recall notification process when such a critical safety issue was never communicated to me through my registered account or other direct means. I request that NHTSA investigate why I was not properly notified of this recall despite being the registered owner, whether other affected owners may have similarly failed to receive adequate notice of this serious safety defect, and whether Nissan's refusal to repurchase my vehicle is appropriate given the circumstances.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. The recall notice says that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks.
“2022 Nissan Leaf with 63,000 miles. Vehicle loses propulsion, unable to accelerate above 40 mph, and goes into turtle mode. Dealer opened the high-voltage battery and found multiple swollen modules. Nissan refuses to replace swollen modules and will only replace one cell despite EV system failure. Vehicle is unsafe to drive.”
Greetings My vehicle has approximately 63k and the entire battery pack has already been replaced one time. Approximately 3-4 weeks ago I got a letter informing me that I can no longer fast charge and there is no remedy for this at this time. I work 1 hour away from my home, so I haven't been able to get to work in weeks. I asked for a buy back and they stated no. I asked Nissan's Consumer Affairs for a rental and they said no. I asked the dealership where I purchased the vehicle for a rental and they said no. It is important to note that providing a rental is part of the recall or this is my understanding. It is also important to note that I have an extended warranty for this vehicle which should also include a rental. I pay almost $600 a month for this hunk of junk, and I cannot understand how this is acceptable in any way. Please advise.
Nissan has a safety recall with no resolution. You cannot travel in this vehicle if you cannot use a fast charger. I have family emergency. I called Nissan consumer affairs. Case XXX. customer service said maybe a loaner car can be an option. MARSHAY a consumer affairs representative said this is not an option. There is nothing they can do. There is no resolution at this time or eta. Nissan should take all of these cars back if they are this dangerous and they don't know how to fix. Nissan mechanics dont know what to say and just refer you to Nissan Comsumer Affairs who dont have an answer. Slow charging is 8 hours or more, you can't go anywhere. Charging is 30 to 45 minutes at each station even if is called fast charging.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. I learned about this in late October 2025. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks.
Nissan sent me a recall notice in October 2025 and told me not to fast charge the vehicle. To date the recall has not been implemented. This makes the car unuseable for longer distances where I need to fast charge. I have also heard that EVGO is blocking this car model from even attempting to charge, regardless of if the car is affected or not by this recall.
The contact owns a 2022 Nissan Leaf. The contact stated that while attempting to charge the vehicle, the vehicle failed to charge using the fast-charging mode. The vehicle was charged in the slow-charging mode, which took 8 hours to charge the vehicle. No warning lights were illuminated. The vehicle was not diagnosed or repaired. The manufacturer was notified of the failure and confirmed that the VIN was included in NHTSA Campaign Number: 25V655000 (Electrical System). The approximate failure mileage was 18,000.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks.
This is related to NHTSA recall 25V-655: I am no longer able to DC fast charge my vehicle due to the recall related to charging and battery instability. This prevents me from using the car in the way that it was intended. I cannot drive more than 80 miles from my home in any direction. Less if I drive on the highway. This is not an acceptable situation for a vehicle. If a gas vehicle could not be refueled as it was designed, the vehicle would be replaced by the manufacturer. I have filed a request for buy back but the manufacturer has stated that there were not enough recalls built up on my vehicle to warrant a replacement or any compensation.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. EVGO, one of the major lv3 chargers refuses service from customers with Leafs as well at this time, forcing me to rent a vehicle for long distance family trips this holiday season. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks.
The latest recall, NHTSA Recall 25v-655 for which there is no fix, has rendered my vehicle useless for any round-trip of more than approximately 130 miles from home. This is the same issue for which there was a recall for 2019/2020 LEAFs and after a year there was no known fix from the manufacturer.
