AJP Educational Foundation, Inc. d/b/a American Muslims for Palestine v. Jason S. Miyares, in his official capacity as Attorney General of the Commonwealth of Virginia

CourtDistrict Court, E.D. Virginia
DecidedOctober 17, 2025
Docket1:25-cv-01617
StatusUnknown

This text of AJP Educational Foundation, Inc. d/b/a American Muslims for Palestine v. Jason S. Miyares, in his official capacity as Attorney General of the Commonwealth of Virginia (AJP Educational Foundation, Inc. d/b/a American Muslims for Palestine v. Jason S. Miyares, in his official capacity as Attorney General of the Commonwealth of Virginia) is published on Counsel Stack Legal Research, covering District Court, E.D. Virginia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
AJP Educational Foundation, Inc. d/b/a American Muslims for Palestine v. Jason S. Miyares, in his official capacity as Attorney General of the Commonwealth of Virginia, (E.D. Va. 2025).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF VIRGINIA Alexandria Division AJP EDUCATIONAL FOUNDATION, INC. ) d/b/a AMERICAN MUSLIMS FOR ) PALESTINE, ) ) Plaintiff, ) ) v. ) 1:25-cv-1617 (LMB/IDD) ) JASON S. MIYARES, in his official capacity as) Attorney General of the Commonwealth of ) Virginia, ) ) Defendant. ) ) MEMORANDUM OPINION Plaintiff AJP Educational Foundation, Inc. d/b/a American Muslims for Palestine (“AMP”), a non-profit organization “dedicated to advancing the movement for justice in Palestine by educating the American public about Palestine and its rich cultural, historical and religious heritage,” [Dkt. No. 1] at J 6, has filed a five-count Complaint against defendant Jason S. Miyares in his official capacity as the Attorney General of the Commonwealth of Virginia (“the AG”) in connection with a Civil Investigative Demand (“CID”) the AG initiated in October 2023. The Complaint alleges, among other claims, that the CID’s request for AMP’s donor lists violates the right to free association guaranteed by the First and Fourteenth Amendments to the United States Constitution. On October 1, 2025, AMP filed an Emergency Motion for a Temporary Restraining Order and Preliminary Injunction, which this Court granted after oral argument on October 3, 2025. This Memorandum Opinion expands upon the reasoning for granting AMP preliminary injunctive relief.

I. BACKGROUND A. Statutory Framework The Virginia Solicitation of Contribution (“VSOC”) law, contained in Chapter 5 of Title 57 of the Virginia Code, regulates the solicitation of contributions by charitable organizations in the Commonwealth. Va. Code §§ 57-48 et seq. Three provisions are critical to the AG’s investigation of AMP: §§ 57-49, 57-57, and 57-59. Section 57-49(A) requires the president, chairman, or principal officer of a charitable organization intending to solicit contributions within the Commonwealth to file a registration statement with the Commissioner of Agriculture and Consumer Services “prior to any solicitation.” The statement must “thereafter be refiled on or before the fifteenth day of the fifth calendar month of the next and each following fiscal year in which such charitable organization is engaged in solicitation activities within the Commonwealth.” Va. Code § 57-49(A). Section 57-49 lists the information an organization must include in the registration statement: 1. The name of the organization and the purpose for which it was organized. 2. The principal address of the organization, the address of any offices in the Commonwealth and its designated agent for process within the Commonwealth. If no such agent is designated, the organization shall be deemed to have designated the Secretary of the Commonwealth. If the organization does not maintain an office, the name and address of the person having custody of its financial records. 3. The names and addresses of any chapters, branches or affiliates in the Commonwealth. 4, The place where and the date when the organization was legally established, the form of its organization, and a reference to any determination of its tax-exempt status under the Internal Revenue Code. 5. The names and addresses of the officers, directors, trustees and the principal salaried executive staff officer. 6. A copy of a balance sheet and income and expense statement, with the opinion of any independent public accountant, for the organization’s immediately preceding fiscal year; a copy of a financial statement certified by an independent public accountant covering, in a consolidated report, complete information as to all the preceding year’s fund-raising activities of the charitable organization, showing kind and amount of funds raised, fund-raising expenses and allocation of disbursement

of funds raised; or a copy of Internal Revenue Service Form 990. The report required by this subdivision shall comply with the accounting standards prescribed pursuant to § 57-53. Any organization whose annual gross revenue qualifies such organization to file Form 990-N (also referred to as the e-Postcard) with the Internal Revenue Service may submit a balance sheet and income and expense statement verified under oath or affirmation by the treasurer of the organization. 7. A statement indicating the amount of funds expended during the preceding fiscal year to pay for the administrative expenses of the charitable organization and a computation of such expenses as a percentage of the total expenses of the charitable organization. 8. A statement indicating the amount of funds expended during the preceding fiscal year that was dedicated to providing charitable services and a computation of such expenses as a percentage of the total expenses of the charitable organization. 9. A statement showing the computation of the percentages provided for in § 57- 58. 10. A statement indicating whether the organization intends to solicit contributions from the public directly or have such done on its behalf by others. 11. A statement indicating whether the organization is authorized by any other governmental authority to solicit contributions and whether it, or any officer, professional fund-raiser or professional solicitor thereof, is or has ever been enjoined by any court or otherwise prohibited from soliciting contributions in any jurisdiction. 12. The general purpose or purposes for which the contributions to be solicited shall be used. 13. The name or names under which it intends to solicit contributions. 14. The names of the individuals or officers of the organization who will have final responsibility for the custody of the contributions. 15. The names of the individuals or officers of the organization responsible for the final distribution of the contributions. 16. A statement indicating whether the organization, or any officer, professional fund-raiser or professional solicitor thereof, has ever been convicted of a felony and, if so, a description of the pertinent facts. 17. A copy of the current articles of incorporation, bylaws, or other governing documents. If current copies are already on file with the Commissioner, only amendments, if any, shall be filed in years after the initial registration. 18. A description of the types of solicitation to be undertaken. The registration statement must also contain the following language: “No funds have been or will knowingly be used, directly or indirectly, to benefit or provide support, in cash or in kind, to

terrorists, terrorist organizations, terrorist activities, or the family members of any terrorist.” Va. Code § 57-49(A1). Of the 19 categories of information that must be included, only three require the identification of particular individuals associated with the charitable organization. First, § 57- 49(A)(5) requires the identification of the organization’s officers, directors, trustees, and principal salaried executive staff officers. Second, § 57-49(A)(14) requires the disclosure of the individuals or officers who have final responsibility for the custody of contributions. Third, § 57-49(A)(15) requires the identification of the individuals or officers responsible for the final distribution of contributions. Of significance to this case is the fact that § 57-49 does not require charitable organizations to disclose the names and contact information of all their employees, members, and volunteers, or of any donors. Section 57-57 prohibits charitable organizations from engaging in various acts, including soliciting funds without having “duly registered” under Chapter 5, § 57-57(K); soliciting and collecting funds using fraud or misrepresentation, § 57-57(L); using funds for purposes other than the solicited purpose, § 57-57(N); and using funds to directly or indirectly benefit or support terrorists, terrorist organizations, or terrorist activities, § 57-57(R).

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AJP Educational Foundation, Inc. d/b/a American Muslims for Palestine v. Jason S. Miyares, in his official capacity as Attorney General of the Commonwealth of Virginia, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ajp-educational-foundation-inc-dba-american-muslims-for-palestine-v-vaed-2025.