African People's Education and Defense Fund, Inc. v. Pinellas County

Court of Appeals for the Eleventh Circuit·Decided July 29, 2026·No. 24-13547·Published

Opinion

USCA11 Case: 24-13547 Document: 36-1 Date Filed: 07/29/2026 Page: 1 of 39

FOR PUBLICATION

In the United States Court of Appeals For the Eleventh Circuit ____________________ No. 24-13547 ____________________

AFRICAN PEOPLE'S EDUCATION AND DEFENSE FUND, INC., Plaintiff-Appellant, versus

PINELLAS COUNTY, a political subdivision of the State of Florida, by and through the Pinellas County Board, of County Commissioners, Defendant-Appellee. ____________________ Appeal from the United States District Court for the Middle District of Florida D.C. Docket No. 8:23-cv-02395-TPB-AAS ____________________ USCA11 Case: 24-13547 Document: 36-1 Date Filed: 07/29/2026 Page: 2 of 39

2 Opinion of the Court 24-13547

Before NEWSOM, BRASHER, Circuit Judges, and HUCK,∗ District Judge. NEWSOM, Circuit Judge: Florida nonprofit African People’s Education and Defense Fund twice applied for COVID-relief grants from monies made available to Pinellas County by the federal government. The Pi- nellas County Board of Commissioners initially approved APEDF’s first grant request but later revoked that approval; the Board de- nied the group’s second grant application outright. APEDF sued, contending that the Board had revoked the first grant and denied the second on the basis of race and because of the group’s associa- tion with the “Uhuru Movement”—which APEDF describes as a collection of “like-minded groups and individuals promoting Black community empowerment.” The district court dismissed APEDF’s First Amendment, equal-protection, and procedural-due- process claims at the pleadings stage. We affirm in part and reverse in part. In particular, we hold that the district court was correct to dismiss APEDF’s procedural-due-process claim but that it erred in dismissing the organization’s First Amendment and equal-protec- tion claims.

∗ Honorable Paul C. Huck, United States District Judge for the Southern Dis- trict of Florida, sitting by designation. USCA11 Case: 24-13547 Document: 36-1 Date Filed: 07/29/2026 Page: 3 of 39

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I A Because this case comes to us on appeal from the district court’s grant of a motion to dismiss, “for purposes of this appeal, we take the facts alleged in the complaint as true and construe them in the light most favorable to the plaintiff.” DeMarcus v. Univ. of S. Ala., 133 F.4th 1305, 1309 n.1 (11th Cir. 2025) (citation modi- fied). The African People’s Education and Defense Fund is a § 501(c)(3) nonprofit organization. For almost 30 years, APEDF has served the black community of south St. Petersburg, Florida. APEDF’s stated mission is “to defend the human and civil rights of the African community and end the disparities faced by African people in health, healthcare, education, and economic develop- ment.” Am. Compl. ¶ 1, Dkt. No. 35. To that end, APEDF provides a host of services: It operates a gym, a licensed kitchen, a commu- nity center, and a Saturday school, and it performs free HIV testing. APEDF also runs a radio station, “Black Power 96,” which broad- casts community health information, provides internships for local youth, and supports local musicians. APEDF’s community center is called the “Uhuru House.” In Swahili, the word “Uhuru” means “freedom.” APEDF asserts that it is associated with the “Uhuru Movement”—which, it says, “is not a distinct or formal entity, but a broad characterization of like- minded groups and individuals promoting Black community USCA11 Case: 24-13547 Document: 36-1 Date Filed: 07/29/2026 Page: 4 of 39

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empowerment, such as the ‘Black Power Movement’ or the ‘Civil Rights Movement.’” Id. ¶ 51(a). Like so many other organizations, APEDF was hit hard by COVID-19. Recognizing the pandemic’s widespread economic im- pact, Congress passed the American Rescue Plan Act of 2021, which authorized relief funds. Pub. L. No. 117-2, 135 Stat. 4 (2021) (codified at 42 U.S.C. §§ 802–803). Pinellas County received ARPA money to provide COVID-relief grants to nonprofits. Thereafter, the County contracted with the Pinellas Community Foundation to review grant applications and make recommendations to the County’s Board of Commissioners. In September 2022, APEDF applied for an ARPA grant to purchase radio-station equipment so that Black Power 96 could “continue broadcasting timely information on local health and ed- ucational services and emergency alerts.” The Foundation ranked APEDF’s application fourth out of the 55 that it received. On the basis of the Foundation’s assessment, the Board approved funding for the 34 highest-ranked grant applications—including APEDF’s. Soon after, the Foundation sent APEDF an email confirming that it would be awarded $36,801. The Foundation followed up with a draft contract, which APEDF received, signed, and returned. A month later, though, newly seated Board member Chris Latvala raised questions about APEDF’s grant. Via text, he di- rected his aide, Tyler Bonneau, to “Google the African peoples one.” Am. Compl. Ex. F at 2, Dkt. No. 35–6. When Bonneau re- sponded, “That’s the Uhuru House in St. Pete” and said that USCA11 Case: 24-13547 Document: 36-1 Date Filed: 07/29/2026 Page: 5 of 39

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APEDF’s “website doesn’t look so good,” Latvala replied that he was “going to raise hell.” Id. Two days later, Latvala texted Bonneau again: “[L]ook to see if this African group is a hate group or the uhurhus [sic] by ADL [i.e., Anti-Defamation League] or sovern [sic] poverty law center.” Am. Compl. Ex. G at 1, Dkt. No. 35–7. Bonneau responded with a screenshot of an ADL webpage that included the following descrip- tion: “The Uhuru Movement, also known as the International Peo- ple’s Democratic Uhuru Movement (InPDUM), is a Florida-based international socialist Black separationist organization.” Id. Quot- ing the ADL site, Bonneau texted that “[t]he Uhuru Movement has ties to antisemitic Black Nationalist organizations.” Id. Latvala then asked: “[I]s the radio equip for [B]lack [P]ower 96”? Id. at 2. Bonneau replied that the grant list didn’t detail how the funding would be used. Id. Latvala ended the conversation by compliment- ing Bonneau’s “great work.” Id. Later the same day, Latvala voiced his concerns at a Board work-session meeting, asserting that “[a]ccording to [APEDF’s] website . . . they’re associated with the [Uhurus] in St. Petersburg.” Am. Compl. Ex. H at 1, Dkt. No. 35–8. Latvala asked Foundation CEO Duggan Cooley: “[H]ow would a group that has ties to anti- semitic nationalist groups get approved for funding?” Id. Cooley responded that APEDF “went through the funding process like other organizations.” Id. He acknowledged that the Foundation was “concerned about some of the issues that ha[d] arisen because of [an] FBI investigation” of the Uhuru headquarters, but said that USCA11 Case: 24-13547 Document: 36-1 Date Filed: 07/29/2026 Page: 6 of 39

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after flagging these issues for the County he was advised that APEDF’s application should “be scored in this process like every other organization.” Id. During the same meeting, Latvala charged that the Uhurus “once held a mock trial in which they sentenced the mayor and chief of police in St. Petersburg to death[.]” Id. Cooley said that while he was “not familiar” with that episode, he was “familiar with some of the other challenges” associated with the Uhurus. Id. Lat- vala also claimed that the Uhurus “support the release of all black prisoners.” Id. Cooley responded that he didn’t know about that, either. The following day, Latvala texted Bonneau again: “[T]he [U]hurus are claiming we are discriminating if we defund them.” Am. Compl. Ex. G at 3.

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