My 2022 Nissan Leaf is part of recall R25C8 involving a battery fire risk during DC fast charging. Nissan has advised not to use Level 3 charging, which prevents normal operation of the vehicle. The dealership refuses to provide a rental or loaner while I wait for the remedy. I am currently unable to use the vehicle safely for transportation. This recall has made the vehicle unusable and Nissan is denying transportation assistance. I am requesting NHTSA intervention.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks. This risk has been known for 3 months with no fix and no options to fix from Dealerships or calling Nissan directly. It is a safety issue not just for my family but for others due to the electrical fire risk. Thank you
I own a 2022 Nissan Leaf (VIN [XXX] ) affected by Recall 25V-655. This recall prohibits use of Level 3 DC fast-charging due to a potential battery-fire risk, leaving the car unsuitable for long-distance use. My dealer’s service manager told me Nissan may have a fix “in spring 2026 or not.” That means no remedy is available for at least 6–12 months. I purchased this car only days before Nissan filed the recall (signed 9/30/25, posted 10/1/25). My salesperson specifically told me that the 2019–2020 Leafs had a battery recall with no fix, but the 2022 was unaffected. The timing suggests Nissan may have known the 2022 recall was imminent but had not disclosed it to dealers or buyers. I am requesting NHTSA ensure Nissan provides a timely, safe remedy or compensates affected owners for loss of functionality and value. INFORMATION REDACTED PURSUANT TO THE FREEDOM OF INFORMATION ACT (FOIA), 5 U.S.C. 552(B)(6)
The contact owns a 2022 Nissan Leaf. The contact was notified of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part to do the recall repair was not yet available. The local dealer was made aware of the issue and confirmed that parts were not yet available. The contact stated that the manufacturer had exceeded a reasonable amount of time for the recall repair. The manufacturer was not made aware of the issue. The contact stated that due to the recall, the ability to drive long distances was restricted. The contact had not experienced a failure.
The high-voltage battery on my 2022 Nissan Leaf SL+ is subject to Recall NHTSA ID: 25V-655. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect and has been significantly delayed, with no remedy provided for the loss of use of my vehicle, due to the dangers of the battery, which is still covered by warranty. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks.
My Nissan Leaf is currently under NHTSA Recall Number 25V-655 since Oct 2025 and I cannot charge the car on a Level 3 fast charger. This has made the car unusable for my current needs. I have been forced to rent and borrow cars for necessary long distance trips. Nissan continues to delay their planned resolution for this problem and this situation is completely unacceptable.
The vehicle has been unable to charge at a lvl3 charger due to safety recall 25V-655 meaning I am no longer able to use this car as a daily commuter for my purpose.
I bought my vehicle used, in May 2025. Then, in October (if not earlier), a safety recall was issued relating to the fast charging of the EV battery. This recall tells me that I’m not to use the CHAdeMO charging port due to battery fire risk. Now, almost 6 months later, there still isn’t a remedy available. Not being able to fast charge puts a huge restriction on where I’m able to go in my car. NO ONE wants to sit around for hours waiting for their car battery to recharge in order to get to their destination. I have contacted Nissan’s corporate office to ask if they would offer me a loaner vehicle for my longer distance drives, but they said no and didn’t have any other assistance to offer until the remedy is available. I would like to know, are they given any sort of deadline to remedy such a HUGE safety recall, or what most people would consider a DEFECT? If so, what kind of penalty do they face if this deadline isn’t met? If not, is there anything I can do to hold them accountable for selling me a defective Electric Vehicle? Thank you for your time
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part to do the recall repair was not yet available. The contact stated that due to the recall, she was forced to rent vehicles to avoid experiencing the failure stated in the recall. The local dealer was contacted and confirmed that parts were not yet available. The dealer referred the contact to the NHTSA Hotline to report the failure. The contact stated that the manufacturer had exceeded a reasonable amount of time for the recall repair. The manufacturer was not made aware of the issue. The contact had not experienced a failure.
Received recall notice in September/October 2025 that the lithium battery of my 2022 Nissan Leaf SV Plus could catch on fire if fast charged, creating a serious safety hazard. This prevents use of car on out of town trips, or fast charging in town when needed. This puts myself and others at risk of injury by fire and limits my ability to fully use my car to the extent that I was able when I purchased it from the dealership. I continue to be informed by the dealer that a software repair is being worked on, but no date for repair availability, nor confirmation that a software repair will allow me to take the car out of town for fast charging without slowing or shutting down of the system. No warning lamps have appeared, and the dealer has not examined my car.
The vehicle is subject to a manufacturer safety recall related to a fire risk involving the high-voltage battery system. After receiving the recall notice, I brought the vehicle to an authorized dealer for evaluation. The dealer confirmed that there is currently no permanent remedy available for this recall and no estimated timeline for when a corrective repair will be available. The vehicle was returned to me without a corrective repair being performed. Since the recall, the vehicle’s charging capability and usable driving range have been significantly reduced compared to normal operation. Fast-charging functionality is no longer reliably available, resulting in longer charging times and a materially decreased effective range. This condition persists and is not attributable to normal battery degradation or driving habits. The vehicle was purchased new in reliance on its advertised driving range and charging capability, which were necessary to meet predictable daily transportation requirements. Due to the post-recall charging limitations and reduced effective range, the vehicle can no longer be relied upon to perform as originally intended. The active safety recall restricts authorized dealers from selling, leasing, or transferring the vehicle until a permanent remedy is available. No remedy or definitive timeline has been provided. Continued operation of a vehicle subject to a fire-related recall without corrective repair, combined with reduced charging capability and range, raises concerns regarding recall adequacy, charging availability, trip completion, and continued safe operation.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the part to do the recall repair was not yet available. The local dealer was not contacted. The contact stated that the manufacturer had exceeded a reasonable amount of time for the recall repair. The manufacturer was made aware of the issue. The contact had not experienced a failure.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (ELECTRICAL SYSTEM); however, the part to do the recall repair was not yet available. The local dealer was contacted. The contact stated that the manufacturer had exceeded a reasonable amount of time for the recall repair. The manufacturer was not made aware of the issue. The contact had not experienced a failure.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks. I also want to note that EVgo, one of the largest fast charging networks, is refusing to initiate fast charging sessions for Nissan Leafs because of this defect.
