There are 4 owner-reported lighting complaints for the 2026 Ram 1500in NHTSA's database. These are unverified consumer reports and may not reflect confirmed defects.
Trailer lights operate intermittently (basis of Manufacturer Recall Number 03D NHTSA Recall Number26V-059). Manufacturer states that the repair parts are available, but they are not allowing dealerships to make the repair for some undisclosed reason. The Manufacturer is misrepresenting that a repair is available when it is not and is not able to provide any more information on when this will be remedied.
The contact owns a 2026 Ram 1500. The contact received notification of NHTSA Campaign Number: 26V059000 (EXTERIOR LIGHTING, ELECTRICAL SYSTEM). The contact called several dealers and was informed that the part to do the recall repair was not yet available, and that the manufacturer had placed a pause on the part for the recall repair. The manufacturer was not made aware of the issue. The contact had not experienced a failure.
There is a recall on the towing control module that prevents me from towing with the vehicle, which is the reason I purchased the vehicle. They are unable to get the parts required to complete the repair. The recall started in february, it is now april with no parts ordered , avaliable, or repair scheduled. If I dont tow my boat it a few weeks, I will start incurring fees for storage. I called dealer, spoke with repair, they stated they dont have the parts, recognized the recall, but do not have time frame. Called Stellantis, they acknowledged the recall, and have no estimate for parts. Opened a claim # XXX. INFORMATION REDACTED PURSUANT TO THE FREEDOM OF INFORMATION ACT (FOIA), 5 U.S.C. 552(B)(6)
Dealer Information: Mac Haik Chrysler Dodge Jeep RAM – Jackson 5395 Interstate 55 North Frontage Rd Jackson, MS 39206 Phone: (601) 633-4954 Manufacturer Case Reference: RAM Customer Care Case #[XXX] Description of Safety Concern: My vehicle is currently at the authorized RAM dealer listed above for warranty repair. During the repair, the dealer removed the hood scoop assembly. The hood scoop assembly on this vehicle houses the three amber identification lamps required under FMVSS 108 for vehicles over 80 inches wide. On Friday, I was informed by Arthur Brown, III (Service Consultant) at the dealership that I could pick up and operate the vehicle while it remained disassembled, as the hood scoop assembly had been removed and the replacement part was still on order. The vehicle is registered to a business and used for work. The dealership provided a full-size passenger car as a rental, which is not comparable to the truck I brought in for service. When I explained that I require a truck for business use and requested a comparable replacement, the dealership declined to provide a truck rental and instead indicated that I could drive my own vehicle in its disassembled condition. I declined to take possession of the vehicle due to safety and legal compliance concerns, as operating the vehicle without the hood scoop assembly installed would mean the required amber identification lamps would not be present. Additionally, the dealer informed RAM Customer Care that the vehicle repair was complete, which was not accurate. The part remains on order and the vehicle is not fully reassembled. I am submitting this report because releasing or operating the vehicle in this condition would be unsafe and non-compliant with FMVSS 108. INFORMATION REDACTED PURSUANT TO THE FREEDOM OF INFORMATION ACT (FOIA), 5 U.S.C. 552(B)(6)
Complaints are unverified consumer reports submitted to NHTSA. A high complaint count may reflect vehicle popularity, not defect severity. Data sourced from NHTSA public records.
Data synced from NHTSA on Apr 26, 2026