I own a 2022 Nissan LEAF (VIN [XXX] ) that is subject to a Nissan safety recall advising owners not to use DC fast charging due to risk of battery overheating and fire. DC fast charging is a core function of an electric vehicle. Nissan’s instruction to avoid fast charging effectively removes this capability. In addition, some public charging networks have restricted or blocked Nissan LEAF fast charging, further limiting safe operation. Nissan has not provided a permanent repair. A proposed software update does not address the underlying physical battery risk and does not restore full charging functionality. As a result, the vehicle cannot be used as intended, and owners are left with reduced charging capability and increased safety uncertainty. I believe this defect presents an ongoing safety risk and warrants regulatory review. INFORMATION REDACTED PURSUANT TO THE FREEDOM OF INFORMATION ACT (FOIA), 5 U.S.C. 552(B)(6)
Nissan has provided no remedy for this recall, no compensation, no rental vehicles, rendering this vehicle useless for long trips that require the use of a level 3 charger, which is why we purchased this vehicle in the first place
No fix for Nissan Leaf level 3 charger issue: While an affected vehicle is Level 3 quick charging, the increased electrical resistance could result in rapid heating of the battery. If quick charging continues, a battery fire may occur increasing the risk of injury. Customers are instructed not to use Level 3 quick charging via the CHAdeMO connector until the remedy is completed.
My 2022 Nissan Leaf (VIN ending 558192) is affected by recall R25C8 (Lithium-ion Battery Expansion / Fire Risk from Quick Charging). The recall, announced September 30, 2025, requires a software update to the battery management system. Nissan has advised not to use the CHAdeMO DC fast charging port until remedied. No remedy is currently available, and the software update has not been deployed. This defect substantially impairs the vehicle's use, value, and safety for its intended purpose (long-distance travel), restricting it to local driving only. The delay has caused significant loss of use. We previously contacted Nissan on October 7, 2025 (Case #55896895) with no resolution. Contacted them again February 18 2026 (Case #56332493), with no resolution. This is ongoing as of February 2026.
My Nissan Leaf 2022 Electric Vehicle(VIN: [XXX] ) is subject to Safety Recall 25V-655 (Manufacturer Recall Number R25C8) dated September 30, 2025. As per the recall notice, the vehicle suffers from 'excessive lithium deposits within battery cells' which can cause 'rapid heating of the battery' and result in a battery fire. The manufacturer has officially instructed me NOT to use Level 3 Quick Charging (CHAdeMO) until a remedy is completed. This restriction substantially impairs the use and value of the vehicle, as it eliminates the ability to use the car for long-distance travel, which is its primary intended purpose. It has been over 3 months since this recall was issued, and the status remains 'Remedy not yet available.' The manufacturer has failed to provide a timely repair for this fire risk. I am currently driving a vehicle that is a known fire hazard and has restricted utility. I request an immediate resolution. INFORMATION REDACTED PURSUANT TO THE FREEDOM OF INFORMATION ACT (FOIA), 5 U.S.C. 552(B)(6)
It has been months this recall has been out. I have a 2022 leaf on a car note for a year now. I barely get 50-60 miles per full charge. My car is basically useless if I cannot fast charge it which I haven’t been able to because of this recall that has had no remedy for months. I am paying for a car I can’t use to its full potential. Now I’ve noticed when my car is on 60% or less and I’m driving on the highway the battery will go from 60 something percent to 45 and drop drastically. This is a major inconvenience.
The inability to fast charge has been open since Sept 2025 and there still is no resolution available.
The high-voltage battery on my 2022 Nissan Leaf is subject to Recall 25V655. The recall notice states that the battery cells can develop excessive lithium deposits, which increases electrical resistance and can cause rapid battery heating during Level 3 fast charging. Nissan instructs owners not to use Level 3 charging at all until a “remedy” is available. The issue is that the remedy described by Nissan is not an actual repair of the battery defect. Nissan states it will install software that monitors for “state-of-charge fluctuation” and, if detected, will prevent the vehicle from restarting or recharging in order to avoid a thermal incident. This means the defect inside the battery cells is still present, and the car may disable itself if the defect begins to appear. The recall materials also state there is no warning before overheating occurs. This creates multiple safety concerns: • The underlying battery defect remains uncorrected. • The vehicle can become immobilized (unable to restart or recharge) if the software detects the condition. • Loss of Level 3 charging capability affects the ability to travel safely or plan charging when needed. • A battery fire risk exists during Level 3 charging if the defect is not detected in time. Nissan’s documents state that the software is meant only to prevent the “progression” of a thermal incident, not to repair the defective battery. I am concerned that my vehicle contains a known hazardous defect that has not been physically repaired and that the software-only response is inadequate to ensure safety. I am filing this complaint so NHTSA is aware that the remedy being offered does not address the internal battery defect itself and may leave owners exposed to continued safety and reliability risks.
The vehicle is affected by manufacturer recall R25C8 (NHTSA 25V-655), which identifies a risk of battery overheating and potential fire during fast charging. The recall instructs owners not to use Level 3 (DC fast) charging because the vehicle’s battery system may enter a failsafe mode or experience thermal issues under high-load charging. This significantly restricts normal operation of the vehicle, especially for longer-distance travel, and raises concerns about battery safety during charging. The issue is ongoing, and no permanent remedy is currently available. The restriction on fast charging reduces the vehicle’s intended functionality and creates uncertainty about the safety of the high-voltage battery system. No collision or fire has occurred, but the condition remains unresolved. The vehicle remains available for inspection upon request.
The contact owns a 2022 Nissan Leaf. The contact received notification of NHTSA Campaign Number: 25V655000 (Electrical System); however, the contact was informed by the dealer that the part was not yet available. The contact stated that the manufacturer had exceeded a reasonable amount of time for the recall repair. The manufacturer was informed. The contact had not experienced a failure.
My 2022 Nissan LEAF (VIN: [XXX] , approximately 24,000 miles) is subject to an active safety recall involving the high‑voltage battery and risk of fire during DC fast charging. This includes NHTSA Recall Campaign No. 25V‑655 (Nissan Recall No. R25C8), which relates to battery overheating during Level 3 (DC fast) charging. Related prior campaigns include 24V‑700 affecting similar Nissan LEAF battery systems. Nissan has instructed owners not to use Level 3 fast charging but has failed to provide a timely repair or firm remedy date. I have been waiting [X months] with no confirmed resolution. The restriction significantly limits vehicle range and usability, increases charging time, and creates ongoing inconvenience and safety concerns. Despite the seriousness of the defect, Nissan has not offered a loaner vehicle, compensation, or alternative remedy. INFORMATION REDACTED PURSUANT TO THE FREEDOM OF INFORMATION ACT (FOIA), 5 U.S.C. 552(B)(6)
Nissan has informed Leaf owners that we cannot use DCFC to charge the car, there is a danger of fire from an overheating battery. This poorly designed battery management system severely limits the distance one can travel in the car. It has become an expensive short commute vehicle! Nissan offered to "repurchase" my car. The offer had over $27K deductions for milage and repayment of my $10k lien I would have to pay Nissan $2,800 for them to take the car back! Nissan should take full responsibility for the known recall and poor engineering.
I am filing this complaint regarding an open and unresolved safety recall on my Nissan LEAF (NHTSA Recall No. 25V-655). Nissan has instructed owners not to use Level 3 (DC fast) charging via the CHAdeMO connector due to a risk of rapid battery overheating and potential fire. As of today, no remedy is available. This recall renders my vehicle unusable for its intended and advertised purpose. I purchased this vehicle specifically for frequent long-distance travel between Seattle, WA and Vancouver, BC to visit family. Safe and reliable access to DC fast charging is essential for this use case. Without fast-charging capability, the vehicle cannot complete these trips in a practical or safe manner. As a direct result of this unresolved recall and Nissan’s instruction not to fast-charge, I am unable to use my vehicle for these trips and have been forced to rent a car at my own expense. This is not a minor inconvenience; it is a material loss of functionality and utility. The vehicle is effectively limited to short, local driving only, which is not how it was marketed or how I purchased it to be used. Nissan has acknowledged the safety defect but has provided no timeline for a fix. The ongoing delay places an unreasonable burden on owners and leaves me with a vehicle that cannot be used as intended for an indefinite period. I am requesting that NHTSA review this matter for timely remedy enforcement and assess whether Nissan’s delay in providing a repair constitutes a failure to address a safety defect in a reasonable timeframe. Owners should not be left with a vehicle that cannot safely perform its core, advertised function while bearing ongoing financial harm.